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Untitled - AT&T Clec Online

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Attachment 25: Appendix Line Sharing/SOUTHWESTERN BELL TELEPHONE, L.P.<br />

SBC TEXAS/CLEC JOINT PETITIONERS<br />

PAGE 7 OF 11<br />

082505<br />

6.3 Splitter technology shall adhere to established industry standards for technical, test access, common size,<br />

configurations and shelf arrangements.<br />

6.4 All splitter equipment must be compliant with applicable national standards, including but not limited to ANSI<br />

T1.413 and NEBS Level 1.<br />

7.0 OPERATIONAL SUPPORT SYSTEMS: LOOP MAKEUP INFORMATION AND ORDERING<br />

7.1 General: SBC TEXAS will provide CLEC with nondiscriminatory access by electronic or manual means, to<br />

its loop makeup information as set forth in Attachment 25: DSL.<br />

7.2 Where CLEC is seeking access to the HFPL and SBC TEXAS claims that conditioning that loop or subloop<br />

will significantly degrade the voiceband services that SBC TEXAS is currently providing over that loop or<br />

subloop, SBC TEXAS must either: (i) locate another copper loop or subloop that can be conditioned,<br />

migrate SBC TEXAS’ voiceband service to that loop or subloop, and provide CLEC with access to the high<br />

frequency portion of that alternative loop or subloop; or (ii) if CLEC disputes SBC TEXAS’ contention that<br />

the conditioning of that loop or subloop will significantly degrade the voiceband services, make a showing to<br />

the state commission that the original copper loop or subloop cannot be conditioned without significantly<br />

degrading voiceband services on that loop or subloop, and that there is no adjacent or alternative copper<br />

loop or copper subloop available that can be conditioned or to which the end-user customer’s voiceband<br />

service can be moved to enable line sharing.<br />

7.2.2 If, after evaluating SBC TEXAS’ showing under Section 7.2.1 above, the state commission concludes that a<br />

copper loop or copper subloop cannot be conditioned without significantly degrading the voiceband service,<br />

SBC TEXAS cannot then or subsequently condition that loop or subloop to provide advanced services to its<br />

own customers without first making available to CLEC the high frequency portion of the newly conditioned<br />

loop or subloop.<br />

8.0 PROVISIONING<br />

8.1 Subject to Section 6.2 above, CLEC shall designate, at CLEC’s sole option, what loop conditioning SBC<br />

TEXAS is to perform in provisioning the HFPL order. Subject to Section 6.2, conditioning may be ordered<br />

on any HFPL of any length at the loop conditioning rates set forth in the Pricing Schedule. The HFPL will be<br />

provisioned to meet the basic metallic and electrical characteristics such as electrical conductivity and<br />

capacitive and resistive balance.<br />

8.2 The provisioning intervals are applicable to the HFPL regardless of the actual loop length.<br />

8.2.1 The provisioning and installation interval for HFPL, where no conditioning is requested (including outside<br />

plant rearrangements that involve moving a working service to an alternate pair as the only possible solution<br />

to provide the HFPL), on orders for 1-24 loops per order or per end-user location, will be three (3) business<br />

days, or the provisioning and installation interval applicable to SBC TEXAS’ or its affiliate’s xDSL-based<br />

services, whichever is less.<br />

8.2.2 For CLEC orders of 25 to 48 HFPLs per order or per end user customer location where no conditioning is<br />

requested, the provisioning and installation interval will be six (6) business days or as agreed upon by the<br />

parties.

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