Wholesale: Products & Services

2001 Archived Product/Process CMP's in One File

Open Product/Process CR 5608353 Detail

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

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

Description Of Change

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


Status History

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

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

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

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

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

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

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


Project Meetings


CenturyLink Response

August 7, 2001

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

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

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

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

Sincerely

Nancy J. Hoag Qwest Wholesale Product Team


Open Product/Process CR PC073101-7 Detail

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

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

Description Of Change

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

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


Status History

07/30/01 - CR submitted byTerry Wicks

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

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

08/09/01 - Allignment meeting held with Allegiance

08/09/01 - Draft response completed.

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

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

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

09/07/01 - Walk through Meeting Held

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

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

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

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

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

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

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

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


Project Meetings

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

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

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

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

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

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

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

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


CenturyLink Response

October 09, 2001

Wholesale Product Marketing

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

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

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

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

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

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

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

Respectfully,

Frederick M Aesquivel III Director – Local Network Operations Support

CC: Scott Simanson Linda Hendricks Dana Filip


Open Product/Process CR PC092701-1 Detail

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

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

Description Of Change

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

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


Status History

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

09/27/01 – CR status changed to Submitted

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

10/05/01 - Held Clarification Meeting with Allegiance

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

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

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

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

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

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

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

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


Project Meetings

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

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

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

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

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

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

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

? Additional DIB ranges need to be addressed.

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


CenturyLink Response

Wholesale Product Marketing FINAL RESPONSE

November 8, 2001

Terry Wicks LEC Manager Allegiance Telecom, Inc

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

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

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

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

Sincerely,

Monica Manning IMA Process Specialist


Open Product/Process CR PC092701-2 Detail

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

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

Description Of Change

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


Status History

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

09/27/01 - CR status changed to Submitted

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

10/05/01 - Held Clarification Meeting with Allegiance

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

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

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

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

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

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

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

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

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

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

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

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

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


Project Meetings

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

Rick,

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

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

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

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

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

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

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

-

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

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

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

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

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


CenturyLink Response

January 8, 2002

Terry Wicks LEC Manager Allegiance Telecom, Inc.

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

Sincerely,

Susie Wells Sr. Process Analyst

(See Supplemental Information following detail report for Process)

December 4, 2001

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

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

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

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

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

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

Sincerely,

Carolyn Brown Director Process Management

Cc: Monica Manning

--

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

Wholesale Product Marketing

November 8, 2001

Terry Wicks LEC Manager Allegiance Telecom, Inc

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

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

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

Sincerely,

Monica Manning IMA Process Specialist


Open Product/Process CR PC092701-3 Detail

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

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

Description Of Change

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

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

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


Status History

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

09/27/01 – CR status changed to Submitted

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

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

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


Project Meetings


Open Product/Process CR 5548229 Detail

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

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

Description Of Change

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


Status History

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

posted on the CMP Web site

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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


Project Meetings

August CMP Monthly Meeting Minutes

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

-

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

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

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

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

<>

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

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

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

Subject: Spreadsheets

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

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

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

5/20/02 thru 5/24/02

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

5/28/02 thru 5/31/02

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

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

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

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

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

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

1285714-LP Received Updated FOC

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

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

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

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

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

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

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

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

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

Thank you and have a good day,

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


CenturyLink Response

June 26, 2002

Terry Wicks LEC Account Manager Allegiance Telecom

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

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

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

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

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

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

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

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

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

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

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

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

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

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

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

Sincerely,

Russ Urevig Senior Process Analyst

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

Terry Wicks LEC Account Manager Allegiance Telecom

CC: Catherine Garcia

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

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

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

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

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

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

Sincerely,

Deni Toye Network Unbundled Loop Process

October 10, 2001 Terry Wicks, Allegiance

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

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

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

Sincerely,

Deni Toye Network Unbundled Loop Process


Open Product/Process CR PC091201-1 Detail

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

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

Description Of Change

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

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


Status History

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

09/12/01 - CR status changed to Submitted

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

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

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

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


Project Meetings

Wednesday, September 26, 2001

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

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


CenturyLink Response

September 27, 2001

Terry Wicks LEC Manager, Allegiance Telcom Inc.

CC: Scott Simanson Fred Aesquivel

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

Dear Terry:

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

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

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

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

Sincerely

Linda K. Hendricks Lead Project Analyst


Open Product/Process CR 5579296 Detail

 
Title: NPA NXX supplemental form submissions
CR Number Current Status
Date
Area Impacted Products Impacted

5579296 Withdrawn
7/10/2001
Ordering LIS, SS7, Switched Services
Originator: Rea, Ervin
Originator Company Name: AT&T
Owner: To Be Determined
Director:
CR PM:

Description Of Change

SGAT language states that the submission of the form is optional and “will never be required”. Translations refuses to complete routing of new trunks if the form is not submitted. Either the SGAT language must be changed or the form made optional.


Status History

6/06/01 – CR received by Ervin Rea of AT&T 6/07/01 – Status changed to New – to be evaluated 7/09/01 – Status changed to New – to be Clarified

7/10/01 – Clarification requested via email from AT&T (MR) 7/18/01 – Status changed to Canceled as per July CICMP Industry Team Meeting


Project Meetings


Open Product/Process CR PC090401-1 Detail

 
Title: Request for Qwest to separate daily usage files by separating category 01 and 010 from category 011. (reference Systems CR # SCR111901 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC090401-1 Completed
11/14/2001
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Zimmerman, Alan
Director:
CR PM: Thomte, Kit

Description Of Change

AT&T is requesting Qwest to separate daily usage files, separating Category 01 and 010 from category 011

Request for Qwest to separate daily usage files by separating category 01 and 010 from category 011. Categories 01 and 010 separate daily usage records for end users while category 011 tracks billing for other carriers. AT&T separates billing entities by these functions. AT&T believes that other carriers utilize this same process. AT&T believes would be more efficient if the daily usage files were separate in this manner.


Status History

08/30/01 - CR received from Donna Osborne-Miller of AT&T

09/04/01 - Status changed to New - To be reviewed

09/04./01 - Updated CR sent to Donna Osborne-Miller of AT&T

09/12/01 - Clarification meeting held with AT&T. AT&T to get CLEC community acceptance.

09/21/01 - ATT will not have opportunity to present at community meeting until 10/15/01

10/17/01 - CMP Meeting: Discussions with CLEC community conducted regarding CR. SBC indicated that they were receiving separate billing records for daily usage. Alan Zimmerman, Qwest to draft reply for next CMP (November 14, 2001). No change to "Current Status."

11/01/01 - Draft response issued

11/07/01 - Draft response updated to indicate if approved this will need to become a system CR

11/14/01 - CMP meeting it was agreed that this request can be closed. A system CR will be opened by Qwest to allow the work to be prioritized.

11/26/01 - Final response issued to CLECs


Project Meetings

09/12/01 - Clarification meeting on PCCR 090401-1. In attendance Carla Dickinson Pardee and Troy Smith from ATT. Alan Zimmerman and Kit Thomte from Qwest.

Alan indicated that he was familiar with this subject. He believed it had been submitted once before but did not have the support of the other CLECs at that time. Alan indicated that he thought some of the CLECs might see the need for this now.

Alan stated the issue: In the current environment two usage files containing the same data are sent to two locations. ATT would like to have the file containing message types 01 and 10 split out on one file. The other file should contain message type 11, to be distributed separately.

Carla indicated she would take this CR to the next community meeting to propose this change to other CLECs.


CenturyLink Response

November 6, 2001

This letter is in response to the CLEC Change Request Form #PC090401-1. This Change Request requests that the Daily Usage Feed (DUF) be split into two pieces - with local usage (generally Category 1 & 10 EMI records) on one file, and access usage (Category 11 records) on a separate file.

Today, both local usage and access usage is sent on a single DUF file for each CLEC. It is fairly straight-forward to separate this usage into two files. To do so requires some small programming changes, as well as some JCL and NDM/Connect: Direct changes for every CLEC that chooses to have their DUF split into two pieces. This would be a medium-sized effort. This CR will be moved to the Systems CMP process in order to prioritize this system work.

Qwest would implement this CR in such a way that those CLECs that wish to continue to receive their DUF file as one file (like today) would be able to continue with that implementation. Those that wish to receive two separate files would be able to do so, having those two files sent to two different destinations (assuming connections exist) or to the same destination as the CLEC desires.

Any CLEC who would like to have their DUF split in two as this CR requests may send an e-mail to me at azimmer@qwest.com to be included in the deployment of this functionality. If you have any questions, feel free to e-mail me or call me at the number below.

Sincerely,

Alan Zimmerman (303)896-8346


Open Product/Process CR PC090401-2 Detail

 
Title: UNE P to UNE L Bulk Conversion Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC090401-2 Completed
3/20/2002
N/A
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Urevig, Russell
Director:
CR PM:

Description Of Change

AT&T would like to establish an efficient process with Qwest to convert AT&T customers residing on the Qwest UNE-P platform to the Qwest UNE-L platform on a Bulk LSO basis.

The process would include a minimum of the following steps:

- CLEC will provide prior notification of intent to convert via a list (spreadsheet?) identifying the LSO and number of TNs

- CLEC will provide ONE LSR PER CUSTOMER LOCATION for conversion.

- Qwest will provide a SPOC for each LSO conversion on the same due date.

- Qwest will perform a Loop Qualification for each LSR.

- Qwest will provide Loop Qualification results to CLEC.

- CLEC will have option to make supplemental changes or cancel LSRs per results of loop qualification.

- CLEC will schedule conversion to begin on Due Date no earlier than 4:00 PM. All conversions within the LSO will be completed by 12:00 Midnight.

Time Intervals for conversions shall be monitored and shall conform to the existing performance standards set in the current Qwest hot cut agreement.


Status History

08/30/01 - CR Received from Carla Dickinson of AT&T

09/04/01 - Status changed to New - To be Reviewed

09/04/01 - Updated CR sent to Donna Osborne-Miller and Carla Dickinson of AT&T

09/17/01 - Clarification meeting held. With AT&T.

09/28/01 - Draft response posted to database.

10/17/01 - CMP Meeting: Qwest presented response. A separate meeting will be conducted with AT&T and Qwest to further address the response and future implementation. CLEC community agreed to the separate meeting with just AT&T in attendance. No change to "Current Status."

11/07/01 - Working with Qwest Project Management team to establish meeting.

11/14/01 - CMP Meeting it was agreed that all CLEC's needed to be invited to the session scheduled with AT&T for Friday Nov. 16th. As a result the meeting will be postponed until Nov. 26th or 30th. To accommodate the time that is required to notify all CLECs of the meeting. It was agreed that the CR would be placed into development status.

with AT&T

11/19/01 - Notification was sent to all CLECs regarding a meeting to discuss the two questions that came out of the Oct. CMP meeting

11/30/01 - Held meeting with AT&T regarding questions that came up during the CMP meeting in Oct. All CLECs were invited to the session11/30/01 - Held meeting with AT&T

12/12/01 - CMP Meeting - Qwest reviewed status of CR. Meeting 11/30 resolved all issues. Qwest's response on Appointment Scheduler needs to be finalized and will be discussed at the Systems Meeting. AT&T advised that if the response was acceptable, the CR could be placed into CLEC Test.

12/13/01 - Per Judy Schultz, AT&T, was satisfied with the presentation on Appointment Scheduler and the CR could be placed into CLEC Test.

12/28/01 - Qwest's formal response dated 9/28/01 issued to CLECs.

01/16/02 - Qwest provided an update on Appointment Scheduler and indicated that a special override will be used for out of hour cuts. AT&T requested that the CR remain in CLEC test until the presentation on Appointment Scheduler tomorrow at the Systems CMP Meeting.

01/29/02 - Received e-mail confirmation from AT&T that they would like the CR to remain in CLEC Test until they have gone through the IMA 9.0 training.

02/18/02 - Received e-mail from AT&T advising that the training on IMA 9.0 did not demonstrate the override capability of Appointment Scheduler. Qwest to investigate and advise.

02/20/02 - CMP Meeting - Qwest clarified the issue regarding Appointment Scheduler that the Override feature was included and will review with AT&T. The CR will remain in CLEC Test. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

03/20/02 - CMP Meeting - It was agreed that the CR could be closed.

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

November 30, 2001

Qwest held a community meeting with AT&T regarding two questions that came up during the October CMP meeting. Other CLECs were invited and several participated.

Jonathan Spangler from AT&T had inquired if the orders would go through the QCCC. Russ Urevig stepped through the process. In the process he identified that in fact the QCCC will be the point of contact for the coordinated after hours cut. Jonathan indicated he had received some push back when trying to schedule other projects.

The second question was regarding charges associated with the after hours cut. Russ explained that the normal after hours charges would apply.

Jonathan brought up an additional issue. He wanted to know what the impacts would be to these projects when the 9.0 IMA Release goes in and the CLECs are required to use Appointment Scheduler. Russ indicated he was not sure that these types of cuts were included in the 9.0 release for Appointment Scheduler. Qwest to follow up with system SME’s regarding the System Change Request.

-

09/17/01 - Introduction of Attendees Jonathan Spangler Carla Dickinson Pardee Russ Urevig Kit Thomte

Kit made introductions of people that were in attendance on the conference call Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} AT&T would like Qwest to develop a process that would allow for the conversion of customers residing on UNE P to UNE L. CLECs will identify specific TN’s within the CO that need to be converted. This would occur initially via a spreadsheet with LSR’s to follow. The spreadsheet would be used by Qwest to determine if the line actually could be converted. Prior to this the CLECs will use the raw loop pre qualification tool to verify TN’s of end users being converted. The CLECs want to minimize the amount of down time for the customers so the cuts should be performed between 4 PM and 12:00 Midnight. The volumes anticipated are not very precise yet. AT&T will provide more information as it becomes available. Russ inquired how AT&T would like to handle a scenario where the end user has multiple lines and only a portion of the lines are being migrated. Would they set up separate accounts?? Jonathan said he would need to check that out. Confirm Areas & Products Impacted {read from change request, modify if needed} At this point only 1FR’s will be submitted, at some point this process might include DSL.

Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} At this point Russ believes a person from network should be involved, this probably would be Deni Toye. A process person for UNE P should either be involved or review the process that is established. Eventually a SME from Retail should be aware of the process.

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)} Qwest needs to provide a process that will address this type of migration. This process needs to be put in place quickly with the worst case scenario being implementation in December of 2001.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} An existing CR would resolve the necessity of this CR. Russ Urevig agreed to identify this CR and let us know the status.

Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when) Russ will run this CR past his supervisor and the migration team that works on these issues. Russ should have a response by close of business on Monday Sept. 24th The detailed action plan will be provided after the session on the Sept. 24th.

09/12/01 - Susie Bliss is the Director 402-422-8006 Kit Thomte is the Project Mgr. 303 896-6776 Russ Urevig is the Owner 218 723-5800 Donna Osborne Miller gave me has provided the name of an individual to participate in a clarification meeting. Have not heard from the individual yet.


CenturyLink Response

September 28, 2001 Wholesale Product Marketing

Jonathan Spangler, LSAM Supervisor Donna Osborne-Miller, LSAM Manager AT&T Local Services

CC:Russ Urevig Susie Bliss Linda Miles Kit Thomte

This letter is in response to your CLEC Change Request Form PCCR090401-2 dated August 30, 2001.

Request:

AT&T would like to establish an efficient process with Qwest to convert AT&T customers residing on the Qwest UNE-P platform to the Qwest UNE-L platform on a Bulk LSO basis. The process would include a minimum of the following steps: CLEC will provide prior notification of intent to convert via a list (spreadsheet?) identifying the LSO and number of TNs CLEC will provide ONE LSR PER CUSTOMER LOCATION for conversion. Qwest will provide a SPOC for each LSO conversion on the same due date. Qwest will perform a Loop Qualification for each LSR. Qwest will provide Loop Qualification results to CLEC. CLEC will have option to make supplemental changes or cancel LSR's per results of loop qualification. CLEC will schedule conversion to begin on Due Date no earlier than 4:00 PM. All conversions within the LSO will be completed by 12:00 Midnight. Time Intervals for conversions shall be monitored and shall conform to the existing performance standards set in the current Qwest hot cut agreement

Qwest Response:

Conversion from UNE P to UNE L on a Bulk LSO basis can be handled as a project. The CLEC can contact their Account Service Manager to advise of the intent to Bulk convert on an LSO basis. By the conversion being handled as a project, the specifics such as due dates and individual tester, SPOC can be coordinated.

The CLEC can request raw loop data for an entire wire center. The RLD tool provides data in bulk format to the Co-Providers about loop make-up characteristics at the wire center level. The data includes CLLI code, load coil, bridged tap, wire gauge, cable and pair make-up, and similar information on a loop-by-loop basis.

There is a web-site maintained by Qwest where Co-Providers may access the RLD tool. To gain access to the web-site, Co-Providers must obtain a digital certificate from Qwest. The RLD tool is presented in an ASCII text file and can be downloaded to an Excel format or database built by the Co-Provider. The web-site address is http://ecom.uswest.com.

CLEC’s are encouraged to use the Pre-order function in IMA for Loop Qualifications. The results of the Loop Qualification are given to the CLEC. If an LSR is submitted and the loop does not qualify then the LSR would be rejected. A CLEC has the option to make supplemental changes or to cancel an LSR. For any due date requests outside the normal business hours appropriate charges would be billed.

Sincerely,

Russell Urevig Wholesale Service Delivery Process Team


Open Product/Process CR PC102601-1 Detail

 
Title: RSID/ZCID assignment for UNE P. (reference Systems CR # SCR012302 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC102601-1 Completed
1/16/2002
Billing Unbundled Loop, UNE-P
Originator: Dickinson Pardee, Carla
Originator Company Name: AT&T
Owner: Zimmerman, Alan
Director:
CR PM:

Description Of Change

Currently Qwest assigns only one RSID/ZCID per company. RSID/ZCID is an indicator that drives the daily usage files for all products within a CLEC. AT&T has multiple usage products within Qwest’s system. AT&T has a need to receive separated Meet Point/IXC usage files by product. Qwest is currently sending separate usage files to several locations by product. Due to RSID/ZCID assignment, Qwest will send duplicate files of the same data to two locations. For AT&T, this creates duplicate files and unnecessary records that AT&T is not able to eliminate. AT&T receives separate files from all other ILECs, and it appears that the RSID/ZCID is driving this concern. If Qwest will assign a new RSID/ZCID for AT&T business UNE-P Meet Point/IXC records which would be transmitted separately from the MEET Point/IXC currently going to Statton Island. Consequently, AT&T requests that Qwest assign a new RSID/ZCID specifically for AT&T UNE-P business products.


Status History

10/25/01 - CR Received from Carla Dickinson Pardee AT&T

10/26/01 - CR status changed to Submitted

10/26/01 - Updated CR sent to Carla Dickinson Pardee of AT&T

11/09/01 - Contacted Carla Dickinson from AT&T to schedule Clarification Meeting. She is on vacation from 11/9/01 - 11/19/01.

11/12/01 - Went ahead and tentatively scheduled a Clarification Meeting for 11/20/01 and left voice message for Carla to confirm time is okay.

11/14/01 - CMP Meeting - AT&T Presented its CR.

11/20/01 - Qwest rescheduled the clarification meeting for 11/27/01.

11/27/01 - Conducted Clarification Meeting with AT&T.

11/30/01 - Issued Clarification Meeting Minutes to AT&T.

12/03/01 - Issued revised Clarification Meeting Minutes to AT&T.

12/03/01 - AT&T, Carla Dickinson-Pardee advised that the meeting minutes were correct.

12/12/01 - CMP Meeting - CLEC clarification on the CR was made. Qwest advised that a large Systems CR would need to be developed. Qwest received input from AT&T that they would need 1 new RCID/ZCID now and more in the future. Qwest explained the difficulties with duplicating the various rates (USOCs) for each RCID/ZCID. To manually do this would create potential errors. Qwest to review options. CR status is changed to Evaluation.

01/08/02 - Issued Qwest's Draft Response dated December 28, 2001 to AT&T and posted to dBase.

01/09/02 - AT&T Acknowledged Qwest's response and provided preliminary requirements for the Systems Change Request.

01/16/02 - CMP Meeting - Qwest presented its Draft Response. Qwest will work with AT&T to issue a Systems CR on their behalf. It was agreed that the CR could be closed and a Systems CR issued with the Systems CR listed in the Title Section.

01/21/02 - Issued Qwest's Response dated December 28, 2001 to CLEC Community.

01/22/02 - Issued Draft Systems CR to AT&T and received their concurrence.

01/23/02 - Submitted Systems CR on behalf of AT&T.

01/23/02 - Responded to AT&T via e-mail that the products to be covered under the Systems CR could be defined at the Systems CR Clarification meeting.


Project Meetings

Subject: RE: Systems CR for PC102601-1 Date: Tue, 22 Jan 2002 16:17:16 -0500 From: "Pardee, Carla D, NCAM" To: "Richard Martin" , "Alan Zimmerman"

Ric, thanks, it looks good. My only question is which products it would impact. Although I only checked UNE-P, it seems as though this could/would impact all products across the board. Is that true? Thank you.

Carla Dickinson Pardee Manager - LSAM (303) 298-6101

Subject: RE: CR PC102601-1 Draft Response Date: Wed, 9 Jan 2002 09:49:06 -0500 From: "Pardee, Carla D, NCAM" To: "Richard Martin" CC: "Alan Zimmerman" , "Faber, Vicki L, BNSVC" , "Boykin, Timothy (Tim), NCAM" , "Spangler, Jonathan F, NCAM" , "Bahner, Teresa L (Terry), NCAM" , "Rea, Ervin E, NCAM" , "Smith, Troy V"

Richard and Alan:

Thank you for your response re: AT&T's change request for additional assignments of RSID/ZCID. Since Qwest would be faced with several issues if multiple RSID/ZCID values are assigned, AT&T would like to pursue a Systems CR to create another mechanism for CLECs to segment customers for loss/completion reports and DUF files, etc. As explained in the initial CR, AT&T has several business units that need separate transmission of certain files. AT&T requested RSID/ZCID values because AT&T understood that RSID/ZCID values drove transmission of these various files. AT&T is open to Qwest creating some other value for driving these various data files.

Thank you for your response. I look forward to discussing and resolving this matter further in the CMP forum.

Carla Dickinson Pardee Manager - LSAM (303) 298-6101

CLEC Change Request Clarification Meeting

November 27, 2001, 2:00 pm (MT) Conference Call

866-289-7092 PC102601-1, RCID/ZCID assignment for UNE-P

Attendees: Ric Martin, Qwest Mike Marshall, Qwest Mark Early, Qwest Joni Dokken, Qwest Carl Sear, Qwest Carla Dickinson-Pardee, AT&T

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

Review Requested (Description of) Change Carla advised that with the growth of AT&T’s different businesses they cannot split off the associated products in their DUF Files. They would like to have a separate RSID/ZCID number assigned to their various business products. Carla indicated that other ILECs use OCNs for assignment of the business products. Qwest advised that the RSID/ZCID number was the equivalent of the ACNA. Currently the ACNAs follow Qwest guidelines for their use. Qwest explained that the usage records on the DUF come out per EMI OBF guidelines. Within the EMI OBF guidelines are different record types that identify different types of calls and features, buth these call types and features are not packed separately on the DUF. Qwest further explained that within the DUF Files the category 01 and 10 records are sent in a separate pack from category 11 records, but both packs are sent on the same file. The files are created by ACNA. AT&T indicated that they would like to see the RSID/ZCID further broken down within the CAT 10 file. Qwest indicated that there could be a review to determine hotw to separate feeds for each transmission, but this would require with the billing system capabilities. Before any changes could be initiated, the issue would have to be discussed and agreed to through CMP.

Confirm Areas & Products Impacted The products listed on the CR are the products AT&T wants to ensure is covered. . Confirm Right Personnel Involved Qwest’s Owner will be revised to Alan Zimmerman. Carl Sear, Joni Dokken and Mike Marshall will also support Qwest’s evaluation. Alan is out of the office this week and Qwest will coordinate its evaluation when he returns.

Identify/Confirm CLEC’s Expectation AT&T would like to have the ability to identify the various UNE-P business products to reflect the billing to their various companies.

Identify any Dependent Systems Change Requests There is no corresponding System CR

Establish Action Plan (Resolution Time Frame) Qwest will evaluate various options. This CR will be clarified with the CLEC Community at the December CMP Meeting.


CenturyLink Response

Wholesale Service Delivery

December 28, 2001

Carla Dickinson Pardee LSAM Manager AT&T

This letter is in response to the CLEC Change Request Form #PC102601-1 regarding RSID/ZCID Assignment for UNE-P. Qwest would like to close this Product/Process CR and open a new Systems CR to properly consider the best way of meeting this business need.

Today, the assignment of an RSID/ZCID value drives a lot of business processes in Qwest. USOC rates are maintained for each RSID/ZCID, Loss/Completion reports are generated for each RSID/ZCID, separate bills are generated, security and authorizations are specific per RSID/ZCID, etc. To assign multiple RSID/ZCID values per CLEC would create potential issues with contract updates, authorizations, etc. Qwest would prefer to create another mechanism for CLECs to tell Qwest how to segment customers for purposes of Loss/Completion reports, Daily Usage Feeds and any other system interfaces CLECs desire to have segmented.

This new separation mechanism would need to be accomodated on the LSR and IMA, as well as the other systems involved. A Systems CR would be required to accomplish this. Qwest will open the Systems CR on AT&T’s behalf.

If you have any questions, feel free to e-mail me or call me. Happy New Year!

Sincerely,

Alan Zimmerman (303)896-8346 azimmer@qwest.com


Open Product/Process CR PC110201-2 Detail

 
Title: Partial turn up of circuits on multiple related LSRs
CR Number Current Status
Date
Area Impacted Products Impacted

PC110201-2 Completed
2/20/2002
Ordering, Test and Turn-up of facilities Unbundled Loop, UNE-P
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Osborne, Deb
Director:
CR PM:

Description Of Change

CLECs have the ability to submit multiple circuits on an LSR or multiple LSRs and relate them to each other. However, if circuits are related by same or related orders, Qwest testers require CLECs to complete or sup all LSRs that are related if a few circuits fail testing. AT&T wants Qwest to allow CLECs to complete LSRs that have circuits that test good and to sup out LSRs with circuits that fail testing. An example of this problem of related orders is with a hospital SEAP0104650. 7 of 10 circuits tested good. Because 3 circuits on related LSRs failed testing, Qwest’s policy stated the work done on the 7 good circuits would have to be worked back and all 10 LSRs needed to be sup’d for a new due date. Qwest’s policy to do all or none causes excess re-work and problems associated with working-back circuits to Qwest.

Modification - 11/27-01:

The CR will focus on accepting partial LSRs that are related to multiple LSRs and will also evaluate any differences on managed cuts versus coordinated cuts.


Status History

11/02/01 - CR received by Donna Osborne - Miller of AT&T

11/02/01 - CR status updated to Submitted

11/02/01 - Updated CR sent to Donna Osborne-Miller of AT&T

11/12/01 - Left voice messages for Donna and Jonathon at AT&T to schedule clarification meeting.

11/14/01 - CMP Meeting - AT&T presented its CR.

11/19/01 - Clarification Meeting scheduled with AT&T for 11/27..

11/27/01 - Conducted Clarification meeting with AT&T.

11/27/01 - Issued Clarification Meeting Minutes to AT&T.

12/04/01 - Issued e-mail to AT&T requesting additional information.

12/12/01 - CMP Meeting - CLEC Clarification was made on the CR. Qwest advised that its current practice allows what the CR is requesting. Qwest to formalize its response. Status of CR changed to Evaluation.

01/08/02 - Issued Qwest's Draft Response dated December 27, 2001 to AT&T and posted to dBase.

01/16/02 - CMP meeting - Qwest presented its Draft Response. It was agreed that the CR could move into CLEC Test.

01/21/02 - Issued Qwest's Response dated December 27, 2001 to CLEC Community.

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

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


Project Meetings

Subject: CR PC110201-2 Date: Tue, 04 Dec 2001 13:18:28 -0700 From: Richard Martin Organization: Qwest Communications International, Inc. To: Jonathan Spangler CC: Mark Coyne , Deborah Osborne

Jonathan,

This e-mail is a follow-up to the voice mail I left yesterday. In the voice mail I indicated that we were still looking to get the names of the individuals that provided the direction referenced in our 11/27 Clarification Meeting. In addition, I advised that it appears that the PON referenced in the CR, SEAP0104650, is not in Qwest's system. Could you please double check the PON number or provide the related LSRs.

Thanks for your cooperation,

Ric

CLEC Change Request Clarification Meeting

Date: November 27, 2001, 9:30 (MT) Place: Conference Call Conference Call-In No.: 877-542-1728 CR No.: PC110201-2, Partial Turn-up of circuits on multiple related LSRs

Attendees: Ric Martin, Qwest Mark Coyne, Qwest Connie Winston, Qwest Jonathan Spangler, AT&T Horacce Fluker, AT&T Shelia Dizon-Crun, AT&T

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

Review Requested (Description of) Change Jonathan Spangler provided two (2) examples where they were advised that they had to SUPP all LSRs when partial LSRs or Circuits were completed.

First – AT&T had issued 10 separate LSRs that were related to one another and 7 of the 10 were good circuits. Qwest personnel, including supervision and after the initial escalation, advised AT&T that they would only do all 10. Second – AT&T had several circuits on one LSR. One circuit was a DSL TN and they couldn’t port all TNs. This was resolved by AT&T issuing a SUPP to remove the DSL TN.

It was agreed that this CR would only focus on the first example and AT&T would evaluate if they wanted to issue a Change Request on the second example. In addition to evaluation the first example, AT&T wanted Qwest to advise of any differences for handling managed cuts versus coordinated cuts. AT&T advised that they wanted, in the first example, to be able to complete the 7 LSRs and SUPP out the other 3. Connie Overly advised that she believed that was Qwest’s policy. Jonathan advised that this was contrary to what AT&T was told in their Quality Service Manager call. In addition Qwest’s associate, supervisor and escalation manager advised otherwise. Qwest is to confirm the policy. Qwest requested AT&T to provide the names of the individuals that center.

Confirm Areas & Products Impacted The products listed on the CR are the products AT&T want to ensure is covered. . Confirm Right Personnel Involved Qwest had the appropriate SMEs involved.

Identify/Confirm CLEC’s Expectation AT&T wanted clarification on Qwest’s policy and documentation of the policy.

Identify any Dependent Systems Change Requests There is no corresponding System CR

Establish Action Plan (Resolution Time Frame) AT&T will advise of the Qwest personnel involved in the example. Qwest will confirm its policy and provide documentation Qwest will provide appropriate communication of correct policy. The CR will be Clarified with the CLECs at December’s CMP and Qwest will advise on the above.

-


CenturyLink Response

Wholesale Product Marketing

December 27, 2001

Jonathon Spangler ILEC Relations Manager AT&T

This letter is being sent in response to CLEC Change Request Form # PC110201-2. PC110201-2 pertains to a request to change the due date on one or more LSRs that were previously submitted in a group of related PONs. This response addresses the current IMA process for changing the due date on one or more LSRs within a group of related PONs allowing the remaining PONs to be processed.

IMA Process:

A supplemental LSR should be issued for the PON requiring the due date change. The value entered in LSOG field 25 SUP should be “3” because there will be other changes on the LSR in addition to the due date change.

The value entered in LSOG field 51 RPON should be blank to indicate that this PON is no longer part of a related group.

The value of LSOG field 14 DDD should contain the new desired due date.

The value of LSOG field 10 PGofPageof should follow the LSOG business rules for the product specified on the LSR.

The LSOG business rules are documented on the Qwest website http://www.qwest.com/wholesale/clecs/lsog.html.

Sincerely, Deborah Osborne Process Specialist


Open Product/Process CR PC110201-1 Detail

 
Title: Qwest Rate Center Maps
CR Number Current Status
Date
Area Impacted Products Impacted

PC110201-1 Completed
3/20/2002
LNP
Originator: Van Meter, Sharon
Originator Company Name: AT&T
Owner: Saunders, Craig
Director:
CR PM:

Description Of Change

Qwest determines the Rate Centers. AT&T needs to mirror the Rate Center areas for residential LNP. What is the process for obtaining Rate Center Maps from Qwest?


Status History

11/01/01 - CR received from Sharon Van Meter of AT&T

11/02/01 - CR status updated to Submitted

11/02/01 - Updated CR sent to Sharon Van Meter of AT&T

11/14/01 - CMP Meeting - AT&T presented its CR in open forum. Qwest would expand CR to include CLLI codes, Eschelon requested DA maps also be included. AT&T asked that the clarification meeting be held with all CLEC community.

11/16/01 - Held Clarification Meeting with AT&T, Eschelon and Worldcom (see meeting minutes and Eschelon e-mail).

12/12/01 - CMP Meeting: AT&T presented this CR, Qwest SME in attendance. Discussion on the level of detail and the location needed for each map. Status changed to Evaluation. Qwest will present their draft response at the January CMP meeting.

12/18/01 - Requested example rate map from LeiLani Hines (Worldcom). She posted to Qwest via mail the same day.

12/21/01 - Map received by Qwest. Craig Saunders has copy.

01/04/02 - E-mail from AT&T requesting map examples

01/04/02 - E-mail response to AT&T

01/04/02 - E-mail from Eschelon requesting additional information on Qwest response content

01/09/02 - E-mail from Qwest asking for AT&T address to forward map example.

01/09/02 - E-mail from Qwest responding to Eschelon e-mail on Qwest response content

01/10/02 - Draft response dated 01/10/02 posted to the CMP database and issued to AT&T. Status changed to "Presented"

01/16/02 - January CMP meeting. Qwest presented their response. Eschelon asked if they will be able to use these maps for predicting rates for their lines. Qwest took an action to respond to this request at the February CMP meeting. Status will remain in "Presented" status.

01/18/02 - E-mail with AT&T mailing address for map example

01/18/02 - Clarification e-mail from Eschelon

01/18/02 - Map request e-mail from Eschelon

02/20/02 - February CMP meeting: Qwest will have the rate center maps on the wholesale web site by the end of this week. There will also be a web form to enable CLECs to order maps to a street level detail. CR status changed to "Development" until CLECs are notified of URLs. CR status will then change to CLEC Test status. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

03/01/02 - Formal response dated 03/01/02 posted to the CMP database. Response was updated to include the URL for rate center maps

03/01/02 - Formal response dated 03/01/02 issued to CLECs. Notification number: CMPR.03.01.02.F.01233.CR_Responses

03/04/02 - Formal response dated 03/01/02 posted to web in the Product & Process Interactive report URL: http://qwest.com/wholesale/cmp/changerequest.html CR Status changed to "CLEC Test"

03/20/02 - March CMP Meeting: CLECs agreed to close CR. CR Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

01/18/02 Map request e-mail from Eschelon

Subject: RE: Clarification on Rate Maps/document to determine zones for lo op rates Date: Fri, 18 Jan 2002 17:13:09 -0600 From: "Clauson, Karen L." To: Todd Mead CC: Kathleen Stichter , "Morrisette, Garth M." , Susan Travis Todd: Garth has indicated that we also need the rate center maps as well. Please send copies to Kathy Stichter. Thanks.

01/18/02 Clarification e-mail from Eschelon

Subject: RE: Clarification on Rate Maps/document to determine zones for lo op rates Date: Fri, 18 Jan 2002 17:12:04 -0600 From: "Clauson, Karen L." To: Todd Mead CC: Kathleen Stichter , "Morrisette, Garth M." , Susan Travis I will be in Denver for the CMP Re-design meeting on Tuesday-Thursday. We can discuss on a break, if you would like. Otherwise, you can arrange a call with Kathy Stichter and Garth Morrisette while I am out, if Kathy can find a suitable time for you. Essentially, we are simply asking for the documentation that allows us to determine where our lines (and future lines) fall within the zones that have been established for geographically deaveraged loop rates. For example, a newspaper article in Denver said that Zone 1 (the most dense zone) covered most of the city of Denver. What are the boundaries of that Zone? Do you have a list of wire centers/CLLI code by zone (where the zone is defined by wire centers) or a map that shows these zones? We need this information for AZ and CO. I am copying Susan Travis of WCOM, because she had this same request, and she may have other states.

01/18/02 E-mail with AT&T mailing address

Subject: RE: Your Address Date: Fri, 18 Jan 2002 12:50:10 -0500 From: "Van Meter, Sharon K, NCAM" To: "Todd Mead" CC: "Saunders, Craig" Todd, Thanks for the reminder. 1875 Lawrence St. Room 8-15 Denver, CO 80205 Thanks for your help. Sharon Van Meter Western Region LSAM 303-298-6041 303-540-1637 (pager)

--Original Message-- From: Todd Mead [mailto:tmead@qwest.com] Sent: Friday, January 18, 2002 10:42 AM To: Van Meter, Sharon K, NCAM Cc: Saunders, Craig Subject: Your Address Sharon, Please send me you mailing address and we will send you a copy of the map you requested. Thanks Todd

01/09/02 E-mail from Qwest responding to Eschelon e-mail on Qwest response content

Subject: Re: Qwest Rate Center Maps Date: Wed, 09 Jan 2002 16:09:55 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: "Clauson, Karen L." CC: "Van Meter, Sharon K, NCAM" , jmschu4@qwest.com, susan.a.travis@wcom.com, "Saunders, Craig" , "Stichter, Kathleen L." Karen, Yes! The Qwest response presented at next week's CMP meeting will encompass the information you refer to below. Thanks Todd

01/09/02 E-mail from Qwest asking for AT&T address to forward map example.

Subject: Re: Qwest Rate Center Maps Date: Wed, 09 Jan 2002 16:07:41 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: "Van Meter, Sharon K, NCAM" CC: jmschu4@qwest.com, susan.a.travis@wcom.com, klclauson@eschelon.com, "Saunders, Craig" Sharon, The map the Qwest individual referred to in the CMP meeting is the same as the example Worldcom sent us. Sharon, if you can send me your address I will make sure a copy is sent to you for your review. Thanks Todd

01/04/02 E-mail from Eschelon requesting additional information on Qwest response content

Subject: RE: Qwest Rate Center Maps Date: Fri, 4 Jan 2002 11:26:00 -0600 From: "Clauson, Karen L." To: Todd Mead , "Van Meter, Sharon K, NCAM" CC: jmschu4@qwest.com, susan.a.travis@wcom.com, klclauson@eschelon.com, "Saunders, Craig" , "Stichter, Kathleen L." Todd: Thanks for the helpful response. Since Sharon asked specifically about the rate center maps, I wasn't sure that your response below deals with the Distribution Area (DA) maps requested by Eschelon. Will we be getting the DA maps at the January meeting? Also, at the meeting in December, we discussed whether the CLECs were actually requesting the correct items to meet their objectives (e.g., being able to identify customers in zones for geographically deaveraged rates). I believe this caem up because Qwest said that it didn't know if it had maps of the type requested. If not, then Qwest must look at something else to make these determinations. We asked that, if we had not requested the documentation used by Qwest for this purpose, that such documentation also be produced. Have you determined yet whether Qwest has different documents/maps and, if so, will that be provided at the January meeting? Thanks, Karen

01/04/02 E-mail response to AT&T

From: Todd Mead [SMTP:tmead@qwest.com] Sent: Friday, January 04, 2002 11:14 AM To: Van Meter, Sharon K, NCAM Cc: jmschu4@qwest.com; susan.a.travis@wcom.com; klclauson@eschelon.com; Saunders, Craig Subject: Re: Qwest Rate Center Maps Sharon, Thanks for your e-mail. At the December CMP meeting, we had a general clarification on this CR where you presented the business reasons for submitting this CR and then the Qwest SME's asked you several questions pertaining to the exact nature of information you were after with these rate center maps. The following are notes I documented from the December CMP clarification meeting: - What states you wanted maps for (Washington, Utah, Colorado, Oregon, Minnesota, Arizona & New Mexico) - What level of detail (you want to be able to see what rate center a specific address is located in) - What format you are after (CLECs prefer electronic, however hard copy would do) - Whether you wanted to only see major metro areas i.e.. Denver, Aurora, Smokey Hills etc. CLECs agreed to this - Eschelon wanted to know if these maps would show how each customer is being served i.e. RSU (Qwest responded they would not and Eschelon responded that they may submit a separate CR). - Worldcom wanted to know if the maps show the CILLI detail (they had some examples from previous USWest maps). We have since contacted LeiLani and she has forwarded a copy of these old maps to the Qwest SME to review to help their response preparation. - You also want the response to include the process for getting these maps updated At the January CMP meeting (01/16/02) Qwest will present their response to your CR. The Qwest team is currently working on this response and I will e-mail it to you (plus Eschelon and Worldcom) as soon as I receive it from the Qwest SME. The response will also be posted to the CMP database and published on the web no later than next Friday (01/11/02). If I have missed something here, I would be more than happy to discuss this with you. You can call me anytime today to discuss this. Regards Todd

01/04/02 E-mail from AT&T requesting map examples

Subject: Qwest Rate Center Maps Date: Fri, 4 Jan 2002 10:49:43 -0500 From: "Van Meter, Sharon K, NCAM" To: CC: , , Todd, I haven't heard anything about the deliver of the Rate Center Maps. It was my understanding that you would contact me and deliver some maps for my review. Please advise. Sharon Van Meter Western Region LSAM 303-298-6041 303-540-1637 (pager)

12/18/01 e-mail from Worldcom to Qwest

Todd, Sure, I will put one in the mail today. LeiLani Hines Worldcom Carrier Management

12/18/01 e-mail from Qwest to Worldcom

Leilani, The Qwest SME would like to see the copy of the map you have. Could you please send him one? Thanks, Todd

> From: Stichter, Kathleen L. > Sent: Friday, November 16, 2001 3:18 PM > To: 'mbelt@qwest.com' > Subject: PC110201-1 > > Mike, > Qwest has a web site http://www.qwest.com/iconn/ that a CLEC can go to and > click on Outside Plant Jobs Greater than $100K to get information on the > build jobs Qwest is planning. Once at this web page the details Qwest > gives are: > State, WireCenter, Job #, Fiber/Cooper, Quantity, Location i.e. DA/CLLI, > Ready for Service and Completion Date. The information populated in the > Location field is either CLLI or DA (Distribution Area). The DA data is a > number i.e. 310211. This number, for the distribution, means nothing to > Eschelon without a map detailing the bounderies down to street level > detail of the specific distribution area. > Thanks > > Kathy Stichter > ILEC Relations Manager > Eschelon Telecom Inc

3:00 p.m. (MDT) / Thursday 16th Nov 2001 Clarification Meeting Conference Call

Attendees: Sharon Van Meter / AT&T Matt Kruzic / Qwest Jacob Barlow / Qwest Jan Attebarry / Qwest Craig Saunders / Qwest Mary Anderson / Qwest Michael Belt / Qwest Kathy Stichter / Eschelon (called later) Tom Dixon / Worldcom (called later)

Review Requested (Description of) Change: AT&T – Qwest Rate Center maps to be public information to the CLEC Community Eschelon & Worldcom would like the DA and CLLI Maps also included with this CR.

Products Impacted - LNP

Identify/Confirm CLEC’s Expectation - Yes the expectations of the CR are understood, need to clarify the issue of Proprietry Qwest information.


CenturyLink Response

March 1, 2002

Sharon Van Meter Manager AT&T 1875 Lawrence St. Denver, CO 80205

SUBJECT: Qwest’s Change Request Response - CR # PC110201-1 Qwest Rate Center Maps

REQUEST: Qwest determines the Rate Centers. AT&T needs to mirror the Rate Center areas for residential LNP. What is the process for obtaining Rate Center Maps from Qwest?

Additional clarifications/requests: Requested maps at a street level detail. Requested maps for MSA’s in Arizona, Colorado, Washington, Utah, Oregon, Minnesota, & New Mexico Prefer electronic, however paper will do. Requested maps at a level to determine DA areas. Requested maps at a CLLI level detail. Requested a process to update maps.

RESPONSE: Qwest has provided, on the Qwest Wholesale web site, the same rate center maps that Qwest uses and updates on a quarterly basis. The URL is:

www.qwest.com/wholesale/network/ratecentermaps.html

Qwest does not solely rely upon rate center maps to determine number portability. Qwest, as well as other companies, relies upon the Local Exchange Routing Guide (LERG) as the official guide to determine the portability of a number. Qwest determines whether a number is available for porting by looking at the customers switch information, both from and to, which reflects the serving rate center. As determined by the FCC, Qwest does not permit the porting of the numbers between two different rate centers.

Currently the Rate Center maps used by Qwest and provided on the wholesale website do not have the capability to provide wire center street level detail. Maps of DA’s are available through the Qwest Wholesale web site by following the process outlined under the URL:

www.qwest.com/wholesale/pcat/remotecollocation.html

Requesting multiple DA’s in a particular wire center will enable CLEC’s to ascertain the description of the wire center boundary.

In regard to the request for maps where Qwest plans fiber and copper jobs greater than $100,000, Qwest has plot maps that are available for review as outlined in SGAT section 10.8.2.4. Qwest agrees to provide CLEC access to relevant plats upon receiving a bona fide request for such information as stated in the SGAT.

Sincerely,

Craig Saunders Staff Advocate Policy & Law Qwest

CC: Barry Orrel, Director Legal Issues, Qwest Jim Eitel, Director Legal Issues, Qwest Lydia Eiguren, Senior Director Business Development, Qwest John Hayat, Staff Advocate Policy & Law, Qwest Mary Retka, Director Legal Issues, Qwest


Open Product/Process CR PC090401-4 Detail

 
Title: Clarify Qwest’s process on completing LSRS day after due date
CR Number Current Status
Date
Area Impacted Products Impacted

PC090401-4 Completed
11/14/2001
Ordering and Billing LNP
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

QWEST notified CLEC community LSRS would complete orders day after at 11:59 pm of install date to coincide with disconnect in switch.. Qwest escalation center is stating that orders can start closing as early as 3pm with the possibility of closing even sooner with disconnect to follow. Interconnect has stated that if Qwest determines that there is a large volume of orders to close, they can decide a random time to start the process. AT&T would like to understand why this time frame fluctuates if the closing of these orders causes the disconnect in the switch to shift to an earlier time. AT& T is requesting a flow chart or documentation explaining and listing the backend systems for this process.


Status History

09/04/01 - CR Received from Donna Osborne-Miller of AT&T

09/04/01 - Status changed to New - To be Reviewed

09/04/01 - Updated CR sent to Tim Bessey and Donna Osborne-Miller of AT&T

09/21/01 - Clarification Meetings held with CLEC's.

10/11/01 - Draft Response posted to database.

10/17/01 - CMP Meeting: Draft response presented. Qwest to revise and issue final response. It was agreed that current status be changed CLEC Test.

10/17/01 - Draft response issued to CLEC Community

11/01/01 - Sent final response to Donna OsBorne-Miller at AT&T

11/06/01 - Sent revised final response to Donna OsBorne-Miller at AT&T

11/06/01 - AT&T reply to Qwest final response dated November 6, 2001. Qwest only considers business days in the LNP process.

11/14/01 - AT&T moved to close this CR at the November CMP meeting.

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


Project Meetings

November 6, 2001 AT&T reply to Qwest final response dated November 6, 2001 Joan Wells Qwest LNP Process Manager

RE: CR Form #PCCR090401-4

The intent of this change request was to clarify Qwest’s LNP process and to address any discrepancies in the information provided by their Denver Interconnect Center on August 15th, August 17th, August 24th and August 31st to AT&T. Qwest’s Denver Interconnect Center stated on multiple conference calls (to AT&T Broadband and to LNS) that calendar days, instead of business days, would be counted in the LNP process. Discussions with Qwest at the October 17th Product and Process CMP meeting clarified that Qwest uses business days.

AT&T understands this to mean that if a port is scheduled on a Friday or Saturday, Qwest will not jeopardize the end customer by closing the LSR or removing the switch translation any earlier than the next business day. Next business day is defined as the following Monday at 11:59 p.m. AT&T wants to clarify that holidays do not constitute a Qwest business day. Therefore, Friday, Saturday or Sunday ports would not be disconnected out of the switch until the following Tuesday at 11:59 p.m. if Monday is a designated holiday.

Qwest states that their Interconnect Centers have been advised and are aware of this process. The process states that the ten (10) digit unconditional trigger and switch translations associated with the end user customer’s telephone number will not be removed, nor will Qwest disconnect the customer’s billing and account information, until 11:59p.m. (local time) of the next business day after the due date.

AT&T interprets this to mean Qwest has provided documentation and training to the typists at Sierra Vista, Phoenix, and Duluth Centers, both Interconnect Service Centers, the RCMAC center and any additional Qwest centers directly related to the LNP process. AT&T Broadband will reference Qwest’s letter dated October 29, 2001 to restore loss of dial tone when it is a direct result of non-adherence to Qwest’s LNP process by any Qwest employee of these centers. AT&T further expects the duty supervisors to be well versed in this process and provide consistent action and information based on this process.

Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes

Friday, September 21st, 2001 Alignment/Clarification Meeting

Donna Osborne-Miller, dosborne@att.com,AT&T Terry Bahner, tbahner@att.com, AT&T Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Linda Miles, llmiles@qwest.com, Qwest Russ Urevig, rurevig@qwest.com, Qwest Joan Wells, jmwell2@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest Ric Martin, rhmart2@qwest.com, Qwest

Introduction of Attendees Donna, Terry, Kathy, Linda, Russ, Joan, Kate, and Ric Review Requested (Description of) Change Clarify process to complete LSRS the day after due date. Confirm Areas & Products Impacted Areas: Ordering and Billing Products: LNP Confirm Right Personnel Involved Joan is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. After the clarification meeting, it was determined that Linda and Russ will not need to be involved in this CR. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Identify/Confirm CLEC’s Expectation AT&T has asked Qwest to clarify the process for completing LSRS the day after due date. Per AT&T, “Qwest notified the CLEC community LSRS would complete orders day after at 11:59 p.m. of install date to coincide with disconnect in switch. Qwest escalation center is stating that orders can start closing as early as 3 p.m. with the possibility of closing even sooner with disconnect to follow. Interconnect has stated that Qwest determines that there is a large volume of orders to close, they can decide a random time to start the process. AT&T would like to understand why this time frame fluctuates if the closing of these orders causes the disconnect in the switch to shift to an earlier time. AT&T is requesting a flow chart or documentation explaining and listing the backend systems for this process.” Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Joan will clarify this process via a flowchart and written formal response draft. She will forward this documentation to Kate by the morning of 10/5/01. Kate will review and forward this information to Michael Belt to store in the CR database by 10/8/01 for CLEC review. This information can then be reviewed and discussed by the CLEC Community at the October CMP Meeting. Donna and Terry can view this information on the CR database and this CR can then be reviewed and discussed by the CLEC Community at the October CMP Meeting. Corrections/updates can then be made at that time.


CenturyLink Response

Wholesale Product/Process Final Response

November 6, 2001

Ms. Terry Bahner Ms. Donna Osborne-Miller AT&T Communications

This letter is in response to CLEC Change Request PCR090401-4, dated September 4th, 2001, title of change: Clarify Qwest’s process on completing LSR’s day after due date. This Change Request pertains to the implementation of the new LNP process involving stand alone LNP port out service order requests.

Description of Change as noted in CR: QWEST notified CLEC community LSRS would complete orders day after at 11:59 pm of install date to coincide with disconnects in switch.. Qwest escalation center is stating that orders can start closing as early as 3pm with the possibility of closing even sooner with disconnect to follow. Interconnect has stated that if Qwest determines that there is a large volume of orders to close, they can decide a random time to start the process. AT&T would like to understand why this time frame fluctuates if the closing of these orders causes the disconnect in the switch to shift to an earlier time. AT& T is requesting a flow chart or documentation explaining and listing the backend systems for this process.

Implementation of this Qwest business process change was included in the IMA 8.0 release and was deployed effective August 20th, 2001.

The change is as stated: The ten (10) digit unconditional trigger and switch translations associated with the end user customer’s telephone number will not be removed, nor will Qwest disconnect the customer’s billing and account information, until 11:59p.m. (local time) of the next business day after the due date. Internal Qwest systems have been adjusted to accommodate this process change.

* Order completion and disconnect of translation’s will not occur prior to 11:59 p.m. the next business day following the due date.

* The subscription date to ASMS is sent to match the CLEC requested due date as available per the standard interval guide.

* The FOC is sent and matches the ASMS subscription date requested by the CLEC as available per the standard interval guide.

* An effective billing date to discontinue account billing is added to the order to match the actual port subscription date as requested by the CLEC and as available per the standard interval guide.

* Additional notification and a reminder of this current process was sent to the Interconnect Center’s through an internal communicator dated 10/29/01. The title was “Qwest response to CLEC questions concerning the current LNP Port Out process of holding switch translations and order completion until the next business day at 11:59pm.” * The process agreement is as stated: The ten (10) digit unconditional trigger and switch translations associated with the end user customer’s telephone number will not be removed, nor will Qwest disconnect the customer’s billing and account information, until 11:59p.m. (local time) of the next business day after the due date.

For due date changes or cancellation’s on existing LSR’s the following process should be followed:

Due Date Changes * You must notify Qwest via LSR supplement or notification to the ISC if you require a DD change for your port activity * Notifications of DD changes via a LSR supplement should be made as soon as possible on the DD and prior to 8:00 PM Mountain Time. * Late notification of DD changes will require that you call the ISC prior to 12:00 noon on the day after the DD (in the end-users' time zone) and issue a LSR supplement via IMA or IIS to confirm the request. If the port due date falls on a Saturday, the CLEC should notify the ISC no later than the following Monday by noon of the DD change. * Late DD change notifications after 12:00 noon the day after the DD, will require you to contact the Call Center Representative at 888-796-9087 to initiate an escalation ticket for these late changes. The CLEC should also issue a LSR supplement via IMA or IIS to confirm the request. The CLEC should also issue a LSR supplement via IMA or IIS to confirm the request.

Cancels * You must notify Qwest via LSR supplement or notification to the ISC if you require a cancel of the port activity. ? Notifications of DD cancels via a LSR supplement should be made as soon as possible on the DD and prior to 8:00 PM Mountain Time. * Late notification of DD cancels will require that you call the ISC prior to 12:00 noon on the day after the DD (in the end-users time zone) and issue a LSR supplement via IMA or IIS to confirm the request. . If the port due date falls on a Saturday, the CLEC should notify Qwest no later than the following Monday by noon of the cancellation. * Late cancel notifications after 12:00 noon the day after the DD will require you to contact the Call Center Representative at 888-796-9087 to initiate an escalation ticket for these late cancels. The CLEC should also issue a LSR supplement via IMA or IIS to confirm the request.

Qwest Interconnect Service Center hours of operation to support the functions described above are: 6 AM to 8 PM Mountain Time, Monday-Friday 7 AM to 5 PM Mountain Time on Saturday

With the implementation of this new process, the CLEC is still responsible for notifying Qwest if they are unable to meet their requested port due date. Service order completion and disconnect of switch translation’s are not scheduled to occur anytime prior to the 11:59 p.m. time frame the next business day following the due date. However, the port subscription message was sent for the initial CLEC desired due date and changes or cancellation’s must occur as outlined above or as noted in the supplement information listed in the Product catalog.

Sincerely,

Joan Wells Process Manager Local Number Portability

CC: Margaret Bumgarner Lorna Dubose Constance Overly Kate Spry


Open Product/Process CR PC120301-6 Detail

 
Title: Two Six Code Inventory For Local Interconnection Trunk Groups Ordered By Qwest
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-6 Completed
12/18/2002
Provisioning Local Interconnection Service (LIS)
Originator: Stryczek, Kathy
Originator Company Name: AT&T
Owner: Olsen, Linda
Director:
CR PM: Thomte, Kit

Description Of Change

When Qwest orders a local interconnection trunk group, AT&T assigns the two-six code and returns it to Qwest on the FOC. Qwest should be inventorying the two-six code that AT&T assigns for Qwest-initiated ASRs. However, Qwest is not inventorying the AT&T two-six code. Qwest is assigning their own two-six code. This presents a major problem in a number of areas including maintenance. One of the first pieces of information asked by Qwest when AT&T reports a trouble is to provide the two-six code. AT&T provides the AT&T-assigned two-six code, but Qwest didn't inventory it so the Qwest maintenance group can't find the trunk group AT&T is reporting.

Here is the industry documentation from the ASOG for two-six code assignment:

53 TSC - Two Six Code

Identifies a code assigned to a trunk group or a CCS link

Set.

NOTE 1: The code set is unique to each established

trunk group or CCS Link Set and is provided to the

customer on the Firm Order Confirmation or Design and

Order Confirmation. The TSC entry may then be

populated by the customer when ordering changes,

additions or deletions to an existing trunk group or CCS

Link Set.

Clearly Qwest is not in compliance with inventorying the two-six code, as the ASOG specifically states the two-six code is provided to the customer on the FOC. In the case where Qwest initiates ASRs, Qwest is the customer and AT&T is the supplier. Consequently, Qwest should be inventorying the two-six code provided by AT&T to Qwest on the FOC.

Expected Deliverables:

AT&T expects that Qwest will comply with industry guidelines and change process to begin to inventory the two-six code that AT&T assigns to Qwest-initiated ASRs.


Status History

12/03/01 - CR Submitted by AT&T and acknowledged by Qwest

12/07/01 - Clarification call arranged for 12/10/01, rescheduled for 12/11/01 at AT&T's request

12/11/01 - Clarification call held with AT&T

12/12/01 - CMP Meeting, AT&T introduced their CR, status changed to Clarification

12/14/01 - Draft clarification meeting minutes issued to AT&T

01/16/02 - January CMP meeting. The CR was clarified with the CLEC community. Qwest presented various potential manual and system options. Qwest received feedback on potential solutions and will continue to evaluate scenarios for presentation at the February CMP meeting. Status changed to "Evaluation"

02/12/02 - Draft response sent to AT&T and entered into CMP Database

02/19/02 - E-mail from AT&T with some questions about Qwest's response

02/20/02 - February CMP meeting: Qwest response dated 02/12/02 presented to CLECs. Qwest will present expected time frame for system implementation at the March CMP meeting. CR Status changed to "Development" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/22/02 - Formal response dated 02/12/02 issued to CLECs - Document Number: CMPR.02.22.02.F.01229.CR_Responses

03/20/02 - March CMP Meeting: Status update provided to CLECs, CR status to remain in "Development." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/12/02 - Revised response dated 04/10/02 sent to AT&T

04/12/02 - Revised response dated 04/10/02 posted to the web

04/17/02 - April CMP Meeting: Qwest presented revised response dated 04/10/02. Qwest agreed to open a related systems CR. Status of this CR to be advised after discussions with Judy Schultz. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/24/02 - Issued Systems CR to cmpcr@qwest.com on behalf of AT&T

05/15/02 - May CMP Meeting: CLEC participants agreed that the CR could be closed. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

06/14/02 - Held status session with AT&T

06/25/02 - Held status session with AT&T

06/27/02 - Held status session with AT&T

07/11/02 - Held status session with AT&T

07/18/02 - This CR was reopened under Product and Process as agreed to in the monthly Systems CMP meeting.

07/25/02 - Held status session with AT&T

08/21/02 - August CMP Meeting: This CR will remain in "Development" Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.

09/11/02 - Sent Revised Response to AT&T

09/18/02 - September CMP Meeting: This CR will remain in "Development" Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.

09/26/02 - Contacted AT&T to establish status session.

10/07/02 - Held status Meeting with AT&T

10/16/02 - October CMP Meeting: This CR will remain in "Development" Status Meeting minutes posted to this CR's Project Meetings section and the CMP Web site.

11/20/02 - November CMP Meeting: This CR was changed to "CLEC Test" Status, Meeting minutes posted to this CR's Project Meeting section and the CMP Web site.

12/18/02 - December CMP Meeting: This CR Changed to Completed status. Meeting Minutes posted to this CR's Project Meeting sectiona dn the CMP Web site.


Project Meetings

12/18/02 - December CMP Meeting Qwest (Thomte) reported that the process is working as agreed to AT&T advised it is O.K. to close this CR. This CR will change to Completed status.

11/20/02 November CMP Meeting Qwest (Thomte) indicated that the trial orders that were established to convert the embedded base trunk groups in Wyoming were successful. The result is that both new trunks and embedded trunk groups appear to process through the systems using the AT&T Two Six code of CC. Qwest recommended that this CR move to CLEC Test and potentially be completed in December.

10/16/02 October CMP Meeting Qwest (Thomte) indicated that the trial was continuing and that two trial groups that are due to complete in early November. This CR to remain in “Develoment”.

08/21/02 - August CMP Meeting Qwest (Thomte) indicated progress had been made on this CR. Back end systems and reporting capability should be capable of accepting non Qwest two six code during September. Qwest and AT&T anticipate having a status meeting in late August. AT&T (Van Meter) concurred with the read out. This CR will remain in "Development" status

02/19/02 E-mail from AT&T with some questions about Qwest's response

Subject: RE: Qwest Response to Change Request PC120301-6 "Two-Six Code Inv entory for Local Interconnection Trunk Groups Ordered by Qwest" Date: Tue, 19 Feb 2002 17:20:24 -0600 From: "Stryczek, Kathleen K (Kathy), BNSVC" To: Michael Keegan CC: "Olsen, Linda Kae" , "Martin, Richard" , "Mead, Todd" , "Adkisson, Ann B, NCAM" , "Feinstein, Philip G (Phil), NNCER" , "Scherer, Esther A, NCAM" Michael, Thank you for your response to request PC120301-6 for Qwest to inventory the two-six code provided by AT&T on local interconnection trunk groups ordered by Qwest. If Qwest used the two-six code as the PON, would AT&T be able to report trouble tickets using the AT&T assigned two-six code? Also, would the Qwest maintenance group be able to locate a trunk group by searching for a PON which would have the two-six code embedded? If Qwest uses the AT&T two-six code only in the PON, but not in other systems, then I am concerned that Qwest may not be able to find the two-six code and associated trunk group when AT&T is reporting a trouble involving trunk groups ordered by Qwest. Kathy Stryczek AT&T 602-277-4527

Clarification Call, December 11, 2001, 11:00 am (MDT)

Attendees: Todd Mead, Qwest Linda Kae Olsen, Qwest Peggy Kilgus, Qwest Ann Adkinisson, AT&T Kathy Stryczek, AT&T Ester Shearer, AT&T

Reviewed description of Change Request.

Products impacted: Local Interconnection Service (LIS) Qwest need to have someone from the repair group who is involved in the management and use of the TIRKS system, involved in preparing the response to this CR. AT&T's expectation: AT&T would like Qwest to use the two-six code provided by AT&T when Qwest places an order for a local trunk group.

Action Plan: - Qwest will evaluate various options. This CR will be clarified with the CLEC Community at the January CMP Meeting. Qwest will provide a draft response for discussion at the February 2002 CMP meeting. - AT&T will provide Qwest with a contact in Ameritech to discuss ordering process and use of two-six codes. - Qwest to identify and involve the appropriate repair/TIRKS person to assist Linda in developing the draft response. An internal meeting will be held by next Wednesday (12/19/01)


CenturyLink Response

REVISED RESPONSE

September 6, 2002

Kathy Stryczek AT&T

Subject: PC120301-6 Two-Six Code Inventory for Local Interconnection Trunk Groups Ordered By Qwest

This is a revised Qwest response to AT&T’s request, that Qwest comply with industry guidelines and change process to begin to inventory the two-six code that AT&T assigns to Qwest-initiated ASRs.

Qwest accepts AT&T’s request regarding complying with industry guidelines and inventory the two six code that is provided to Qwest on the FOC.

Qwest has worked in conjunction with AT&T to provide a trial request that will flow through the various systems and reporting processes. Qwest is currently making the appropriate modifications to support the request for AT&T.

Currently Qwest has one order that is in a trial process. AT&T has advised that they have additional orders expected in the near future. Qwest expects to address AT&T’s additional orders with the revised process.

Sincerely, Qwest

REVISED RESPONSE

September 6, 2002

Kathy Stryczek AT&T

Subject: PC120301-6 Two-Six Code Inventory for Local Interconnection Trunk Groups Ordered By Qwest

This is a revised Qwest response to AT&T’s request, that Qwest comply with industry guidelines and change process to begin to inventory the two-six code that AT&T assigns to Qwest-initiated ASRs.

Qwest accepts AT&T’s request regarding complying with industry guidelines and inventory the two six code that is provided to Qwest on the FOC.

Qwest has worked in conjunction with AT&T to provide a trial request that will flow through the various systems and reporting processes. Qwest is currently making the appropriate modifications to support the request for AT&T.

Currently Qwest has one order that is in a trial process. AT&T has advised that they have additional orders expected in the near future. Qwest expects to address AT&T’s additional orders with the revised process.

Sincerely, Qwest

REVISED RESPONSE

April 10, 2002

Ms. Kathy Stryczek Manager AT&T

SUBJECT: Qwest’s Change Request Response - CR # PC120301-6 Two-Six Code Inventory for Local Interconnection Trunk Groups Ordered by Qwest

This letter is a follow-up response to AT&T Change Request PC120301-6, requesting Qwest inventory the two-six code that AT&T assigns for Qwest initiated ASRs.

Qwest’s written response dated February 12, 2002 informed the CLEC community that Qwest was willing to perform a detailed economic and technical investigation to evaluate the feasibility of implementing the system changes required to meet the intent of this CR.

Qwest has completed its evaluation and has concluded the cost of changing the myriad of downstream-related systems needed to effect this change is prohibitive. Qwest suggests deferral of this CR until the 2003 fiscal year funding review, planned for later this year.

Therefore Qwest regretfully informs AT&T that this CR cannot be processed this year.

Sincerely,

Susan Bliss Director Process Management Qwest

FORMAL RESPONSE

February 12, 2002

AT&T Ms. Kathy Stryczek Manager

SUBJECT: Qwest’s Change Request Response - CR PC120301-6 Two-Six Code Inventory for Local Interconnection Trunk Groups Ordered by Qwest

This letter is in response to AT&T Change Request PC120301-6, Two-Six Code Inventory For Local Interconnection Trunk Groups Ordered By Qwest. AT&T has requested that Qwest inventory the two-six code that AT&T assigns for Qwest initiated ASRs.

During the CLEC Community clarification meeting held January 16, 2002, AT&T confirmed their desire for Qwest to inventory the TSC provided on the FOC for the order. AT&T agreed that this TSC, along with the TCICs and ACTL information provided today, could be provided during the up-front planning meeting for new markets. Qwest could then use this code as the PON number as well as possibly make program modifications that would allow it to be used as the TSC (TGAC) in the processing and inventory systems used by Qwest (EXACT, IABS, TIRKS, WFA, TRDB, etc.)

Qwest is willing to pursue internal system changes to evaluate the feasibility (technical and economical) of implementing such changes. Qwest can not determine all of the systems that would be impacted, nor what the downstream effects on the process would be until the systems evaluations are performed.

If this approach is acceptable to AT&T, Qwest will initiate the required internal system changes and provide a status update at the March CMP meeting.

Sincerely,

Linda Kae Olsen Process Specialist - LIS Qwest


Open Product/Process CR PC040501-1 Detail

 
Title: Legacy CR USOC Differentiation of Business and Residence
CR Number Current Status
Date
Area Impacted Products Impacted

PC040501-1 Withdrawn
5/16/2001
Billing Unbundled Loop
Originator: Dickinson Pardee, Carla
Originator Company Name: AT&T
Owner:
Director:
CR PM:

Description Of Change

This change request asks Qwest to create a list of business USOCs separate from residence USOCs to alleviate OCN problems for CLECs. In order to ensure that the appropriate billing unit, residence or business, receives the correct DUF files for billing purposes, two OCNs for each state are having to be used for each product. If there were separate business USOCs from residence USOCs, it would only be necessary to have one OCN for each state for each product.


Status History

04/03/01 - CR submitted by Carla Dickinson

04/05/01 - Status changed to New - To be Industry Evaluated and sent to Carla Dickinson

04/06/01 - Status changed to New - To be Clarified and questions sent to Carla Dickinson

04/06/01 - Updated CR sent to Carla Dickinson

05/16/01 - Status changed to Canceled - Qwest and Co-Provider as per May CICMP Meeting

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR 5579794 Detail

 
Title: Request Qwest to deliver Verification report in Excel or Access format versus flat text file.
CR Number Current Status
Date
Area Impacted Products Impacted

5579794 Withdrawn
7/10/2001
TBD SS7, LIS, Switched Services
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: To Be Determined
Director:
CR PM:

Description Of Change

SGAT language states that the submission of the form is optional and "will never be required". Translations refuses to complete routing of new trunks if the form is not submitted. Either the SGAT language must be changed or the form made optional.


Status History

6/06/01 – CR received by Donna Osborne Miller of AT&T

New - to be clarified – to discuss in 6/20 CICMP Meeting 6/07/01 – Status changed to New – to be evaluated

7/09/01 – Status changed to New – to be Clarified

7/10/01 – Clarification requested via email from AT&T (MR) 7/18/01 – Status changed to Canceled as per July CICMP Industry Team Meeting – being tracked in Systems CICMP


Project Meetings


Open Product/Process CR 5548341 Detail

 
Title: Collocation end to end testing
CR Number Current Status
Date
Area Impacted Products Impacted

5548341 Completed
11/14/2001
Ordering Collocation
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Nelson, Steve
Director:
CR PM:

Description Of Change

AT&T would like the assistance of Qwest to do End to End testing from the AT&T collocation space through the MDF on Qwest’s side of the collocation space. In today’s world, Qwest tests the cabling on the Qwest side of the MDF. AT&T tests the cabling on the AT&T side of the MDF. This cabling represents DS3, DS1 and DS0 circuits. At this time, neither company is testing through the MDF to assure continuity from end to end. As AT&T actually starts ordering local services on the circuits, there is no assurance, without the end to end testing, that the service for the customer will actually work when it is turned up. If AT&T tries to turn up a customer and there is no continuity, the service for the customer is delayed, which causes poor customer service. AT&T is willing, and has offered, to pay Qwest for the time it takes to conduct these tests.

8-01 AT&T request add’l testing documents in regards to end to end testing.


Status History

05/11/01 - CR received by Donna Osborne Miller of AT&T

05/14/01 - CR logged and status changed to New – To be Evaluated

05/16/01 - Status changed to Reviewed – Under consideration

06/18/01 - Qwest will perform tests on the Loop from the horizontal side of the ICDF in the Qwest serving Central Offices to the Network Interface Device (NID) on the end user’s premises. In addition to this testing and the provisioning option chosen by AT&T, continuity testing is also performed when the collocation is turned over to AT&T for acceptance. AT&T certainly has the opportunity to do their own continuity testing of the terminations between their collocation space and the vertical side of the ICDF if the proper installation of these facilities (by AT&T) have come under question. . Qwest currently offers six provisioning options, three which give the CLEC the ability to have joint, cooperative testing to the Unbundled Loop from end to end. An AT&T technician being in the collocation space and a Qwest technician potentially being on the customer’s premises. This “piece” of cable between AT&T’s collocation space and the vertical side of the ICDF is the responsibility of AT&T and is paid for, by AT&T, as part of the collocation build out. With that stated, AT&T is responsible for the testing, maintenance and subsequent repair if they were to find trouble in this cable “piece”. Due to the above noted procedures which are followed when testing the Unbundled Loop and the fact that AT&T owns the piece of cable they are requesting Qwest to test, this CICMP request should be denied and AT&T should continue to be responsible for testing their network components (DP)

07/12/01 - Drafted Response sent to CICMP team via email (MR)

08/09/01 - Meeting scheduled to discuss Qwest’s response to CR regarding End to End testing for August 15th. Meeting announcement sent July 27th and a reminder sent 08/06/01. Meeting materials will be distributed prior to the meeting. (MR)

08/15/01 - CLEC CMP Meeting Product & Process CR 5548341. Steve Nelson has reviewed the issue and has set-up a meeting for today. Minutes will be issued after the meeting.

08/16/01 - Revised Process sent to AT&T, but not accepted

08/28/01 - Two add’l testing process documents provided to AT&T , CO DVA Process and HOT Cut Process. Send by Steve Nelson , Authored by Steven Hilleary.

08/31/01 - Sent memo to Sharon Van Meter requesting acceptance of Qwest Position papers as acceptable to AT&T.

09/04/01 - AT&T forwarded response for review by Dennis Mckeon

09/14/01 - AT&T acceptance response received from Sharon Van Meter for End to End testing.

09/19/01 - CMP Meeting - It wa agreed that the CR would move into CLEC Test. Qwest to combine 2 processes and issue a formal document by 10/05/01.

10/17/01 - CMP Meeting: Qwest issued process documentation in meeting. Formal document to be forwarded to CLEC community via e-mail. No "Current Status" change.

10/19/01 - Qwest document combining 2 processes entered into database.

10/23/01 - Qwest technical documentation transmitted to originating CLEC (AT&T).

11/14/01 - CMP Meeting - it was agreed that the CR could be "Closed."


Project Meetings

Subject: Re: CR 5548341 End to End Testing Date: Mon, 24 Sep 2001 09:04:36 -0700 From: Steve Nelson Lyman McKee wrote:

Steve, My understanding from the CMP 9-17-01 meeting is that you are going prepare a combined document for the end to end testing for distribution to the CLEC community.

That documentation will include the CO DVA Process and the Hot Cut Process as authored by Steven Hilleary and Jerry Jenson.

My notes indicate you were targeting 10-3-01 as having that completed and available for distribution to the CLEC community for their review. This CR would then be reviewed for comments and closure at the 10-17 CMP meeting.

I will be on vacation from 9-25-01 until 10-10-01.

Please forward response and documentation to Matt Rossi for distribution to the CLEC community.

Also forward a copy to mbelt@qwest.com for updating the CMP database.

Lyman McKee 303-896-5260


CenturyLink Response

Steve Hilleary Central Office Staff 402 Valley Ave. NW Puyallup, WA. 98371 shillea@uswest.com

Memorandum To: Central Office Directors

September 21, 2001

LX - - DVA (48 Hour) DIAL TONE TESTING REQUIREMENTS

There has been some confusion about the requirement, documented in the CO DVA PROCESS, for the CO to perform a Dial Tone test on DVA for Unbundled Dial Tone Capable Loops (NC Code LX - -). The requirements are:

1. ALL orders provisioning LX - - circuits MUST be checked for Dial Tone at the ICDF CFA. This includes both HOT CUT (Reuse of Facility) and Basic New (Vacant Facility) orders. 2. If the CO performs this test prior to the DVA and: A. Dial Tone is present the results must be logged in the order OSSLOG, using the OSSRMK screen in WFA-C. B. Dial Tone is NOT present the CO personnel MUST arrange to retest for Dial Tone on the DVA Critical Date by either: - Completing the DVA step partially and reloading the step to the DVA date. - Completing the DVA step and manually handling the order for retest (Manual holding bin) - Completing the DVA step and creating their own work request to retest on the DVA, loading this item to themselves or someone else. If someone else is loaded, the person loading the request must check to ensure that person is scheduled to work and that they know the item is loaded to them. 3. If the test is performed on the DVA and: A. Dial Tone is present the results must be logged in the order OSSLOG, using the OSSRMK screen in WFA-C. B. Dial Tone is NOT present, the testing CO personnel MUST contact the Implementer or Coordinator assigned to work the order (check the OSSOI screen in WFA-C). If none is assigned them must call the toll free number for the Design Service Center handling the order and give the trouble condition to the first implementer or coordinator they reach. Any Center personnel receiving this call SHOULD take the report and initiate Center activity for CLEC notification. This test failure MUST be logged in the OSSLOG. 4. If the time between DVA critical date and Due Date commitment time is greater that two (2) business days, the DSC/QCCC Implementer or Coordinator will determine this and hand off an SPL48 ticket requesting a Dial Tone retest two business day before commitment date. This should be the only time the CO would expect such a handoff.

The important points to remember are: - The CO is ultimately responsible for ensuring this Dial Tone test is peformed. - The CO must arrange their own retest if working DVA steps prior to DVA and NO DIAL TONE is found. - SPL48 tickets will only be generated by the DSC/QCCC under the situation stated in item (4.) above.

Please cascade this memo through your organizations. If you have any questions or comments, please contact me.

Cc: Central Office Senior Directors Deborah Heckart Fred Aesquivel


Open Product/Process CR 5582078 Detail

 
Title: Expanding Qwest Interconnect Center’s hours
CR Number Current Status
Date
Area Impacted Products Impacted

5582078 Completed
1/23/2006
Pre-Ordering All Products
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

Change Qwest’s Interconnect Center’s hours of support. Expand the window: 6am MST to 10pm MST Sunday through Saturday


Status History

06/06/01 - CR received from Donna Osborne Miller of AT&T

06/07/01 - Status changed to New – to be evaluated

07/09/01 - Reviewed under consideration

07/09/01 - LNP product team to discuss on 7/17/01 – will report status during the July 18th Monthly CICMP Meeting (LD)

08/09/01 - Response Pending resolution or concurrence from Qwest’s interconnect Service Center (LD)

08/15/01 - CLEC CMP Meeting Product & Process CR 5582078. Qwest is waiting on response Call volume from AT&T, which will be provided by 9/3.

08/27/01 - Alignment clarification meeting held; Terry Bahner indicated that forecast would be available on 9/4/01 (MJB)

09/04/01 - AT&T Forecast Data Provided

09/07/01 - Status update meeting conducted with AT&T; AT&T forecast data clarified (MJB)

09/19/01 - Status update provided at CMP (MJB)

09/20/01 - Draft Qwest response sent to AT&T (MJB)

10/17/01 - CMP Meeting: AT&T indicated CR should be in Deferred rather than Denied Status, and would like CR revisited in 6 months rather than 1 yr., per the response. Qwest to issue revised response incorporating a six month revisit.

10/26/01 - Qwest Final Response posted to CLEC Community.

11/06/01 - Qwest received reply to final response. Qwest has three areas of concern (see Nov. 6, AT&T reply in Project Meetings).Qwest has agreed to change the CR status to "Deferred" until the May 2002 Product and Process CMP meeting.

11/2/05 - Update sent to AT&T.

1/23/06 - Status changed to Completed


Project Meetings

11/2/05 Update to CR - E-mail send to AT&T

To discuss order processing or status, including Firm Order Confirmation (FOC) and Service Order Confirmation (SOC) Notice, or to send associated information to the appropriate Center for processing, contact our Customer Service Centers. Based on the location of your end-user and the type of service you requested, Local or Access Services, our Service Center numbers are:

LSRs for Interconnect Resale Services, Asynchronous Transfer Mode (ATM) Services, Resale Frame Relay, Complex Resale, Centrex, Local Number Portability (LNP), Interim Number Portability (INP), Unbundled Local Loops and Elements: Location Contact Fax Hours of Operation Interconnect Service Center (ISC) 888-796-9087 888-796-9089 - FAX Monday-Friday 6:00 AM - 10:00 PM Mountain Time Saturday 7:00 AM - 6:00 PM Mountain Time

Qwest's Service Center is available to assist with your needs and, if additional assistance is required you will be transferred to the Customer Service Inquiry and Education (CSIE) Center until 8:00 PM MTN Time Monday – Friday. If additional assistance is required after 8:00 PM or on Saturday, Qwest will coordinate a call back or provide additional assistance as needed.

November 6, 2001

Joan Wells Qwest LNP Process Manager

RE: CR Form #5582078

AT&T understands Qwest has denied its request to expand Qwest’s Interconnect Centers hours as stated at the October 17, 2001 monthly CMP meeting. Qwest has agreed to change the CR status to “deferred” until the May 2002 Product and Process CMP meeting. AT&T has three areas of concern with Qwest’s response:

AT&T recognizes NeuStar’s standard hours of operation do not include Saturday or Sunday; however, Qwest’s own action of providing support on Saturday acknowledges Saturday as an important port day for AT&T Broadband regardless of NeuStar’s hours of operation. Therefore, AT&T believes NeuStar’s standard hours of operation is not a determining factor for Qwest in regards to expanding its hours of support for Saturday or specifically, Sunday.

Although “port activity may currently be scheduled for any desired frame due time”, there are switches within Qwest’s network that cannot be set mechanically. Does Qwest have edits built into its systems to reject or defer LSRs in this scenario? How can these switches be identified?

The last concern centers on the 24-hour AMSC level of support that Qwest has offered. In the October 17 Product and Process CMP meeting, Qwest stated that the technicians at the AMSC center do not have access to Qwest’s provisioning systems for LNP. Offering this center as an alternative to expanding the Interconnect Centers hours only delays and provides a false expectation to CLECS trying to resolve outstanding porting issues. Therefore, AT&T does not believe this as an acceptable alternative to our change request.

AT&T believes continued discussions need to take place as AT&T’s business volumes continue to grow with Sunday porting activity.

Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes September 7, 2001 2:15 p.m.

Attendees:

Terry Bahner (AT&T), Donna Osborne-Miller (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Joan Wells (Qwest), Michael Buck (Qwest), Todd Mead (Qwest)

Qwest clarified some information regarding the forecast information provided by AT&T on 9/5; the forecast information provided is a projection of daily volume in all markets within Qwest territory

Action Items: - Lorna Dubose (Qwest) to communicate forecast information to Ken Beck and Toni Dubuque (9/10) - Lorna Dubose (Qwest) to provide Qwest response (9/14/)

###

Monday, August 27, 2001 1 p.m. Attendees: Terry Bahner (AT&T) Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) Terry explained that AT&T is interested in a window of Qwest support for LNP on Sundays after NPAC comes up. There is also a desire for Qwest support into the evening hours during the week. As an example, Terry cited the fact that AT&T gets orders until 10 p.m. (daylight time) in Salt Lake City. Lorna explained that Qwest center management could evaluate the possibility of expanded hours once the appropriate forecasting information is provided. The information to be included in the forecast: Expected volume by day and hour; any fluctuations expected (e.g. due to daylight savings time). Terry explained that she expected to be able to provide Qwest with forecast data by September 4. Lorna indicated that Qwest would attempt to examine forecast data prior to the September CMP meeting. Qwest will aim to provide a response prior to the September CMP meeting, but the formulation of a response might not be possible. Action Items: - Terry Bahner (AT&T) to provide Qwest with forecast volumes by 9/4/01 - Lorna Dubose (Qwest) to provide Qwest center management with forecast by 9/5/01 - Lorna Dubose (Qwest) to develop Qwest response by working with center management (tentative target: 9/7/01; with Michael Buck to organize walk-through meeting with AT&T during early week of 9/10/01)

###

LNP Meeting Notes 8/13/01

Attendees: Lorna Dubose Matt Rossi Terry Bahner Donna Osborne-Miller CR #5582078 – Expand Qwest’s interconnect center’s hours - Lorna currently waiting on response from the Qwest Interconnect Hours - Terry to give estimate to Lorna on call volume to expect


CenturyLink Response

Wholesale Product/Process October 24, 2001

Ms.Terry Bahner, Ms. Donna Osborne-Miller, AT&T

This letter is in response to CLEC Change Request Form #5582078, dated June 6, 2001. This Change Request pertains to a request by AT&T to Expand Qwest’s Interconnect Center hours to include a window of 6am MST to 10pm MST, Sunday through Saturday.

At this time, Qwest has no plans to expand the Interconnect Center hours. The following are some of the reasons that Qwest has made this decision: Currently, Qwest’s published normal hours of work are Monday – Friday 7am MST to 7pm MST. These hours are in parity in both Qwest Wholesale and Qwest Retail. Qwest Interconnect Center’s hours have already been previously expanded to 6am MST to 8pm MST Monday-Friday and 7am – 5pm MST on Saturday’s. NeuStar’s standard hours of Operation for the NPAC are Monday – Friday 7am – 7pm CST/CDT. The Qwest Interconnect Center hours currently exceeds this standard. Economic conditions currently do not facilitate an increase in head count to support the proposed increase in order activity and expansion. Lack of support from downstream systems, currently operating under the standard business hours. System maintenance necessities (i.e. scheduled down time) do not support expansion. Access to automated systems for order input is already available. Port activity may currently be scheduled for any desired frame due time in those switches where the ten digit triggers are set mechanically. 24-hour support is currently available through the Account Maintenance Support Center (AMSC) in handling repair issues that are a result of number portability.

At this time, Qwest will not expand its Interconnect Center hours further. Qwest had originally proposed that we review the expansion request again in one year, but at Clec request, Qwest has agreed to review again in six months.

Sincerely, Joan Wells Qwest LNP Process Manager

September 20, 2001

DRAFT RESPONSE For Review By CLEC Community and Discussion at October CMP Meeting Wholesale Product/Process Ms.Terry Bahner, Ms. Donna Osborne-Miller, AT&T

This letter is in response to CLEC Change Request Form #5582078, dated June 6, 2001. This Change Request pertains to a request by AT&T to Expand Qwest’s Interconnect Center hours to include a window of 6am MST to 10pm MST, Sunday through Saturday. At this time, Qwest has no plans to expand the Interconnect Center hours. The following are some of the reasons that Qwest has made this decision: Currently, Qwest’s published normal hours of work are Monday – Friday 7am MST to 7pm MST. These hours are in parity in both Qwest Wholesale and Qwest Retail. Qwest Interconnect Center’s hours have already been previously expanded to 6am MST to 8pm MST Monday-Friday and 7am – 5pm MST on Saturday’s. NeuStar’s standard hours of Operation for the NPAC are Monday – Friday 7am – 7pm CST/CDT. The Qwest Interconnect Center hours currently exceeds this standard. Economic conditions currently do not facilitate an increase in head count to support the proposed increase in order activity and expansion. Lack of support from downstream systems, currently operating under the standard business hours. System maintenance necessities (i.e. scheduled down time) do not support expansion. Access to automated systems for order input is already available. Port activity may currently be scheduled for any desired frame due time in those switches where the ten digit triggers are set mechanically. 24-hour support is currently available through the Account Maintenance Support Center (AMSC). At this time, Qwest will not expand its Interconnect Center hours further. Qwest will review this expansion request again in one year.

Sincerely,

Joan Wells Qwest LNP Process Manager

CC: Lorna Dubose Judy Schultz Margaret Bumgarner Michael Buck Todd Mead


Open Product/Process CR 5582099 Detail

 
Title: LNP switch disconnect timing
CR Number Current Status
Date
Area Impacted Products Impacted

5582099 Completed
12/12/2001
Billing LNP
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Dubose, Lorna
Director:
CR PM:

Description Of Change

Change current switch disconnect process to where disconnect occurs immediately after AT&T Broadband activates the number.


Status History

06/06/01 - CR received from Donna Osborne Miller of AT&T

06/07/01 - Status changed to New to be evaluated

07/09/01 - Reviewed under consideration

07/09/01 - LNP product team to discuss on 7/17/01, will report status during the July 18th Monthly CICMP Meeting (LD)

08/09/01 - Qwest is soliciting proposals from vendors such as Telcordia to include a time and cost estimate to accommodate this request. Qwest has received a time and cost proposal from Telcordia and has solicited a proposal from another vendor to prepare a business case and cost study analysis for a solution to this request. Target completion for business case and cost study tentatively set for end of September 2001 (LD)

08/19/01 - Process change implemented related to this request was implemented; going forward, Qwest will complete disconnect orders for LNP on the day after the due date (MJB)

08/27/01 -- alignment clarification meeting held; Lorna Dubose reiterated that Qwest is awaiting time and cost from second vendor; cost analysis still expected to be done during month of September (MJB)

09/7/01 -- Status update meeting conducted with AT&T; anticipated dates remain same (MJB)

09/18/01 - Internal status update meeting; target response date updated (MJB)

09/19/01 -- Status update provided at CMP (MJB)

10/05/01 - Time and cost from final vendor received 2 weeks later than expected

10/10/01 - Draft response posted to database

10/17/01 - Qwest to internally establish whether there is an impact to IMA.

11/06/01 - Received AT&T's reply to Qwest Final Response. AT&T Broadband will continue to operate under the process formally introduced on August 20th, 2001. AT&T will look forward to a future solution in 2002 and move CR Status to CLEC Test mode during the November 14, 2001CMP Meeting.

11/09/01 - Issued revised response to AT&T.

11/13/01 - Issued final response to CLEC Community and posted to Web.

11/14/01 - CMP Meeting: CR to remain in Presented status. Judy Schultz to raise associated action item and address at December CMP Meeting.

12/12/01 - CMP Meeting: Qwest denied request, status changed to denied.

12/12/01 - AT&T requested status changed to Deferred as they may want to revisit this CR at a later date.

12/19/01 - AT&T written response to Qwest position

12/28/01 - Formal response dated 11/9/01 issued to CLECs


Project Meetings

12/19/01 AT&T written response to Qwest position December 19, 2001 Lorna Dubose LNP Wholesale Product Manager Qwest Communications 1801 California Street Denver, Colorado 80202 RE: CR5582099 Dear Lorna: AT&T understands Qwest has denied CR5582099. It will be placed in deferred status until AT&T is able to review Qwest’s self-reporting data for OP-17 PID which measures LNP switch disconnect timing. Qwest took an action item in the December CMP meeting to find out when this measurement will be included in Qwest’s Performance Results Reports. Currently, Qwest does not provide data to the CLECS for OP-17 PID and the CLECS do not have access to the internal data Qwest referenced in its response to AT&T November 9th, 2001. AT&T submitted this CR with the intent to eliminate loss of dial tone. We do not believe the 73% reduction in loss of dial tone Qwest stated is an acceptable standard. AT&T Broadband still experiences loss of dial tone in spite of the August mechanization of holding both the switch translations and the service orders until 11:59 P.M. of the next business day after the port due date. Qwest would be able to perform at 100% if they would adopt the process of disconnecting from the switch once the CLEC activated the number in NPAC. AT&T is disappointed Qwest will no longer pursue an avenue which would truly insure a stable platform for the end customer to port his telephone number. Sincerely, Terry Bahner Supervisor AT&T Local Services Access Management Western Region

Cc: Tim Boykin Sharon Van Meter Donna Osborne-Miller

November 14 - CMP Meeting Callan-Qwest described the CR and the Qwest response. Bahner-AT&T stated that she did not want the CR to be closed as she had just received the response. She also noted that Qwest has not shared its PID data with AT&T. Clausen-Eschelon stated that this CR should not be in CLEC test. Bahner-AT&T stated that she was under the impression that Qwest was moving toward a solution to the CR, but that the recent response was a denial. Callan-Qwest stated that Qwest had evaluated the potential solution and was not prepared to accept the risk of changing a stable system platform, which would be the result of moving forward with a solution to the CR. Dixon-Worldcom asked if this measure was in the PAP. Callan-Qwest stated that it is a PID and it is also a PAP, except in Arizona. Dixon-Worldcom stated that this was inconsistent with his understanding of the Qwest agreements. He understood that Qwest would automatically incorporate all of the ROC measures into the Arizona filing. Callan-Qwest stated that it was her understanding that this had not been requested as a PAP in Arizona. Schultz-Qwest stated that Qwest would take an action item and report at the next meeting. She stated that the CR is denied and asked what status AT&T wanted to leave it in. Bahner-AT&T stated that she would like it left as Presented until next month.

November 6, 2001 AT&T Response to our final position on the CR. Lorna Dubose Qwest LNP Wholesale Product Manager

RE: CR Form #5582099 This letter is in response to the status you provided at the October 17, 2001 Product and Process CMP meeting. We look forward to Qwest implementing a system change that would disconnect the TN out of the switch immediately after AT&T Broadband activates the number. This change would eliminate unnecessary loss of dial tone between Qwest and AT&T Broadband, reduce the number of work backs and snap backs and in general, provide continuity to the LNP process. In the interim, AT&T Broadband will continue to operate under the process formally introduced on August 20th, 2001.

We look forward to the next status in November and a possible implementation date in 2002.

Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes

Internal Status Update Meeting (9/18/01 4:30 p.m.) Attendees: Michael Buck (Qwest), Lorna Dubose (Qwest) Internal cost analysis still on track for 9/28/01 completion. Lorna updated target date for formal AT&T response to 10/12/01.

###

September 7, 2001 2:15 p.m.

Attendees:

Terry Bahner (AT&T), Donna Osborne-Miller (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Joan Wells (Qwest), Michael Buck (Qwest), Todd Mead (Qwest)

Qwest provided a status update on this CR. Qwest has received time and cost estimates from 2 vendors to date. Qwest will be seeking a time and cost estimate from a third vendor. The addition of a third vendor is not expected to adjust the dates communicated in the August 27, 2001 Clarification Meeting. AT&T asked whether Qwest has yet committed to performing the change requested in this request. In response to a question from Sharon, Lorna indicated that Qwest has not yet committed to doing the work requested in this CR. The decision whether or not do the work is dependent upon the cost analysis scheduled for completion by 9/28/01.

Action Items:

- Lorna Dubose (Qwest) to create cost analysis based upon vendor time and costs by 9/28/01 - Lorna Dubose (Qwest) to develop Qwest response based upon cost analysis (tentative target: 10/5/01)

###

Monday, August 27, 2001 1 p.m. Attendees: Terry Bahner (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) Terry confirmed that the goal of this CR is to have Qwest provide a response regarding AT&T’s desire that LNP disconnects not be released until a corresponding activate transaction is received from NPAC indicating that AT&T service is operational.

Terry indicated that previous action taken by Qwest (i.e. delayed posting of disconnects until due date plus 1 day) is helpful, but does not address the core of this request. Lorna reiterated that Qwest is still seeking vendor time and cost estimates to provide the functionality requested by AT&T.

Lorna expects to develop a cost analysis based upon vendor responses by the end of September. At that time Qwest will make a decision whether or not to pursue the vendor proposals.

Lorna does expect to be able to provide an interim status update at the September CMP meeting. As of August 29, 2001 time and cost bids have been received from both vendors involved in this CR.

Action Items: - Lorna Dubose (Qwest) to create cost analysis based upon vendor time and costs by 9/28/01 - Lorna Dubose (Qwest) to develop Qwest response based upon cost analysis (tentative target: 10/5/01)

###

LNP Meeting Notes - 8/13/01

Attendees: Lorna Dubose Matt Rossi Terry Bahner Donna Osborne-Miller

- Qwest looking at long term solution - Price bid expected from Telcordia by 8/27 - Price bid expected from another vendor 08/30 - Cost analysis and internal analysis to be conducted by Qwest 09/28 - Estimated implementation date set for no earlier than Q1 2002


CenturyLink Response

November 9, 2001

Ms. Terry Bahner Ms. Donna Osborne-Miller

AT&T

This letter is in response to your CLEC Change Request Form, number 5582099 dated June 6, 2001 – LNP Switch Disconnect Timing.

Request: Change current switch disconnect process to where disconnect occurs immediately after AT&T Broadband activates the number.

Response: Qwest understands the goal is to eliminate disconnection of customers in error. Qwest has agreed to Performance Measurement OP-17 - Timeliness of Disconnects Associated with LNP Orders with a standard of 98.25%. Qwest is in full support of this measure and has committed to this standard.

In August, Qwest completed the mechanization of the solution to hold the switch translations and the service orders until 11:59 P.M. of the next business day after the port due date. Initial analysis of internal data from before and after the implementation indicates a 73% reduction in loss of dial tone and an 84% reduction in workbacks.

Qwest did evaluate several vendor proposals outlining a system solution to time the switch disconnect with the port activation. Qwest believes that our current process and recent system mechanization has provided a reliable and stable platform for the completion of port orders. As a result of the analysis of the vendor proposals, and the service improvements from our own internal system changes; we will not be pursuing any additional system enhancements. No further action is planned. Sincerely,

Maureen Callan Group Product Manager


Open Product/Process CR 5582212 Detail

 
Title: 3 day LNP LSR interval for Megabit Line
CR Number Current Status
Date
Area Impacted Products Impacted

5582212 Completed
11/14/2001
Billing LNP
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

Qwest considers a megabit line as a complex and requires a 5 day interval. Since LNP is porting number only and does not need the special facilities, it should be treated as a ported number and have a 3 day interval


Status History

06/06/01 – CR received from Donna Osborne Miller of AT&T 6/07/01 – Status changed to New – to be evaluated

07/09/01 – LNP product team to discuss on 7/17/01 – will report status during the July 18th Monthly CICMP Meeting (LD) 7/18/01 - New to be

08/09/01 – This CR pending further investigation with Complex Services (Megabit). (LD)

08/27/01 -- alignment clarification meeting held; Lorna Dubose indicated that she was working with appropriate product and process groups to address this request.(MJB)

09/7/01 -- Response walkthrough meeting conducted with AT&T (MJB)

09/14/01 -- AT&T letter responding to Qwest position received; response revision underway (MJB)

09/19/01 -- Status update provided at CMP

10/04/01 - Draft Response added to database

10/17/01 - CMP Meeting: Qwest presented draft response to CLEC Community and made status change to CLEC Test .

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

11/06/01 - received AT&T's reply to Qwest Final Response. AT&T will move to close CR at November 14, 2001 CMP Meeting.

11/14/01 - CMP Meeting: AT&T moved to Close CR.


Project Meetings

November 6, 2001

Joan Wells Process Manager Local Number Portability

RE: CR Form #5582212 AT&T has submitted LSRs requesting the new 3-day service interval for Megabit service established after April 4th, 2001. At this point in time, only a small number of orders have been pushed out to the previous 5-day interval. AT&T considers this a coaching issue within Qwest and has socialized it with the typing centers and the Denver Interconnect center during our weekly conference calls. We will close this CR at the November 14th, 2001 Process and Product CMP meeting. Thank you for providing AT&T Broadband the tools to identify the appropriate USOCS. Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes

September 14, 2001

Lorna Dubose LNP Wholesale Product Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: Your letter dated September 5, 2001 regarding change request 5582212 – 3-day interval Megabit Line

Dear Lorna:

AT&T believes Qwest has, in part, addressed CR 5582212. Going forward, any local service request to port an end-user’s telephone number that Qwest currently lists as a Megabit service qualifies for the 3-day interval if the Megabit service was installed with Qwest after April 4, 2001. AT&T would prefer this 3-day interval apply to all Megabit services regardless of the April 4th date.

Qwest has indicated AT&T Broadband can determine this date by reviewing the customer service record. AT&T Broadband has yet to determine if a Qwest install timestamp is present next to the USOC. AT&T would like Qwest to issue a unique USOC to help identify Megabit services installed after April 4th to assist in acquiring the 3-day interval. Your consideration to this request would be appreciated.

Sincerely,

Terry Bahner Supervisor Local Services Access Management Western Region

CC: Tim Boykin Sharon Van Meter Mitchell Menezes

###

September 7, 2001 2:15 p.m.

Attendees:

Terry Bahner (AT&T), Donna Osborne-Miller (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Joan Wells (Qwest), Michael Buck (Qwest), Todd Mead (Qwest)

The Qwest response to this CR was presented; multiple clarification questions were asked and answered:

Q: Why is April 4, 2001 date important? A: This is the date when the process change for engineering megabit requests as non-design took place

Q: So the service offered did not change after April 4? A: Correct. Only an internal process was changed. The megabit service offered did not change.

Q: How should CLEC determine the customers’ install date? A: The necessary information should be available in the CSR (Customer Service Record). In Qwest internal systems both the USOC and the date are visible. Also, another option is to ask the customer when their service began.

Action Items:

- Terry Bahner (AT&T) to confirm that necessary information is available in the CSR visible to AT&T (9/13) - Terry Bahner (AT&T) to take Qwest response to AT&T stakeholders (9/13)

###

Monday, August 27, 2001 1 p.m. Attendees: Terry Bahner (AT&T), Sharon Van Meter(AT&T), Lorna Dubose (Qwest), Michael Buck (Qwest), Todd Mead (Qwest)

Terry clarified that the request for a reduced interval for LNP of megabit lines applies only to the ported number NOT the facilities. Terry indicated that AT&T had put in place procedures to inform customers of the impact to megabit facilities when AT&T ports only the number. Lorna indicated that she was working with appropriate product and process groups to address this request.

Action Items: - Lorna Dubose (Qwest) to formulate Qwest response by 9/5/01 - Michael Buck (Qwest) to organize a walk-through meeting with AT&T during late week of 9/3/01.

###

LNP Meeting Notes – 8/13/01

Attendees: Lorna Dubose Matt Rossi Terry Bahner Donna Osborne-Miller

- Lorna scheduled meeting with Megabit Product Manager on 8/16 - Status update will be given to Terry Bahner after that meeting


CenturyLink Response

October 04, 2001 Ms.Terry Bahner, AT&T

This letter is in response to CLEC Change Request Form, number 5582212 – 3 day LNP LSR interval for Megabit Line, dated June 6, 2001.

Request: Qwest considers a megabit line as a complex and requires a 5-day interval. Since LNP is porting a number only and does not need the special facilities, it should be treated as a ported number and have a 3 day interval.

Response: After meeting with the Megabit Product Manager and the Interconnect Service Centers, it has been determined that as of April 4, 2001, Qwest implemented a new process for engineering Megabit service and it is now considered a non-design/simple service. Therefore, end-user customers that ordered Megabit service after April 4, 2001 had their service installed as non-design/simple service. This type of Megabit service can have a 3-day interval, which is the same as simple LNP orders today. However, if the Megabit end-user service was installed prior to April 4, 2001, the service is still considered a design/complex service. This requires service interval timeframes that allow Qwest systems to accurately remove the switch translations and process the order completion. Appropriate intervals for the Complex Product type will continue to apply. These intervals are shown in the LNP Product Catalog under Standard Intervals for LNP or the Service Intervals for Interconnection & Resale located at Qwest.com.

New USOC’s were developed for this network platform change. Effective 04-04-01, the Basic and Pro Services using the HRL++ USOCs will be grandparented and may not be used for ordering new services. The new Qwest DSL basic line 1FB/1FR, AFK/AFH Usoc’s are GRL++ and will be used after the 04-01-01 date.

The Select Service using HRC++ USOCs also, are no longer available for use.

Grandparented USOC’s are as follows: HRCA1, HRCA3, HRCA5, HRCWM & HRL51, HRL53, HRL55, HRL5M, HRLA1, HRLA3, HRLA5, HRLAM, HRLB3, HRLB5, HRLBM, HRLC1, HRLC3, HRLC5, HRLCM, HRLD1, HRLD3, HRLD5, HRLDM, HRLE1, HRLE3, HRLE5, HRLEM, HRLF1, HRLF3, HRLF5, HRLFM, HRLG1, HRLG3, HRLG5, HRLGM, HRLW1, HRLW3, HRLW5, HRLWM

New USOC’s are as follows: GRLA1, GRLA3, GRLA5, GRLAM, GRLB1, GRLB3, GRLB5, GRLBM, GRLC1, GRLC3, GRLC5, GRLCM, GRLD1, GRLD3, GRLD5, GRLDM, GRLE1, GRLE3, GRLE5, GRLEM, GRLF1, GRLF3,GRLF5, GRLFM, GRLG1, GRLG3, GRLG5, GRLGM, GRLSM, GRLW1, GRLW3, GRLW5, GRLWM, GRLYM.

This list in not inclusive of all products provisioned with DSL. If further information is needed, please consult your Service Manager or a USOC guide.

In conclusion: In order to qualify for the 3-day interval, it will be necessary for the CLEC to know when Qwest installed the end-user’s Megabit service (before or after April 4, 2001) and whether the account meets the required criteria for requesting a 3-day interval. If the CLEC is unable to obtain the date of the installation information from the CSR or is unable to determine by the USOC, then additional consultation with the end user by the CLEC may be needed to find out when their Megabit service was installed, prior to or after the April 4th, 2001 date. Should the CLEC submit an LSR with a 3-day interval request and Qwest determines that the Megabit service does not qualify for the simple interval, then the FOC would be sent to the CLEC with the appropriate Design/Complex interval due date.

Discussion has occurred with the Interconnect Service Centers to reinforce this change that was previously documented, and sent out to the Centers, when the change occurred in April. Qwest will continue to follow the service interval guidelines for simple and complex services as outlined in the Product Catalog (PCAT).

Sincerely, Joan Wells Process Manager Local Number Portability


Open Product/Process CR 5582288 Detail

 
Title: Qwest counts Saturday as a business day
CR Number Current Status
Date
Area Impacted Products Impacted

5582288 Denied
11/14/2001
Billing LNP
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Dubose, Lorna
Director:
CR PM:

Description Of Change

Qwest’s current process is to count Monday-Friday as business days. Would like it to be Monday-Saturday so Saturday will count as one of the three day intervals for LNP

Description changed resulting from 8/27/01 meeting.

The app date calculation for all LNP requests will reflect a 7 p.m. daily cut-off time rather than the 3 p.m. cut-off currently in place. Any LNP request received prior to 7 p.m. will receive an app date of the current date. Any LNP request received after 7 p.m. will receive an app date of the next business day.


Status History

06/06/01 - CR received from Donna Osborne Miller of AT&T

06/07/01 - Status changed to New – to be evaluated

07/09/01 - Reviewed under consideration

07/09/01 - LNP product team to discuss on 7/17/01 – will report status during the July 18th Monthly CICMP Meeting (LD)

08/09/01 - Currently Qwest is adhering to the NPAC standard business hours which do not include Saturday as a regular business day. NPAC business hours are included in the Qwest LNP Product catalog. (LD)

08/23/01 - UR# 2491 has been initiated to update the APP date calculation to incorporate a 7 p.m. cut-off as opposed to the currently used 3 p.m. cut-off (MJB)

08/27/01 - alignment clarification meeting held; altered scope for this CR reconfirmed by Terry and Lorna; Lorna indicated that a new Qwest User Request (UR # 2491) has been created to support the requested change. Work is underway to prioritize the request and determine when it will be implemented. This information will be provided in the Qwest response for this CR. (MJB)

09/05/01 - Qwest response provided.

09/07/01 - Walk Through meeting held with AT&T

09/14/01 - AT&T letter responding to Qwest position received; response revision underway (MJB)

09/19/01 - Status update provided at CMP; Qwest re-evaluating position.

09/20/01 - UR 2491 implemented in production

10/10/01 - Qwest draft response posted to database.

10/17/01 - CMP Meeting: Qwest presented its draft response. AT&T requested that the CR status be left as presented, AT&T to review internally

11/06/01 - AT&T reply to Qwest response dated 10-10-01. AT&T recognizes the CR is denied by Qwest but is disappointed at the restriction placed on Saturday ports which Qwest had previously honored under the 3-day SIG (submissions of LSRs on Wednesday). Any additional action concerning this change request will be handled in a different venue when prudent.

11/14/01 - CMP Meeting - Qwest presented its response. AT&T requested that the status be changed to "Denied."

12/06/01 - Qwest formal response (dated 10/10/01) transmitted to CLEC community.

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


Project Meetings

November 6, 2001 AT&T reply to Qwest response dated 10-10-01 Lorna Dubose Qwest LNP Product Manager

RE: CR Form #5582288 AT&T understands Qwest is denying our request to include Saturday as a business day in the SIG. In addition, Qwest is denying our request to manually change orders submitted prior to 7 p.m. MST on Wednesday to reflect a Saturday install date in lieu of a system change.

AT&T appreciates Qwest expanding the LSR submission deadline from 3 p.m. to 7 p.m. MST with the IMA 8.0 release. We are disappointed at the restriction placed on Saturday ports which Qwest had previously honored under the 3-day SIG (submissions of LSRs on Wednesday). Any additional action concerning this change request will be handled in a different venue when prudent. Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes

September 14, 2001

Lorna Dubose LNP Wholesale Product Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: Your letter dated September 5, 2001 regarding change request 5582288 - Saturday as a business date

Dear Lorna:

It was not the intention of AT&T to worsen the service delivery to our customers by accepting the LNP Service Intervals in the State 271 Workshops. Section 10.2.5.2 LNP Standard Intervals has been reviewed and AT&T does not believe this section prevents Qwest from processing the change request to include Saturday as a business date for the LNP product. In fact, AT&T can find no dialogue from the 271 workshops which addressed omitting Saturday as a business day when determining LNP intervals.

Before the IMA 8.0 upgrade the weekend of August 18th, Qwest honored a 3-day interval for a Saturday install as long as AT&T Broadband submitted the LSR prior to 3 p.m. MST on Wednesday. Qwest’s typing center set expectations that AT&T passed on to its customers by providing a FOC with the 3-day interval.

Qwest has stated Saturday cannot be counted in the standard interval. Per Qwest, all local service requests must be submitted prior to 3pm MST on Tuesday to receive the Saturday install date. While AT&T understands Qwest has implemented and updated their systems to reflect its intervals, AT&T believes changes to the same system including Saturday as a business day can also be accomplished in an upcoming release. Though AT&T realizes Qwest is extending its business day from 3:00 p.m. to 7:00 p.m. MST, it does not satisfy the CR5582288 AT&T submitted. Saturday is a critical install day for AT&T Broadband. Qwest’s shift in process and the failure to inform AT&T of this change created an undue and sudden burden for AT&T Broadband’s customers.

Therefore, AT&T would like to partner with Qwest to implement a change as previously practiced by Qwest which includes Saturday. In the interim, AT&T is requesting Qwest to manually change orders submitted prior to 3:00 p.m. MST on Wednesday to reflect a Saturday install date. Thank you for your consideration.

Sincerely,

Terry Bahner Supervisor Local Services Access Management Western Region

CC: Tim Boykin Sharon Van Meter Mitchell Menezes

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September 7, 2001 2:15 p.m. Attendees:Terry Bahner (AT&T), Donna Osborne-Miller (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Joan Wells (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) The Qwest response to this CR was presented. AT&T reiterated concerns presented in an e-mail from August 30, 2001. The concerns centered on the fact that from June 1 until August 20 Qwest had used a process that allowed for a 3-day interval. After August 20 Qwest adjusted its process, requiring that requests be received by 3 p.m. Tuesday to qualify for a Saturday install. AT&T understands Qwest’s position that the process in place from June 1 through August 20 was incorrect. Furthermore, AT&T understands Qwest’s position that a reversion of process is necessary to remain compliant with guidelines decided in 271 Workshops. However, AT&T believes that Qwest should have been more effective in communicating the process change which resulted in an increase in the necessary interval to support a Saturday install. Qwest indicated that effective communication is a key element to implementing changes that affect CLECs.

Action Items: - Terry Bahner (AT&T) to provide confirmation of response acceptance (9/13)

### E-Mail from Terry Bahner (AT&T) to Qwest Thursday, August 30, 2001 12:15 p.m.

It's clear from the Qwest-Broadband call I facilitated this morning that Qwest has changed their process regarding the 3 day interval proces+U3when it pertains to a Saturday install date. From June 1st (PCNRN051601-1) to August 18, Qwest FOC'd a Saturday install date using the 3 day interval guide. As long as the LSR was sent prior to 3pm mst on Wednesday, Qwest gave the Saturday install date. On August 20th, Qwest changed its process. The LSR must be submitted on Tuesday before 3pm to have a Saturday install date. Qwest now states the due date interval guidelines do not include Saturday. Qwest has indicated the process was always in place and it was incorrectly interpreted by Qwest Escalations and typists and was therefore granted in error. AT&T reviewed the RN on multiple conference calls with Qwest and was told the requested Saturday date would be met. Further more AT&T was never informed the RN was a test/trial subject to change and/or interpretation by Qwest. AT&T considered the notification sent by Qwest on June 1st as a product and process change not a temporary fix as so indicated on this morning's call. While I welcome the extension of 3pm mst to the tentative 7pm mst, it no longer meets the intent of the CR. Therefore, please pursue with AT&T's request to include Saturday in Qwest's due date interval guidelines.

Thank you. Terry L. Bahner AT&T LSAM

###

Monday, August 27, 2001 1 p.m. Attendees: Terry Bahner (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) Terry re-confirmed AT&T understands CR scope resulting from 8/14/01 meeting. To wit, the app date calculation for all LNP requests will reflect a 7 p.m. daily cut-off time rather than the 3 p.m. cut-off currently in place. Any LNP request received prior to 7 p.m. will receive an app date of the current date. Any LNP request received after 7 p.m. will receive an app date of the next business day.

In follow-up, Terry clarified: This is separate from agreeing to the current app date calculation Qwest has adopted August 20 (IMA 8.0 release) for LNP orders which now negatively impacts AT&T Broadband’s provisioning process and directly affects our market entry. AT&T will submit a separate change request to Qwest to resolve the additional day added to the LNP service interval if Qwest continues the new app date calculation process. This change request’s intent was to further extend the timeframe in submitting LSRs to facilitate a 3-day install; however, Qwest’s new app date calculation has negated this. Lorna indicated that a new Qwest User Request (UR # 2491) has been created to support the requested change. Work is underway to prioritize the request and determine when it will be implemented. This information will be provided in the Qwest response for this CR.

Lorna indicated that efforts had been underway to (piggyback) this CR on an existing user request in an attempt to complete the change sooner. However, that effort failed and new UR (2491) was issued.

Action Items: - Lorna Dubose (Qwest) to formulate Qwest response by 8/31/01 - Michael Buck (Qwest) to organize a walk-through meeting with AT&T during week of 9/3/01.

###

LNP Meeting Notes 08/13/01 Attendees: Lorna Dubaose Matt Rossi Terry Bahner Donna Osborne-Miller

NPAC does not currently consider Saturday as a business day AT&T gave an example: if LSR submitted 3:01 pm on Friday - Monday is day 1, AT&T would like Saturday as day 1 Joan Wells mentioned at last CICMP that hours might be expanded to 7pm MST AT&T said that 7pm wold be sufficient and CR could be closed


CenturyLink Response

October 10, 2001

Wholesale Product Marketing Ms. Terry Bahner and Ms. Donna Osborne, AT&T

This letter is in response to your letter dated September 14, 2001, regarding Change Request 5582288 – Saturday as a business day.

Qwest acknowledges AT&T’s acceptance of the agreed upon 271 Workshop LNP Service Intervals.

As stated in your letter, before the IMA 8.0 release, Qwest would honor a three day interval for a Saturday install for LSR’s submitted prior to 3:00 p.m. Mountain Time on Wednesdays. However, after the IMA 8.0 release each CLEC, will need to submit its LSR for flow-through LNP orders on Tuesday by 7:00 p.m., Mountain Time, in order to have a Saturday due date.

Qwest identified the need to implement system logic to obtain parity between our manual and mechanized processes, company policies, as well as documentation. As a result, IMA was upgraded to support the company Service Interval Guide (SIG), which excludes the calculation of Saturdays, Sundays, and Holidays.

Qwest recognizes Saturday is a critical install day for AT&T Broadband and will continue to offer Saturdays, Sundays, and Holidays as due dates in our switches where the 10-digit unconditional LNP trigger can be set automatically. However, the CLEC will need to submit the LSR within the appropriate interval timeframe as far as business days.

At this time, Qwest appreciates AT&T offer to partner with us to include Saturday as a business day, however, Qwest declines, and will continue to support the agreed upon 271 Workshop intervals and existing company practice for the use of Business days. Thank you for your request.

Sincerely,

Lorna Dubose LNP Product Manager


Open Product/Process CR 5582295 Detail

 
Title: Qwest does not cancel LSR after confirming FOC via pending “C” order. (reference Systems CR # SCR092601 1)
CR Number Current Status
Date
Area Impacted Products Impacted

5582295 Completed
4/17/2002
Billing LNP
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Wells, Joan
Director:
CR PM: Thomte, Kit

Description Of Change

Qwest’s current process is to cancel LSR after FOC has been sent because of a pending “C” order. AT&T Broadband wants no cancel of FOC once sent by Qwest. FOC should stand.


Status History

06/06/01 - CR received from Donna Osborne Miller of AT&T 6/07/01 – Status changed to New – to be evaluated

07/09/01 - LNP product team to discuss on 7/17/01 – will report status during the July 18th Monthly CICMP Meeting (LD)

07/18/01 - New to be clarified

08/09/01 - This functionality is included in the IMA 8.0 release scheduled for deployment on August 19th 2001 (LD)

08/19/01 - IMA 8.0 was implemented with requested change; if an FOC has been issued for an LSR, the LSR will no longer be cancelled by Qwest because of pending orders (MJB)

08/27/01 - Alignment clarification meeting held; Terry Bahner indicated that initial results from IMA change look promising; AT&T will continue to monitor for next 30 days and then CR will be closed if no new issues arise (MJB)

09/07/01 - Walk through meeting held with AT&T

09/10/01 - Qwest internal meeting to review CR response along with process under development by Loretta Huff (MJB)

09/14/01 - Response received from AT&T

09/19/01 - Status update provided at CMP

09/28/01 - Draft response posted to database

10/17/01 - CMP Meeting: Qwest presented draft response. AT&T requested clarification on JEP process. Joan Wells explained JEP's don't apply to LNP. No status change to CR.

10/24/01 - Qwest Response finalized and issued to CLEC Community.

11/06/01 - AT&T Reply to Final Response dated 10-24-01. AT&T expects Qwest to adhere to its commitment to allow a jeopardy notification after a FOC instead of a non-fatal error after an FOC as submitted under SCR092601-1.

11/14/01 - CMP Meeting - AT&T request CR remain in CLEC Test until after discussion at the Systems CR meeting

11/15/01 - Discussed at Systems CMP meeting. There are interim process solutions available for SCR092601-1 Qwest will discuss at the December CMP meeting. This CR should be closed on agreement from CLEC community.

12/12/01 - CMP Meeting: Jill Martain (Qwest) presented the interim process solution for SCR092601-1 to the CLECs. After Jill's presentation AT&T requested this CR to remain in CLEC Test.

01/16/02 - January CMP meeting: Qwest presented timing interval proposal. CLECs requested further dialogue on this issue. CR Status changed to "Development"

01/23/02 - Meeting arranged for 01/31/02 with AT&T to investigate the top reasons that cause error conditions after an FOC has been issued

01/31/02 - Meeting held with AT&T to investigate the top reasons that cause error conditions after an FOC has been issued

02/07/02 - Meeting minutes for 01/31/02 meeting sent to AT&T

02/08/02 - Followup meeting to 01/31/02 meeting with AT&T. Top reasons that cause error conditions after an FOC has been issued were presented.

02/11/02 - Meeting minutes for 02/08/02 meeting sent to AT&T

02/12/02 - Meeting minutes for 02/08/02 meeting added to CMP database

02/20/02 - February CMP meeting: Qwest presented the latest agreements as outlined in the meeting minutes. Qwest and AT&T agreed to continue to work together to resolve the effect on due dates when a jeopardy condition is identified after the App date. Manual process for sending a jeopardy notice after an FOC has been issued, was implemented 02/18/02. CR status changed to "CLEC Test" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/21/02 - E-mail from T.Bahner AT&T, reporting system issue and asking for clarification on jeopardy and DD process for LNP

02/22/02 - Response e-mail from Qwest clarifying AT&T question on jeopardy and DD process for LNP

03/06/02 - Letter from AT&T offering a counter proposal to the matrix Qwest has presented for CR5582295

03/08/02 - Revised response from Qwest with updated matrix (supplemental information)

03/20/02 - March CMP Meeting. Revised matrix presented and agreed to by the CLECs. CR to remain in CLEC Test for one more month. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

03/22/02 - Revised response dated 03/21/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses

04/08/02 - Qwest e-mail asking if revised matrix is meeting CLEC needs

04/08/02 - Reply e-mail from AT&T agreeing that revised matrix is working, but seeking clarification on PCAT update

04/11/02 - Reply e-mail from Qwest with response to PCAT question

04/17/02 - April CMP Meeting: CLECs agreed to close CR. Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site


Project Meetings

04/11/02 - Reply e-mail from Qwest with response to PCAT question

Subject: CR # 5582295 Update Date: Thu, 11 Apr 2002 09:15:41 -0600 From: "Todd Mead" Organization: Qwest Communications International, Inc. To: Terry Bahner

Terry, Please see below in response to your question about PCAT update:

"The LEFV fid alone is not necessarily cause for the CLEC to be sent a jeopardy notification. Only if the FOC has been sent to the CLEC would we send a jeopardy notification. And the current process of jeopardy after FOC states that in all conditions where an FOC is sent and Qwest has found a problem with the request, we will follow the jeopardy after FOC process. No matter what, if it has been FOC'd and Qwest finds a problem with the LSR, we will follow the jeopardy after FOC process.

Thanks

Todd

03/06/02 Letter from AT&T offering a counter proposal to the matrix Qwest has presented for CR5582295

1875 Lawrence St. Denver, CO 80202-1847

March 6, 2002

Todd Mead CMP Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: CR5582295, SCR092601, & Matrix

Dear Todd:

AT&T still has concerns surrounding the interim manual process of how and when Qwest issues a jeopardy after sending the CLEC a FOC for an LSR. We have two specific concerns. This first is the introduction of the Application Date (APP) as a tool to determine AT&T Broadband’s due date when orders are issued a jeopardy condition. And the second is the subjective use of the term "renegotiated".

AT&T believes Qwest could proactively minimize disruption to the customer if Qwest would maintain the CLEC ordered due date more frequently than is possible with the Qwest proposal.

AT&T proposes the following changes to achieve this objective:

1. Jeopardy Condition identified within 24 hours then original FOC’d due date will be maintained - Identified within 24 hours after LSR submission by CLEC - CLEC notified within 24 hours after LSR submission by CLEC - Jeopardy cleared within 4 business hours

Jeopardy Condition identified within 24 hours then original FOC’d due date will be renegotiated - Jeopardy not cleared within 4 business hours

2. Jeopardy Condition identified more than 24 hours then original FOC’d due date will be maintained - Identified more than 24 hours after LSR submission by CLEC but before the due date - CLEC notified more than 24 hours after LSR submission by CLEC but before the due date - Jeopardy condition is Qwest’s fault and CLEC clears the condition within 4 business hours

Jeopardy Condition identified more than 24 hours then original FOC’d due date will be renegotiated - Jeopardy condition is CLEC’s fault and CLEC clears the condition within 4 business hours - Jeopardy condition is not cleared within 4 business hours

3. Jeopardy condition identified on or after the due date - Qwest will immediately work with CLEC to resolve end user customer impact. No negotiated due date

AT&T would like written rules about the meaning of “renegotiated”. AT&T believes the renegotiated interval should have minimal customer impact and never exceed the standard service interval for LNP.

AT&T believes Qwest has reasonable time to identify all errors during the first 24 hours. If an error is discovered and the error is related to a Qwest CSR, a pending retail order or any error Qwest fails to identify, AT&T believes the FOC’d due date should be maintained. Our proposed changes define and clarify the process. We believe this will reduce misinterpretation of the process and provide a consistent response from Qwest during the escalation process.

AT&T appreciates Qwest extending the courtesy call to a third week. This allowed sufficient time for AT&T to verify the jeopardy was being received via EDI. It also provided sufficient time for AT&T to provide Qwest examples of when the process broke.

Sincerely,

Terry Bahner Supervisor AT&T Local Services Access Management Western Region 303-298-6149

Cc: Tim Boykin Sharon Van Meter Donna Osborne-Miller

02/22/02 Response e-mail from Qwest clarifying AT&T question on jeopardy and DD process for LNP

Subject: Re: CMP 2/20/2002: Action Item & Clarification Date: Fri, 22 Feb 2002 16:45:31 -0700 From: "Joan Wells" To: "Bahner, Teresa L (Terry), NCAM" CC: "Jill Martain" , Jill"

02:00 p.m. (MDT) / Friday 08 February 2002

Followup meeting to Investigate top reasons for error condition after FOC

Terry Bahner, AT&T Jonathan Spangler, AT&T Sharon Van Meter, AT&T Donna Osborne-Miller, AT&T Jill Martain, Qwest Joan Wells, Qwest Ric Martin, Qwest Michael Keegan, Qwest Christine Quinn-Struck, Qwest

Jill Martain presented the following historical values : Total LSRs submitted for AT&T in December for LNP was 15,121. Total Non-Fatal errors issued after FOC , 28. Of those 28, 13 were identified on the same day, 7 next day but within 24-hours, 8 after 24-hours.

Joan Wells discussed: The Service Interval Guide for Resale and Interconnection Services The Matrix for resolving Jeopardy Conditions and Effect on the DDD. The Qwest Ordering Screening Process The root cause for PON ZXDNV25275001 TN 303 463-0715 See attached PDF file "CR5582295 Interval Guide & jep matrix" which documents the above.

Joan Wells will revise the Qwest response to reference the discussion outlined in 2.2. The Qwest response will also indicate the desire by Qwest to work with AT&T to minimize changes to the AT&T FOC’d DD.

-

02:00 p.m. (MDT) / Thursday 31 January 2002

Investigate top reasons for error condition after FOC

Terry Bahner, AT&T Jonathan Spangler, AT&T Sharon Van Meter, AT&T Donna Osborne-Miller, AT&T Tim Boykin, AT&T Vernise York, AT&T Cynthia Linenberger, AT&T Ed Longstreet, AT&T Kerri Burke, AT&T Cheryl Moilanen, AT&T Scott Eicher, AT&T Jill Martain, Qwest Joan Wells, Qwest Ric Martin, Qwest Michael Keegan, Qwest Brandi Bentley, AT&T

Jill Martain provided a recap on the progress of CR 5582295 and Systems CR SCR 092601-1 stating we are still moving forward with a February 18 implementation. The process change will discontinue sending a non-fatal error notice after a FOC if an error condition is identified, and will send a jeopardy notice instead. If the error condition is identified within 24-hours, only a jeopardy notice will be sent. If it is after the 24th hour, a courtesy call (for LNP only) will also be made to notify the CLEC of the error condition. Clarification was made it is a courtesy call and the jeopardy notice is the official notification of the jeopardy condition. Jill further explained that if the jeopardy condition was responded to within 4-hours the orders would remain in the system and if no response was received the service orders would be canceled but the LSR would remain in a jeopardy condition for 30-business days. If at the end of 30-business days the LSR is still in a jeopardy status, the LSR would be rejected back to the CLEC..

Jill explained that the error report indentified several types of rejects. AT&T asked if Qwest had an idea of what the numbers were. Jill advised that she did not have time to review the details. AT&T asked for a listing of the areas of the error and the numbers. Jill explained that some problems came about when the order was pending disconnect then the Quality Checkers would notice a retail dissconnect that came through. She also indicated that some problems occur when there is a dfferent address then the one on the LSR.

AT&T asked if Qwest would honor the due date if AT&T issued their Sup. Qwest indicated that it was dependent on the time the Sup came in. Qwest clarified the process advising that when an error condition occurs after an FOC, Qwest will send a Jep notice, not a non-fatal error. The Jep would be sent back the same way the request was received (i.e. EDI, fax, etc.). Qwest explained that the LSR Order will stay in Jep status for 30 days. Qwest will only Jep the order in the first 24 hrs. On the 25th hour, Qwest will send the Jep and place a call. Qwest needs the Sup turnaround within 4 hrs and Qwest will respond in 24 hours after receipt of Sup. Qwest would issue an FOC, which would start the calculation over. AT&T advised that Qwest should still honor the due date if the Sup was issued within the time interval, especially if the Jep was due to a Qwest error. AT&T suggested that we have another meeting to address this question.

Joan Wells discussed the quality check process. A quality check typically takes place within the first day after the FOC. Qwest cannot commit to this timeframe due to potential volume and resource issues.

A question was raised on whether AT&T could have the Due Date. It was clarified that this would be only for LNP. Joan Wells indicated that she would have to go back to the team.

Qwest provided the root cause for the TN example that AT&T provided . The initial reject was due to a wrong address; however, that was corrected by AT&T Broadband. All following actions were the result of a Qwest agent mishandling this order after that FOC was sent. Joan Wells said this person was individually coached.

Action Plan Qwest will review the due date issue and revise its response to CR 5582295 as required. Qwest will pull historical data to identify the percentage of AT&T LSRs that are receiving an error condition after a FOC.. Qwest will set-up another meeting for Friday, February 8, 2002, from 2:00 PM to 4:00 PM. The manual process for all products associated with SCR 092601-1 is scheduled for implementation on 2/18

--

November 6, 2001 AT&T Reply to Final Response dated 10-24-01 Joan Wells Qwest LNP Process Manager

RE: CR Form #5582295

AT&T has stated in previous correspondence to Qwest and at the monthly CMP Product and Process forum the seriousness surrounding Qwest’s process to send a FOC then fatal reject it without notification to the CLECS. AT&T understands Qwest’s current process providing a 4-hour window for response to a non-fatal error notice. However, examples have been shared with Qwest on weekly calls where this process continues to fail. Therefore, AT&T expects Qwest to adhere to its commitment to allow a jeopardy notification after a FOC instead of a non-fatal error after a FOC as submitted under SCR092601-1. This was presented as a walk on at the October 18 Systems CMP meeting by Jill Martain as a candidate for the IMA 10.0 release scheduled for 2002. The CLEC community unanimously agreed to include the LNP product for this CR. Jill Martain concurred.

In regards to AT&T system changes, AT&T anticipated the need to update their IBICS system only after Qwest discounted the use of jeopardy codes on previous calls. When Qwest announced they would pursue using jeopardy codes (Loretta Huff calls August 31, 2001 and September 5th respectively) and informed AT&T that system changes were not required, AT&T did not pursue modifying IBICS since it is currently capable of handling jeopardy codes. AT&T OSS anticipates the upgrade to IMA 10.0 with SCR092601-1 to resolve this issue.

In the interim, AT&T expects Qwest to continue to follow its current 4-hour window process and make every effort to call AT&T Broadband before issuing a fatal reject. AT&T also expects Qwest to socialize this process with all centers directly involved with the LNP process with special emphasis on the Sierra Vista and Phoenix Centers and the duty supervisor in any Qwest Interconnect Center which provisions AT&T Broadband LSRs.

AT&T does not believe this CR has been fully addressed until SCR092601-1 can be implemented or Qwest discontinues its process of fatal rejecting an LSR without CLEC notification.

Sincerely, Terry Bahner AT&T Local Services – LSAM Western Region

CC: Sharon Van Meter Tim Boykin Donna Osborne-Miller Mitch Menezes

September 14, 2001

Lorna Dubose LNP Wholesale Product Manager Qwest Communications 1801 California Street Denver, Colorado 80202

RE: Your letter dated September 5, 2001 regarding change request 5582295 – Cancel after the FOC

Dear Lorna:

Qwest has forwarded two proposals to AT&T. The first was discussed with Loretta Huff from Qwest on Friday, August 31st. The second proposal, Qwest letter sent September 5th, was based on Qwest changing its process and AT&T making changes to IBICS. Ms. Huff, in a conference call, indicated to the CLEC community that Qwest would utilize jeopardy codes on local service requests to alert the CLEC community when an LSR is rejected.

Qwest has taken an action item to internally review which process will be the final resolution to CR 5582295. AT&T has stopped all plans to augment its EDI system based on Ms. Huff’s proposal. AT&T believes the CR has not been sufficiently addressed. Please let me know when Qwest would like to schedule a conference call to discuss the final resolution for CR 5582295.

Sincerely,

Terry Bahner Supervisor Local Services Access Management Western Region

CC: Tim Boykin Sharon Van Meter Mitchell Menezes

Internal Response Clarification Meeting (9/10/01 3:30 p.m.)

Attendees: Joan Wells, Mark Coyne, Jill Martain, Todd Mead, Michael Buck

Mark and Jill explained the context of the Loretta Huff process. Joan provided information regarding Qwest response provided to AT&T. It was determined that the already provided Qwest response was probably accurate and not affected by the Loretta Huff response. However, Joan took an action item to review the Loretta Huff process. Following the review, Joan will update the CR response as necessary.

Action Items:

- Jill Martain to provide Joan Wells with the Loretta Huff process given to the CLECs - Joan Wells to review process and update CR response as necessary (target due date: 9/26/01)

September 7, 2001 2:15 p.m. Attendees: Terry Bahner (AT&T), Donna Osborne-Miller (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Joan Wells (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) Before the Qwest response was presented AT&T indicated that the information contained in the response was contrary to information presented in another meeting held on September 6. Because of this inconsistency, AT&T requested that Qwest clarify the response before AT&T would accept it. Terry Bahner did confirm that the incidence of this situation (i.e. rejection of LSRs after FOC) had been much reduced since installation of IMA 8.0. However, Terry indicated that she was aware of a few situations where an LSR was rejected after FOC. Joan Wells and Lorna Dubose both reiterated that according to guidelines in the PCAT there were some situations in which rejects might occur after an FOC. To rule out system bugs or non-compliance with process Terry will provide examples to Lorna for investigation

Action Items: - Mike Buck (Qwest) to gather additional data from Judy Schultz (9/7) -- completed 9/7/01 - Mike Buck (Qwest) to schedule meeting with Loretta Huff (Qwest), Mark Coyne (Qwest), Joan Wells, and Lorna Dubose (9/10) -- completed 9/10/01 - Qwest to formalize single consistent response to this request (9/12) - Terry Bahner (Qwest) to provide Lorna Dubose (Qwest) examples of rejected requests after FOC (9/14)

Monday, August 27, 2001 1 p.m. Attendees: Terry Bahner (AT&T), Sharon Van Meter (AT&T), Lorna Dubose (Qwest), Michael Buck (Qwest), Todd Mead (Qwest) Terry confirmed that initial indications are that IMA 8.0 fix seems to be working; original problem has occurred only once since IMA 8.0 release. Further testing is still required, but Terry is please with the results. Terry will continue her efforts to confirm/test recent change and report to Lorna as necessary. Terry also provided further information on a second aspect for this CR. Concurrent with the change to IMA, another change was made to AT&T’s IBICS system. The IBICS system change required some coordination with Qwest systems that resulted in the involvement of Cim Chambers (among others). At this point, AT&T recognizes a system change is required in order to receive the final reject from Qwest. AT&T has asked its vendor to supply the patch. The estimated time the patch will be ready is within 30 days. No systems changes have been made at this point in time to recognize a final reject after a FOC. Evaluation will begin once the patch has been installed. Like the changes to IMA 8.0, AT&T needs to evaluate the fix for its efficacy. Terry does not anticipate any further action needed by Qwest to support either the Qwest IMA changes or the AT&T IBICS changes. But until AT&T installs patch and completes confirmation testing Terry would like this CR to remain open. The time frame for observation is dependent on the system patch and Qwest’s newly adopted process to consistently call the Broadband centers prior to the final reject. Allowing AT&T Broadband a four hour window to change or cancel the LSR. Terry also expressed concern that AT&T’s new system, Launch Now, might have the same limitation that resulted in the changes to IBICS. However, Terry agreed that should problems be identified with Launch Now, she would open a new CR to address any Qwest involvement that might be required to support AT&T’s modifications to their system. Action Items: - Terry Bahner (AT&T) to provide Michael Buck with e-mail of Qwest contacts involved with IBICS issue (completed 8/28/2001) - Michael Buck (Qwest) to contact Qwest contacts involved with IBICS issue to confirm no further Qwest involvement needed (completed 8/30/01) - Terry Bahner (AT&T) to provide Lorna with any additional feedback on the results of AT&T confirmation testing for recent IMA changes. Terry to provide confirmation testing results feedback based on when the patch has been installed by AT&T’s vendor. The estimate is 30 days. Terry will provide Qwest a tentative date no later than September 19th CMP if patch has not already been installed. If no issues are identified as part of AT&T confirmation testing, CR to be subsequently closed.

LNP Meeting Notes - 8/13/01

Attendees: Lorna Dubose Matt Rossi Terry Bahner Donna Osborne-Miller

- AT&T getting rejects after FOC - They are not seeing the cancel notification/no phone call – cannot act on 4 hr interval for action - AT&T report that they are still receiving rejects - Terry to get examples of rejected LSRs from the Denver Center (PON numbers) to Lorna and Joan


CenturyLink Response

See revised response dated 03/21/02 with updated matrix (listed as supplemental information)

October 24, 2001 Wholesale Product/Process Ms. Terry Bahner AT&T Communications

This letter is in response to CLEC Change Request Form #5582295, dated June 6, 2001, title of change: Qwest does not cancel LSR after confirming FOC via pending “C’ order. This Change Request pertains to CLEC receipt of an order request cancellation, after having already received a Firm Order Confirmation (FOC). One resolution of this Change Request is specific to LNP Port Out and involved an update to a Qwest internal system. Qwest business process in the IMA 8.0 release was deployed effective August 20th, 2001. A check for pending orders on LNP Port Out requests will now be made, before the FOC is issued. If a pending order exists, the order is placed for manual review.

Additionally, Qwest examined our exception handling processes, including the notifications issued by Qwest in exception situations. The analysis revealed that current Qwest processes sometimes resulted in a non-standard series of notifications, such as an FOC after a reject notice or an FOC after an LSR completion.

To address concerns about exception handling processes, a call was held with a small number of CLEC’s on 8/31/01 to solicit their input on Qwest’s current process. After considering the input that was provided, Qwest is taking the following current actions:

In those cases where an error is discovered after an FOC is sent, Qwest will continue to follow its current process of following the non-fatal reject process. This process was documented in a notice issued on 7/26/01. The process was also documented in IMA EDI 7.0 Disclosure, Addendum #6, released on 8/30/01 and in IMA EDI 8.0 Disclosure, Addendum #1, released on 9/04/01. The current versions of the disclosure documentation states that the CLEC has 2 hours to respond to the non-fatal error notice.

A documentation notice will be sent 9/24/01 indicating that in the situation where an FOC has been sent in error, a 4-hour window will be given for responding to the non-fatal error notice. The EDI Disclosure document will be updated following resolution of the Change Management Process (CMP) Change Request (CR) described below. (Product Specific to LNP, Qwest will allow a 4-hour window for response to a non-fatal error notice, whether or not the FOC has been previously sent.)

Due to CLEC input during the 8/31/01 call requesting a different process be followed, Qwest has opened a CR through the Change Management Process (CMP) for CLEC consideration. The purpose of SCR092601-1 will be to address the process of sending jeopardy notifications instead of following the non-fatal reject process, once the FOC has been sent to the CLEC.

Currently there are internal system limitation’s involving the inability to send jeopardy notification’s in association with Local Number Portability service order requests. This system change is being looked into with completion of the change request SCR092601-1. There is no time frame available for this system change at this time.

Local Number Portability Service Order requests will continue to follow the non-fatal reject process until such time that a system change can be implemented.

Related to this Change Request, AT&T had anticipated the need to update their IBICS system. In response to this perceived need Qwest previously provided systems expertise and answers to questions in support of AT&T planning efforts for intended modifications to their IBICS system. In a status update meeting held on August 27, 2001 AT&T indicated that no further Qwest support was likely to be needed in support of AT&T’s IBICS system modifications. Furthermore, in a letter dated September 14, 2001, AT&T has indicated that all plans to augment its EDI systems have been halted. Should AT&T elect to make IBICS system modifications, Qwest believes that the necessary information has already been provided. The change to Qwest process (via IMA) and the potential change to AT&T’s IBICS system will need to be evaluated to ensure their effectiveness. This confirmation testing effort is the responsibility of AT&T. Qwest understands that AT&T will notify Qwest of any issues that arise during testing of these changes, should they occur. However, it is noted that upon implementation of the new jeopardy process after FOC, that AT&T system changes may no longer be necessary.

It is anticipated that no further Qwest involvement is necessary with regard to this Change Request and that further involvement will center around SCR092601-1.

Sincerely,

Joan Wells Process Manager Local Number Portability

CC: Mark Coyne Loretta Huff Michael Belt Jill Martain Lorna Dubose Margaret Bumgarner Michael Buck Todd Mead


Open Product/Process CR 5582318 Detail

 
Title: Decommission process
CR Number Current Status
Date
Area Impacted Products Impacted

5582318 Completed
11/14/2001
Pre-Ordering Collocation
Originator: Osborne-Miller, Donna
Originator Company Name: AT&T
Owner: Nelson, Steve
Director:
CR PM:

Description Of Change

Qwest has recently changed their Collocation Decommission Policy. AT&T objects to the fact that Qwest made this process change unilaterally – without the input of AT&T. Objections that AT&T has regarding the new policy are:

·1: A certified letter - stating that either no customers were ever installed in the collo or if customers were installed, AT&T has notified them their service will be disconnected or moved - and a copy of the decommission application must to be sent to the Account Team Representative. Prior to this process change, AT&T was not required to do this. We have processed approximately 10 decommission applications so far this year and have not sent a certified letter for any of them.

Resolution: AT&T wants to send the application via email only as before.

2. The decommission process reads "The completion of a decommission request and 100% payment of any outstanding financial obligation, will terminate the billing of recurring charges for the site." What this means to AT&T is that we should be current on any bills for the collocation we are decommissioning. What this means to Qwest is that if there is any outstanding bills - either non recurring or recurring - due for any collocation in Qwest territory, they will NOT process the decommission application until all bills for all sites are paid. AT&T may incur additional monthly charges for the collocation being decommissioned since the application is on hold.

Resolution: It is AT&T’s request that only the non recurring and recurring bills for the collocation being decommissioned be subject to scrutiny.

3. Since Qwest charges AT&T a flat fee to decommission a site, AT&T has inquired about the possibility of conducting a site visit to ensure that Qwest has completed the decommissioning of the site. Qwest has denied AT&T this final site visit. Although Qwest may disconnect power cables, conduct a site visit and complete database work, they do not actually tear down the actual site. Qwest is hoping to lease the space to another CLEC and will not have to rebuild the space. Qwest assures AT&T that if the space is leased within a year of the decommissioning, AT&T will reimbursed some monies for the collo space.

Resolution: AT&T would like proof that the work has been completed.


Status History

06/06/01 - CR received by Donna Osborne Miller of AT&T

06/07/01 - Status changed to New – to be evaluated

06/25/01 - Status changed to Reviewed – Under consideration

06/25/01 - Revised CR submitted by AT&T

07/09/01 - Completed Draft Response

07/12/01 - Drafted Response sent to CICMP team via email (MR)

07/27/01 - 90 day review process for Joint Planning process for Cancel ,Decom and change of Responsibility Offering letter distributed.

08/09/01 - Proposed meetings for a collaborative re-design of the Collocation Cancellation, Decommission, and Change of Responsibility product offerings began. Meeting notice sent on July 27th with a reminder sent August 6th.

09/12/01 - Joint planning meeting held, chaired by Steve Nelson

09/14/01 - AT&T verbal notice received from Sharon Van Meter to not close this CR as the Decommission process is still being worked on.

09/19/01 - CMP Meeting - Qwest provided status of CLEC meetings to develop the process.

10/10/01 - Template agreement to be finalized with AT&T, chaired by Steve Nelson.

10/17/01 - CMP Meeting: Steve Nelson to finalize decommission policies and procedures with CLEC community. No status change.

10/31/01 - Qwest response submitted to database CLEC Community.

11/14/01 - CMP Meeting - AT&T moved to "Close" CR.


Project Meetings

New Interim Procedures to Terminate or Decommission An Existing Collocation Site

As a result of your feedback concerning Qwest’s recently issued Decommission procedures for existing Collocation sites, Qwest is adopting an interim plan for 90 days. During this interim 90-day period, Qwest will hold a series of meetings and conference calls with the industry to develop mutually acceptable procedures to follow concerning this issue. Please review the interim changes and the calendar of meetings below. We sincerely hope that you will participate.

Interim Changes Effective August 9, 2001 • Qwest will no longer issue a Quote of $3455 for each decommission before monthly recurring billing stops.

Qwest is waiving the Decommission Quote charges effective immediately with issuance of this announcement. Future pricing will be reviewed as part of the “Future Procedures Modifications Process” as described below.

• Qwest will credit past decommission quotes paid and any monthly charges paid past the date of acceptance of the valid application. CLECs can contact their Wholesale Project Manager regarding past decommissions processed or currently being processed.

• The vacating CLEC submitting the “Collocation Application for Cancel, Decommission, or Change of Responsibility” will no longer be required to be current on all billing for all collocation sites, including both monthly and non-recurring quotes before Qwest will process a decommission request.

• The interim requirement will state that a CLEC must be current on “all billing for the specific site for which the decommission application is submitted” for Qwest to decommission a site.

• Qwest will no longer require receipt of the quote charges to stop billing. Monthly billing will stop effective with the valid receipt of a decommission application.

• Applications will no longer need to be sent via certified mail for processing. “Electronic submission of requests to decommission a site can be sent to colo@qwest.com”

Future Procedures Modifications Process Qwest intends to issue future procedures that are acceptable to those parties concerned. For Qwest to implement satisfactory procedures, CLEC feedback is needed and valued. At the completion of this joint 90-day effort, the revised product procedures will be priced, and if appropriate, a template offered by Qwest for an amendment to the CLEC/Qwest

Interconnection Agreements. Please join Qwest in participating in the following calendar of meetings. These meetings will be chaired by Steve Nelson, Group Product Manager Collocation. He can be reached on 303-896-6357. Interested CLECs are encouraged to participate.

Kick-off meeting

August 9th, from 9am to 3pm, 1801 California, Executive Conference room, 23rd floor. Conference bridge: 877-542-1778, pass code 6904985.

1. Review existing product offerings and proposed changes, gather information on additional proposed changes, understand all concerns. Here is a brief outline of the discussion: 2. Agree to as many items as possible initially, table for future review those items requiring detailed response, and respond to disputed items by next meeting for resolution. 3. Capture voting record of participants on each issue, and dissenting opinion as agreed to by the team. 4. Prioritization of changes and timelines. 5. Review costing of current products. Items included in the costing model. 6. Discuss how other ILECs handle cancellation, decommission, change of responsibility or network transfer.


CenturyLink Response

"The below response does not include the attachments referenced in the response. Please see the CMP Web Site for complete response to include Cancellation and Decommissioning Procedures"

October 31, 2001 Sharon Van Meter Manager, AT&T 1875 Lawrence St., 10th floor Denver, Colorado 80202

CC: William Campbell Steve Nelson Jane Lacy

This letter is in response to CLEC Change Request Form #5582318, dated June 25, 2001. This Change Request pertains to several issues regarding the Decommission product offering. On July 9th Qwest committed to partnering with the CLEC industry to resolve the issues identified in the Change Request Form specifically referring to decommission procedures. In addition, Qwest expanded this effort to review the product offerings for Cancellation, and Change of Responsibility. Throughout the month of August, September and October representatives from Qwest and the CLEC industry met to review the procedures for administering a Cancellation and Decommission request. The Qwest/CLEC Forum meetings will continue as we work together to revamp the Change of Responsibility product offering procedures. Successful resolution was achieved for those items addressed in the Decommission Change Request Form. Your efforts were instrumental in this partnership effort.

The following is a summary of the issues identified in the Decommission Change Request Form and the resolution for each: AT&T objected to process changes unilaterally without input from AT&T. Qwest committed to participate in a joint effort to review the Cancel, Decommission, and Change of Responsibility product offerings with CLEC industry and met that commitment. AT&T objected to the requirement to submit a certified letter stating that AT&T customers were notified of the disconnect or move. Qwest agreed to modify the process and allow both the application and confirmation notice to be sent electronically to the rfsmet@qwest.com mailbox. AT&T objected to the requirement that 100% payment of any outstanding financial obligation must be met in order to terminate billing of recurring charges. Qwest modified the procedures to state that financial obligations must be met with respect to the collocation site that is being decommissioned only. We further defined the financial obligations to include all non-recurring and monthly recurring charges must not be greater than thirty (30) days past due. AT&T objected to when the monthly recurring charges would cease. Qwest agreed that the billing end date will coincide with the date of a valid Decommission Application submit date. AT&T felt that they should be entitled to some monies for reimbursable elements at the Decommission site. Qwest agreed that a CLEC would be eligible for reimbursement on the re-usable elements for up to one (1) year from the Decommission Application submit date.

The following is the implementation schedule for the revised Cancellation and Decommission procedures: 11/15/01 - CMP Notification 12/01/01 - CLEC Review Period 12/15/01 - Revised Cancellation and Decommission procedures posted on the Collocation PCAT 01/01/02 - Effective date for the revised Cancellation and Decommission procedures

In summary, Qwest believes that we have satisfied your concerns regarding the Decommission and Cancellation procedures and therefore are considering this Change Request closed.

Sincerely,

Steve Nelson Group Collocation Product Manager


Open Product/Process CR 5608142 Detail

 
Title: LNP repair interval
CR Number Current Status
Date
Area Impacted Products Impacted

5608142 Denied
11/14/2001
Repair LNP
Originator: Thiessen, James
Originator Company Name: Avista Communications
Owner: Dubose, Lorna
Director:
CR PM:

Description Of Change

Currently, Qwest has a 24-hour commit tine for all LNP trouble tickets that are opened. These tickets can be escalated every ½ hour, but all the escalation does is guarantee that the ticket will be worked within 24 hours. Would like to see this reduced to a more reasonable amount of time.


Status History

6/13/01 - CR received from Jim Thiessen of Avista Communications 6/18/01 – Status changed to New – to be Evaluated 7/09/01 - Reviewed under consideration

7/09/01 - LNP product team to discuss on 7/17/01 – will report status during the July 18th Monthly CICMP Meeting (LD)

8/09/01 - Status report will be given by Lorna Dubose and Joan Wells during the August CICMP Meeting

8/15/01 - CLEC CMP Meeting Product & Process CR 5608142. Joan indicated that with implementation of repair issue within 48 hours of port, or 48 hours after port should correct the issue. Jim Beers advised that a clarification meeting would be set-up and chaired by Judy Schultz, or her designee. J Schultz L Dubose By next meeting

8/22/01 - CR under review (MJB)

8/23/01 -- Qwest called Jim Thiessen (Avista) to set up clarification meeting; awaiting call back

8/27/01 -- Qwest called Jim Thiessen (Avista) to set up clarification meeting; awaiting call back #2

08/30/01 - Jim Thiessen (Avista) returned call; if no meeting on 09/04/01 then first meeting on 09/17/01.

09/05/01 - Qwest response posted to database

09/19/01 -- Status update provided at CMP (MJB)

09/21/01 -- Response walkthrough meeting with Avista (MJB)

09/24/01 -- Meeting minutes sent to Avista (MJB)

10/10/01 - Qwest response posted to database.

10/17/01 - CMP Meeting: Qwest presented draft response. Additional clarification meeting with Jim to occur regarding concerns, Loop with LNP. New CR may need to be opened.

11/09/01 - Issued Revised Response dated 11/09/01 to Avista.

11/14/01 - CMP Meeting - Qwest advised that the response denies the CR request, status changed to Denied. Eschelon would like Qwest to explain why a 24 hour commitment was not feasible.

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


Project Meetings

September 21, 2001 11:00 a.m. Change Request Response Walkthrough

Attendees:

Jim Thiessen (Avista), Lorna Dubose (Qwest), Margaret Bumgarner (Qwest), Todd Mead (Qwest), Tom Davis (Qwest), Michael Buck (Qwest)

Qwest presented the draft response to the change request. Jim (Avista) indicated that the change request was intended to correct a problem that occurs once every three or four months. (The problem has not occurred since the CR was issued in early June.) The issue is that if there is problem at the time of the port, Avista would like to have it resolved in less than 24 hours to prevent or reduce the amount of time a customer is left without service. In the past, Avista had been instructed to call the LNP LAB for resolution. When this has happened resolution has taken up to 24 hours.

Margaret (Qwest) indicated that she believes that the repair escalation process has subsequently changed. She believes the process is for the CLEC to call the ISC for issues within 48 hours of the port and that the ISC would make the call to the LNP Lab. Margaret believed that the new process was covered in a notice issued in late May.

Jim (Avista) indicated that if the process Margaret described would satisfy his concern and his intent for writing the CR.

Lorna took a few action items to confirm the process for Avista in a revised response.

Action Items: - Lorna Dubose (Qwest) to confirm process for dealing with LNP Lab (due 9/26) - Lorna Dubose (Qwest) to write revised response (due 9/26)


CenturyLink Response

November 9, 2001

Mr. Jim Thiessen

Avista Communications

This letter is in response to your CLEC Change Request Form, number 5608142 dated June 13, 2001 – LNP Repair Interval.

Request: Currently, Qwest has a 24-hour commit time for all LNP trouble tickets that are opened. These tickets can be escalated every ½ hour, but all the escalation does is guarantee that the ticket will be worked within 24 hours. Would like to see this reduced to a more reasonable amount of time.

Response: Repair intervals were agreed to at the performance measurement workshops under the auspices of the Regional Oversight Committee (ROC) and the Arizona TAG. MR-11 LNP Trouble Reports cleared within 24 hours was established as a measure of the interval agreed upon. The standard is parity with MR-3C Results for Retail Residence. Qwest will continue to be consistent with these agreements.

Qwest Call Center Agents will review any pending order information for accuracy and establish contact with the appropriate repair center, if necessary. The ISC will issue a work queue ticket and agree to provide regular status to the CLEC at regular intervals until resolution.

Sincerely,

Maureen Callan Group Product Manager


Open Product/Process CR PC101201-2 Detail

 
Title: Maintenance Conditioning
CR Number Current Status
Date
Area Impacted Products Impacted

PC101201-2 Completed
1/16/2002
Ordering, Repair UNE and Shared Loop
Originator: Moham, John
Originator Company Name: Covad
Owner: Buckmaster, Cindy
Director:
CR PM:

Description Of Change

Qwest should redefine and implement a process for conditioning when required by an ILEC Trouble Ticket in its maintenance processes or when a conditioning issue actually exists in the field but not in the Qwest LMU returns.

CLEC’s should not be required to place a (C) change order to add USOC’s to the circuit if the order is closed. A verbal authorization from the CLEC or a Qwest Technician should suffice.

This type of conditioning should be performed in a maximum of 3 to 5 business days. These circuits should be considered “Loops Out of Service” and should have the conditioning issues addressed in reduced intervals compared to the current 15 business day provisioning interval that is currently in place.

Conditioning:

- Load Coils

- Bridge Tap (Further definition is required here. Will Qwest remove all bridge tap or excessive bridge tap)


Status History

10/11/01 – CR received from John Moham of Covad

10/12/01 – CR status changed to Submitted

10/12/01 – Updated CR sent to John Moham of Covad

10/24/01 - Clarification Meeting Scheduled with Covad for 10/25/01.

10/25/01 - Clarification Meeting Held with Covad.

10/31/01 - Sent draft response dated 10/29/01 to Covad.

11/14/01 - CMP Meeting - CR was clarified with the CLECs. Qwest to review its draft response and re-issue.

12/06/01 - Revised draft response dated 11/30/01 posted to CMP database and issued to the originating CLEC.

12/12/01 - CMP Meeting: Qwest response presented to CLECs, agreement obtained to change status to CLEC Test

12/28/01 - Formal response dated 11/30/01 issued to CLECs

01/16/02 - January CMP meeting. CLECs agreed there had been no new issues and agreed to close this CR. CR Status changed to "Completed"


Project Meetings

10:00 am (MDT) / Thursday, Oct 25th, 2001 Alignment/Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PC101201-2- Maintenance Conditioning Request John Moham, jmoham@covad.com , Covad Larry Gindlesberger, Lgindles@covd.com, Covad Nancy Hoag, nhoag@qwest.com,Qwest Cindy Buckmaster, cbuckma@qwest.com, Qwest Brett Fesler, bfesler@uswest.com , Qwest Cliff Dinwiddie, cdinwid@qwest.com, , Qwest Ann Danielsen, aldanie@qwest.com, Qwest Michael Belt, mbelt@qwest.com, Qwest Introduction of Attendees Introductions, Ann Danielsen should be in attendance (Repair) - Courtesy Copy Review Requested (Description of) Change 1. Qwest should redefine and implement a process for conditioning when required by an ILEC Trouble Ticket in its maintenance processes or when a conditioning issue actually exists in the field but not in the Qwest LMU returns. (Accuracy of the Raw Loop Data Tool) i.e. - Loop qual, ADSL/RLD - check loop makeup = 10K no loads. Can’t get signal, have tech test for load and find that it is loaded. This adds 15 days to the interval at commitment date. This is on line sharing and IDSL (ISDN Capable Loop).

2. CLEC’s should not be required to place a (C) change order to add USOC’s to the circuit if the order is closed. A verbal authorization from the CLEC or a Qwest Technician should suffice.

No change order for conditioning during the maintenance process

3. This type of conditioning should be performed in a maximum of 3 to 5 business days. These circuits should be considered “Loops Out of Service” and should have the conditioning issues addressed in reduced intervals compared to the current 15 business day provisioning interval that is currently in place.

Change interval from 15 to 5 days only on maintenance process

Conditioning: - Load Coils - Bridge Tap (Further definition is required here. Will Qwest remove all bridge tap or excessive bridge tap) Not All but maximum to 6kf Confirm Areas & Products Impacted Areas: Ordering, Repair Products: Unbundled Loop, UNE, Loop Confirm Right Personnel Involved Cliff Dinwiddie - Lead Brett Fesler - Assist Nancy Hoag/ Cindy Buckmaster - Assist Ann Danielsen - Assist (Repair) Michael Belt - Coordinate CR Cradle to Grave Identify/Confirm CLEC’s Expectation Expectations of the CR are understood. Identify any Dependent Systems Change Requests N/A Establish Action Plan (Resolution Time Frame) Majority of the request is within “Loop Conditioning Refund Draft” being reviewed by CLEC community. Nancy Hoag transferring to Training, Cindy Buckmaster to Facilitate

Cliff Dinwiddie to formulate DRAFT Qwest Response prior to dry-run meeting November 6, 2001 and present at CMP meeting November 14, 2001.


CenturyLink Response

11-30-01

John Moham TAC Manager, ILEC Repair Covad Communications

CC: Bill Campbell Debra Smith Dennis Pappas Bernadette Derlein Betty Heid

This letter is in response to your CLEC Change Request Form, number PCCR101201-2 dated October 11, 2001 – Maintenance Conditioning.

Qwest’s loop conditioning process is standard across both the unbundled loop family of interconnection products and the shared loop family of interconnection products.

Request:

1. Qwest should redefine and implement a process for conditioning when required by an ILEC Trouble Ticket in its maintenance processes or when a conditioning issue actually exists in the field but not in the Qwest LMU returns. (Accuracy of the Raw Loop Data Tool) i.e. - Loop qual, ADSL/RLD - check loop makeup = 10K no loads. Can’t get signal, have tech test for load and find that it is loaded. This adds 15 days to the interval at commitment date. This is on line sharing and IDSL (ISDN Capable Loop). Qwest Response:

CLECs can use the ADSL Loop Qualification and RLD tools, in addition to other IMA based loop qualification tools, to identify the existence of Load Coils and/or Excessive Bridged Tap prior to placing an order. Qwest will always attempt to assign facilities that do not require conditioning. However, there may be some situations where the only way to fulfill a request requires Qwest to condition the loop. Qwest will not condition a loop without CLEC approval.

To simplify the process, CLECs have the option to pre-approve conditioning by entering a ‘Y’ in the SCA field of the LSR. If this field carries the ‘Y’, all Load Coils and Bridged Tap will be removed, with the exception of stub cable. The pre-approval option provides the following benefit: - If conditioning is required, the LSR will flow through the provisioning process without delay, - If the pre-approval is not included on your LSR and conditioning is required, Qwest will reject your LSR and you will need to submit a new LSR.

Pre-Approval inclusion will not have any negative impacts on your order. Qwest will still attempt to locate facilities that do not require conditioning. CLECs can request the standard interval and if Qwest can assign the loop to facilities that do not require conditioning, the requested interval will be honored. Conditioning charges will only apply if conditioning actually occurs.

Therefore, assuming the CLEC is ordering a non-loaded loop (LX-N – 2/4 wire non-loaded, LXR- - ADSL Capable, AD-- - ISDN Capable, ADU- - xDSL-I Capable):

- If the LSR is submitted with a “Y” in the SCA field, Qwest will attempt to assign a facility free of Load Coils and Bridged Tap. If Load Coils and/or Bridged Tap is present on the facility assigned, Qwest will dispatch to ensure that the circuit will meet the parameters specified by the CLEC in the LSR. - If the LSR is submitted without Conditioning authorized (with an “N” in the SCA field or with the SCA field blank), Qwest will attempt to assign a facility free of Load Coils and excess Bridged Tap. If Load Coils and/or excess Bridged Tap is present on the facility assigned, Qwest will reject the LSR advising the CLEC that conditioning is required and the CLEC will return to the step above. - If the LSR is submitted without Conditioning authorized (with an “N” in the SCA field or with the SCA field blank), Qwest will attempt to assign a facility free of Load Coils and excessive Bridged Tap. If such a facility can be found, it will be assigned and the request will be processed. In this situation, the facility assigned can have Bridged Tap on it that does not exceed the limits identified by the NC/NCI Code specified by the CLEC in the LSR. - If the CLEC requires that additional Bridged Tap be removed (i.e. the CLEC now wants Qwest to condition the loop), that request will come through the Service Delivery Center. The CLEC will need to submit an LSR authorizing Bridged Tap Removal by entering a ‘Y’ in the SCA field. The standard 15 Business Day Conditioning Interval will apply. - If Load Coils and/or excessive Bridged Tap are not identified by Qwest as present on the facility assigned, and the proper NC/NCI code were used to indicate a Non-Loaded facility, Qwest should be able to identify their presence in Test & Turn-Up. If the Test doesn’t indicate the presence of Load Coils and/or excessive Bridged Tap, and the loop is subsequently turned over with Load Coils and/or excessive Bridged Tap on it, Qwest will handle the issue in the repair environment. This process will not require the CLEC to submit a supplemental LSR. This repair process will be completed within 5 Business Days. In this scenario: - If the CLEC originally entered a ‘Y’ in the SCA field of the LSR, Qwest will remove any Load Coils and all Bridged Tap (see question 3 below). - If the CLEC originally entered a ‘N’ in the SCA field of the LSR or left the SCA field blank, Qwest will remove only the Load Coils and excessive Bridged Tap. Bridged Tap that doesn’t interfere with the services specified in the NC/NCI Code combination will not be removed. - No charges will be assessed to the CLEC.

Request:

2. CLEC’s should not be required to place a (C) change order to add USOCs to the circuit if the order is closed. A verbal authorization from the CLEC or a Qwest Technician should suffice.

No change order for conditioning during the maintenance process

Qwest Response:

As stated above, CLECs will not be required to authorize the removal of Load Coils and/or excessive Bridged Tap inadvertently missed by Qwest. CLECs are still required to request conditioning if additional Bridged Tap removal is requested and can do so per the process previously defined.

Request:

3. This type of conditioning should be performed in a maximum of 3 to 5 business days. These circuits should be considered “Loops Out of Service” and should have the conditioning issues addressed in reduced intervals compared to the current 15 business day provisioning interval that is currently in place.

Change interval from 15 to 5 days only on maintenance process

Qwest Response:

As stated above, if the circuit was incorrectly conditioned by Qwest, it will be corrected within 5 business days. If the CLEC would like additional Bridged Tap removed, the standard 15 Business Day Conditioning Interval will apply.

Request:

4. Conditioning: - Load Coils - Bridge Tap (Further definition is required here. Will Qwest remove all bridge tap or excessive bridge tap)

Qwest Response:

If requested by the CLEC (with a ‘Y’ in the SCA field), Qwest will remove all Bridged Tap (except stub cable). If Conditioning was not requested, Qwest will ensure that the circuit meets the acceptable standards of the NC/NCI codes requested and will remove the amount of Bridged Tap necessary to meet those standards.

Request:

5. Additional questions were asked during the clarification session. These questions and answers are provided collectively in this section.

a. Where are the processes documented for the conditioning interval and the maintenance process? - The conditioning interval can be found in the Service Interval Guide. More information regarding the process associated with intervals as they apply to your request can be found in the Product Catalog (PCAT) at: http://www.qwest.com/wholesale/pcat/interconnection.html - Additional information regarding Maintenance processes can also be found in the PCAT at: http://www.qwest.com/wholesale/pcat/interconnection.html

b. How are identified data-base errors corrected? A ‘yellow’ response on the RLD or ADSL Loop Qual Tool does not prohibit the CLEC from ordering the service. Upon receipt of the request, Qwest will attempt to assign an adequate facility. If necessary, a Technician will be dispatched to resolve discrepancies in facility record. Once those discrepancies are resolved, the Qwest Technician is responsible for providing an update to the database. As those discrepancies are resolved, the CLEC request can be completed.

Two tools have been deployed to provide a vehicle for Qwest Technicians to get corrected information back to the data-base.

They are: 4.1 Internet A url has been deployed so that field forces can access the Qwest Web Site. This site is used to update facility data, based on actual measurements. This is an internal url and will be used by Qwest personnel only. 4.2 FAX A form has been developed that allows a technician to note the same information that is input into the Qwest Web Site. The form should be filled out as the readings are being taken. At the end of the day, hand the form(s) to your supervisor. The supervisor, or designee, will fax the forms daily.

This, too, is an internal process only. As the Qwest employee is the only person updating the database, documentation regarding the process is not publicly provided.

Sincerely,

Cindy Buckmaster Group Manager – UBL Product Management


Open Product/Process CR PC101201-1ES Detail

 
Title: Shared Loop Data Parameters
CR Number Current Status
Date
Area Impacted Products Impacted

PC101201-1ES Denied
12/12/2001
Repair Unbundled Loop, Line Shared Loop
Originator: Moham, John
Originator Company Name: Covad
Owner: Dinwiddie, Cliff
Director:
CR PM: Thomte, Kit

Description Of Change

Qwest representation should work with the CLEC community to develop parameters for the support of DSL on Shared Loop circuits.

These test results should be standardized utilizing the CEMR MLT test and 77S test unit utilized by Qwest Central Office Technicians.

These standards should also drive processes to repair existing loops or LST (Line and Station Transfer) working voice but not in service data loops to acceptable loops out of the end users serving terminal. They should also drive process implementation for Qwest Network or Complex Network Service technicians to be dispatched out to address the identified loop quality issues.

Loop Standards on:

Capacitance

Resistance

DC and AC signatures

Voltage


Status History

10/11/01 - CR Received from John Moham of Covad

10/12/01 - CR status changed to Submitted

10/12/01 - Updated CR sent to John Moham of Covad

10/22/01 - Clarification Meeting held with Covad.

11/14/01 - CMP Meeting - CR was clarified with the CLECs. Qwest to prepare its draft response

11/28/01 - Received draft test parameters from Covad (Proprietary information)

12/05/01 - Draft response dated 12/5/01 posted to CMP database.

12/07/01 - Draft response issued to the originating CLEC. Status changed to Presented.

12/12/01 - CMP Meeting: Qwest response presented to CLECs, change request was denied.

12/28/01 - Formal response dated 12/5/01 issued to CLECs

01/11/02 - Qwest revised response superceding Qwest Response dated 12/05/01 posted to the CMP database

01/14/02 - Formal Escalation received from Covad, status changed to "Escalated"

01/15/02 - Qwest response sent acknowledging receipt of Formal Escalation from Covad (PC101201-1-E04).

01/15/02 - Escalation posted to the web: http://qwest.com/wholesale/cmp/escalations_dispute.html

01/15/02 - All CLECs notified this CR has been escalated

01/16/02 - January CMP meeting. Planned readout agenda item was canceled due to CR being escalated on 1/14/02

01/22/02 - Qwest issued binding response to Escalation E-04 dated 01/22/02 to Covad

01/22/02 - Qwest posted binding response to Escalation E-04 dated 01/22/02 to the web: http://qwest.com/wholesale/cmp/escalations.html

02/20/02 - February CMP meeting: Status update provided. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

03/20/02 - March CMP Meeting: Status update provided to CLECs. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/17/02 - April CMP Meeting: Status update provided to CLECs. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

05/15/02 - May CMP Meeting: Qwest advised that the CR was still in an Escalated status.

06/19/02 - June CMP Meeting: Qwest advised that the CR was still in an Escalated status.

07/08/02 - Per the agreement reached with the CLECs during the June Product and ProcessCMP meeting regarding escalated status this CR will carry the appropriate status prior to the escalation


Project Meetings

1:00 p.m. (MDT) / Monday, Oct 22nd, 2001 Alignment/Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PC101201-1- Shared Loop Data Parameters John Moham, jmoham@covad.com , Covad Larry Gindlesberger, Lgindles@covd.com, Covad Sheila Hoffman, shoffman@covad.com ,Covad Michael Lanoue, mlanoue@qwest.com, Qwest Brett Fesler, bfesler@uswest.com , Qwest Steve Hilleary, shillea@qwest.com , Qwest Deborah Heckart, dheckar@qwest.com , Qwest Michael Belt, mbelt@qwest.com, Qwest Introduction of Attendees Introductions Review Requested (Description of) Change Shared Loop Data Parameters – Qwest representation should work with the CLEC community to develop parameters for the support of DSL on Shared Loop circuits. These test results should be standardized utilizing the CEMR MLT test and 77S test unit utilized by Qwest Central Office Technicians. These standards should also drive processes to repair existing loops or LST (Line and Station Transfer) working voice but not in service data loops to acceptable loops out of the end users serving terminal. They should also drive process implementation for Qwest Network or Complex Network Service technicians to be dispatched out to address the identified loop quality issues. Loop Standards on: - Capacitance - Resistance - DC and AC signatures - Voltage Actual Testing of the lines doesn’t incorporate several tests they would like to occur. Detailed list to be provided by John Moham Confirm Areas & Products Impacted Area: Repair, Additional Defined Testing Products: Unbundled Loop, Line Sharing, UNE, Loop Confirm Right Personnel Involved Michael Lanoue indicated Ann Danielsen might need to be brought in depending on Qwest response to Covad request. If the Pre-qualification test package accepted, Terry Meehan might also need to be involved if dispatch is required. Identify/Confirm CLEC’s Expectation General Ideas of the parameters of the Loop testing which led to Quality issues. List of specific tests to be provided by John Moham by COB, Wed Oct 24, 2001. John would like to set up trial for developing testing parameters. Michael indicated other test that might be available or already in place(Loop length, JEP and Feedback Quality) but might have cost implications if implemented. Identify any Dependent Systems Change Requests N/A Establish Action Plan (Resolution Time Frame) Michael Lanoue to provide DRAFT response a couple days after receipt of Testing List (Criteria) provided by John Moham on Wednesday, Oct 24, 2001. This response to be provided/discussed at the November CMP Meeting to be held November 14, 2001.


CenturyLink Response

January 11, 2002

John Moham Covad Communications TAC Manager - ILEC Repair Denver COE Line Sharing Data Parameters

CC: Kathleen Lucero Steve Hilleary Deborah Heckart Brett Fesler Mike Lanoue

This letter supercedes Qwest Response dated 12/05/01 that responded to your CLEC Change Request PC101201-1 dated 10/12/01 Shared Loop Data Parameters.

This Change Request asks Qwest to engage in a collaborative effort with CLECs to establish testing provisioning and repair parameters for DSL on shared loops including: - a minimum set of standards; - standardized testing utilizing CEMR MLT and 77S test sets; - a loop repair process that requires a LST if the provisioned loop does not meet CLEC standards; and - a loop repair process that dispatches a Qwest technician if the loop has quality issues. Minimum Testing Parameters

Qwest is disinclined to develop a minimum set of provisioning and repair standards that would “qualify” a particular facility to carry Line Sharing for two reasons: - Difficulty in developing a “standard”. This is accentuated by the varied requirements of the multiple vendors, types of DSL, and quality of service deployed by CLECs. Developing the test parameters for an “acceptable” circuit for all CLECs would be a time and resource consuming activity for all parties and one not prudent to do in light of the following. - The minimum standards for provisioning and repair of a metallic loop are already being developed in an industry forum, American National Standards Institute (ANSI) T1E1.3. In order to prevent duplicative development and implementation efforts, Qwest believes the ANSI forum to be the most appropriate to address this issue. While Qwest denies this request to work independently with the CLECs on a set of minimum standards, Qwest is more than willing to work collaboratively with the CLECs and other industry participants to develop a set of national standards in the appropriate industry forum.

Additionally, Qwest Technical Publication 77406 Interconnection - Shared Loop outlines the minimum set of transmission standards that a facility can support. The transmission characteristics defined in the technical publication provide the CLEC with information regarding the minimum requirements that a facility must support to be delivered to a CLEC based on the Network Channel and Network Channel Interface (NC/NCI) codes that the CLEC includes on the Local Service Request (LSR). CEMR MLT and 77S Test Sets

In the clarification call for this Change Request, Covad indicated it would like to utilize Customer Electronic Maintenance and Repair (CEMR) Metallic Loop Test (MLT) for pre-provisioning xDSL loop qualification. Qwest has already addressed this issue in 271 workshops. CEMR MLT is a repair tool that provides CLEC testers in the repair process the capability to evaluate transmission characteristics of a metallic loop connected to a Qwest switch.

The reasons presented in the workshops for Qwest’s objection to using MLT in a provisioning process are twofold. First, MLT is an intrusive test that will disrupt voice services. While this is not a concern for repair scenarios, it is a real concern when MLT is being triggered electronically through CEMR. Secondly, to ensure the protection of Customer Proprietary Network Information (CPNI), MLT has a front end edit that limits access for a specific loop to the Local Exchange Carrier of record for that loop. In pre-order activity, MLT will not allow CLECs to access metallic loops it does not “own”.

However, in the Pre-Ordering process, Qwest can and does provide facility characteristic information to CLECs based on facility records via the Raw Loop Data Tool (RLDT). The data included in the RLDT is the same underlying data that Qwest utilizes to qualify loops for its retail xDSL product offerings. This data can be used, much the same way Qwest uses it, to qualify loops for CLEC xDSL services.

During the provisioning process to deliver shared loop products to CLECs, Qwest does use test sets, including the 77S, to identify load coils on a loop. Additionally, Qwest tests the electrical continuity of the data path for every shared loop provisioned for CLECs prior to circuit delivery.

Once the shared loop is provisioned for the CLEC, the CLEC can perform a MLT through CEMR.

Loop Repair LSTs

The Change Request indicates, "These standards should also drive processes to repair existing loops or Line and Station Transfer (LST) working voice but not in service data loops to acceptable loops out of the end users serving terminal." Qwest believes that existing repair processes sufficiently care for this concern. Again, Qwest delivers shared loop circuits according to the parameters outlined in Technical Publication 77406. Please review the response to Change Request PC101201-2 regarding loop conditioning during the repair process.

Loop Repair Dispatch

Qwest will dispatch a technician to a network DMARC at a customer premises only if trouble is isolated to the Outside Plant portion of the Qwest network. Qwest will not agree to dispatch its technicians unless the circumstances of a trouble ticket dictate such activity.

Sincerely,

Cliff Dinwiddie Senior Manager Global Wholesale Product Marketing


Open Product/Process CR PC102301-1 Detail

 
Title: Implementation of Covad’s IVR Testing Tool by Qwest for use in the field provisioning and repair process
CR Number Current Status
Date
Area Impacted Products Impacted

PC102301-1 Denied
9/18/2002
Repair, Field Provisioning Stand Alone Loops
Originator: Zulevic, Michael
Originator Company Name: Covad
Owner: Gianes, Tim
Director:
CR PM: Thomte, Kit

Description Of Change

IVR is an automated voice response (dial-in) system by which Qwest technicians can perform a one way “pre-test” of a loop prior to formal cooperative (two way) acceptance testing with Covad. IVR takes the Qwest tech through the same process as the two way test and will feed back results to the Qwest tech. If the loop tests good, the Qwest tech would then perform the coop test and loop turn-over with Covad. If a fault is discovered during the IVR test, the Qwest tech would then have the opportunity to correct the deficiency prior to turn-over to Covad. This process has been implemented in another ILEC and Verizon specifically asked for its use to improve their provisioning efficiency as part of its recent recovery efforts in NYC. Eventually, the goal will be to eliminate the need for cooperative testing, saving both Covad and Qwest time and resources, improving operational efficiencies for both.


Status History

10/23/01 - CR Received by Minda Cutcher of Covad Communications

10/23/01 - CR status changed to Submitted

10/23/01 - Updated CR sent to Minda and Susan Early

11/01/01 - Clarification Meeting Held with Covad.

11/14/01 - CMP Meeting - CR was clarified with the CLECs. Qwest to prepare its draft response.

12/03/01 - Additional clarification questions submitted to Covad via e-mail

12/05/01 - Received responses to e-mail questions

12/05/01 - Draft response dated 12/03/01 posted to CMP database and issued to the originating CLEC. Status changed to Presented.

12/12/01 - CMP Meeting: Qwest response presented to CLECs, agreement obtained to change status to Development. Covad to supply answers to balance of questions listed in response.

12/28/01 - Formal response dated 12/3/01 issued to CLECs

01/03/02 - Kick-off meeting for trial implementation held between Covad and Qwest

01/04/02 - Meeting minutes for Kick-off meeting issued to Covad

01/10/02 - E-mail update from Covad on Kick-off meeting actions

01/11/02 - E-mail from Qwest responding to Covad

01/16/02 - January CMP meeting. Qwest provided a status update to the CLEC community. CR Status remains in "Development"

01/29/02 - E-mail from Qwest providing update to Covad

02/06/02 - Reply e-mail from Covad

02/07/02 - Qwest response e-mail to Covad

02/13/02 - E-mail from Covad advising change of personnel

02/13/02 - E-mail response, Qwest waiting for new Covad contact to move forward with trial.

02/20/02 - February CMP meeting: Status update provided to CLEC community. Michael Zulevic will replace Minda Cutcher as the Covad representative for this CR. Qwest are waiting for Covad’s response to two questions before moving on with the trial. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/22/02 - Information E-mail from Qwest to new Covad CR owner

02/22/02 - Return E-mail from Covad

02/27/02 - Status report from Qwest posted in CMP database

03/20/02 - March CMP Meeting: Status update provided to CLECs, CR status to remain in "Development". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

03/22/02 - E-mail from Covad asking to begin trial without providing test parameters associated with IVR capability to Qwest

03/29/02 - Qwest left a voice mail with Covad informing them of an April 15th start date for the trial

04/17/02 - April CMP Meeting: Status update provided to CLECs. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/25/02 - Covad and Qwest met to discuss the status of the trial, meeting minutes from the session were posted to the data base pending approval from participating parties

05/06-02 - Qwest sent email to COVAD indicating that Qwest had begun the trial with COVAD

05/15/02 - May CMP Meeting: Qwest advised that they started the trial using Qwest historical data. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

06/19/02 - June CMP Meeting: CR status remains in "Development". Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

07-09-02 - July CMP session will have an update of status to reflect Qwest approach

07/17/02 - July CMP Meeting: CR status remains in "Development". Meeting minutes posted to this CR's Project Meetings section.

08/21/02 - August CMP Meeting: CR status remains in "Development". Meeting minutes posted to this CR's Project Meetings section and CMP Web site

09/11/02 - Sent Covad Revised Response

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


Project Meetings

09/18/02 September CMP Meeting Qwest (Gianes) reviewed the request and provided high level information regarding the rationale for the denial. Covad (Cutcher) indicated that Covad was very disappointed in the outcome of this CR. Things seemed to be progressing well and now Qwest is the only ILEC that is unwilling to use the IVR test tool. Worldcom (Balvin) inquired if this was an attempt to reduce resources and if so why would Qwest not be in favor of this approach? AT&T (Spangler) inquired if this was denied based on resource allocation? Qwest indicated that they reviewed statistics prior to the trial and during the trial of IVR and did not see any tangible improvements. A discussion ensued regarding Copper Max and IVR. Qwest (Beck) indicated that Qwest had selected a tool and was moving forward with the strategy. Covad indicated that this CR had been in the works for a while and Copper Max had not been discussed at that point. Long term Covad thinks this tool provides a more efficient process for Qwest, Covad seems to be getting mixed messages. Qwest replied that deploying Copper Max expands internal test capability that creates improved test isolation benefiting a broader base of the CLEC community and is not limited to a single CLEC. Covad viewed the decision as a regulatory response to an issue and would welcome a discussion with anyone from Qwest. This CR was updated to "Denied" status.

08/21/02 - August CMP Meeting Minutes Qwest (Gianes) indicated that a revised document had been provided, the document is being reviewed by the Network organization. A point of concern has been raised regarding the lack of information regarding the test parameters behind IVR. COVAD (Zulevic) inquired if the agreement was being expanded beyond provisioning? Gianes indicated that in the last session with COVAD (Mindy and John) agreed not to go beyond provisioning at this time. This CR will remain in “Development” status.

07/17/02 - July CMP Meeting Minutes: Qwest (Gianes) provided an update indicating that both COVAD and Qwest were happy with the results of the trial. Qwest would like to roll out the process within the fourteen states. Two regions have been trained so far, but actual implementation is pending legal approval. This process would be not be applicable to repair. This CR will continue with a status of "Development" Revised response will be provided prior to the next meeting.

To: "Berard, John" cc: "Zulevic, Michael" , "Cutcher, Minda" , "Linda Hendricks" , "Deni Toye" , "Mary Pat Cheshier" , "Alan D Braegger" , Michael Raleigh/Mass/USWEST/US@USWEST, "Kurtis L Preston" , "Rick Mabry" , "Diane L Diebel" , Kathleen Thomte/Mass/USWEST/US@USWEST

Subject: Re: IVR Trial with Covad

John, I still have not received the list of service orders from you that you had agreed to send for this trial. This list was to enable both company's to work from the same "database" for tracking purposes and determination of final results. I understand that the list may require updating on a weekly basis due to the service order intervals. That is not a problem. Would you also let me know what has happened regarding providing Qwest the On Time Performance (OTP) report we discussed. It was our impression that this was one of your critical measures of success in previous deployments of the IVR tool to other ILECs. Last week we decided to move forward without the service order list from Covad by asking Mike from the QCCC to pull a 30 day historical and future DD report. This will assist Kurt and Rick in determining which higher volume wire centers to focus on within the geography we discussed as we progress from the limited "dry run" with a few orders to the full scope of the trial. At this point we will use the future service order data we pulled as our baseline going forward to track and determine usage, IVR performance, etc. Also, Alan from the Qwest field staff, has developed a more refined flow chart which we have shared with the field director for use by the technicians. This provides an accurate and more straightforward chart of what the field technicians will experience when using the Covad IVR. I will be glad to share at our next joint status meeting. Please contact me regarding when you will be able to provide the future service order list and the OTP report at your earl

04/25/02 To: "Berard, John" cc: "Cutcher, Minda" , "'tgianes@qwest.com'" , "Zulevic, Michael" , "Deni Toye" , "Alan D Braegger" , lkhendr@qwest.com, Kathleen Thomte/Mass/USWEST/US@USWEST, "Rick Mabry" , "Kurtis L Preston" , "Mary Pat Cheshier" , Michael Raleigh/Mass/USWEST/US@USWEST, "Diane L Diebel"

Subject: Re: QWEST Trial of Covad IVR Loop Test Tool

Everyone, Here is a what I believe we agreed to on todays call: The trial will start Monday April 29th as scheduled. All parties agree that since Covad orders Coordinated Installation with Cooperative Test only, Qwest will utilize the IVR test during the Cooperative Testing portion of the test and turn up. As the field technicians become more comfortable with the IVR tool they have the option of utilizing the IVR at any point during their installation activity as long as it does not jeopardize Qwest meeting the Coordinated Install timeframe. Qwest will begin the trial by having a technician access sample Covad service orders and run through the IVR process. The technician will provide the Qwest team immediate feedback regarding their experience. John will send to Tim a list of pending Covad service orders so both Covad and Qwest will be working from the same list. This is critical in providing accurate results at the end of the trial. John is still pursuing providing an On Time Performance (OTP) report to Qwest since this is where Covad indicates there will be a significant benefit. John agrees a report of this type will be a valuable measure of success at the end of the trial. Minda confirmed that Qwest is the only ILEC with whom Covad orders Coordinated Installs. Based on the nature of Coordinated Install orders, Qwest performs extensive workstep completion confirmation prior to a field tech being dispatched to the premise. Minda agrees that because Qwest applies a very structured approach to Coordinated Installs this may minimize the extent of the benefit to Qwest that other ILECs have experienced with the IVR. Everyone also agrees that Qwest will continue to perform and document their required Core tests and follow established Coordinated testing agreements as they do today. Utilizing the IVR does not negate any current processes. Minda also agrees that if Qwest experiences a Fail situation via the IVR but successfully has passed standard Qwest core tests in the same area, Qwest will not default to the Covad test result but will contact Covad and work through the variance on a case by case basis as they do today. Tim will update the Trial Document to specify that Qwest will only enter the numeric portion of the PON number when accessing the IVR tool. Tim will schedule a follow up with the QCCC and the field to confirm the tracking spreadsheet detail Qwest will utilize to provide trial results on the orders submitted by Covad. Tim will schedule a joint meeting with Covad within the first 2 weeks of the trial to discuss progress and address concerns and opportunities.

I have tried to capture our conversation acccurately and completely and ask that you send me any corrections to what I have stated by end of day tomorrow. If there are no corrections or after making corrections I will ask that Kit Thomte incorporate these notes into our ongoing tracking of the original CR.

Tim Gianes 303 703-2199 03/22/02 - E-mail from Covad asking to begin trial without providing test parameters associated with IVR capability to Qwest

From: "Michael Zulevic" To: "Todd Meade" , "Michael Keegan" Cc: "Berard, John" Subject: IVR documentation Date: Fri, 22 Mar 2002 11:16:38 -0700

Todd,

Per our discussion yesterday, Covad does not see the need to provide our test perameters associated with our IVR capability to Qwest. Covad considers this to be proprietary information. As I stated yesterday, I would be willing to certify that our test perameters are within the technical specifications of your UNE loop offering. Once again, the IVR capability is in use in Verizon and the capability is now being deployed in SBC. BellSouth is also working with us to deploy the capability there as well. Covad has not been "required" to provide technical documentation to any of these ILECs as a condition of use. It must be understood that the IVR is a test capability, developed for use by Covad, that we are agreeing to allow Qwest and other ILECs to use, to assist them in their provisioning process. If, after a joint trial is completed, Qwest determines they have no need for this test capability, there is no obligation to continue with it's use. I would like to begin the trial as soon as possible, as trials with other ILECs have resulted in a significant improvement in the delivery of UNE loops. Please let me know if this informaion is sufficient to start the trial, and when we can get it started.

Thanks,

Michael Zulevic Director- External Affairs Office(520)575-2776 Cel(303)884-5657 Fax (520)575-2785

02/27/02 - Status report from Qwest posted in CMP database

Subject: Covad IVR Meeting 2/27/02 Date: Wed, 27 Feb 2002 16:12:46 -0700 From: "Tim Gianes" To: Todd Mead CC: "Frederick M Aesquivel Iii" Todd, I participated on a call today with Michael Zulevic and John Berard with Covad. John was involved in the deployment of the Covad IVR to Verizon. We discussed the 2 pending requests which were: - Utilization of the Covad circuit ID instead of the PON to activate the IVR - Full disclosure of specific tests activated (by circuit type) within the IVR and the related test parameters set for each Pass/Fail decision

John felt he could locate the IVR development document which should contain this information and send me a copy. Michael questioned the need for Qwest to have this data. I explained that this would allow us to insure that Covad & Qwest agree on the standard tests and test parameters utilized by the IVR before requiring field technicians to accept the Pass/Fail status from the IVR. It will be very beneficial to the field and center technicians to understand what the IVR is running, not just the net result, so they can better determine what action to take. Having the test detail will also promote buy-in from the field to actively use the IVR tool if they see the potential value of the test results.

I have agreed that Qwest will utilize the PON# which is present on the Worddoc. Micheal stated that the PON numbers were unique and would not cause Qwest to inadvertently intrude on another Covad circuit in error. Since Covad currently does not always provide their circuit ID on the LSR, requiring this would create an unnecessary step for Covad. Despite Qwest's preference to use the Covad circuit ID there is no compelling system or process related reason to not use the PON# as preferred by Covad. If using the PON becomes a problem, the process will have to be amended to revert to the circuit ID.

I am awaiting delivery of the detailed IVR document from Covad. Upon receipt, review, and agreement on tests & test parameters we will set a definite trial start date. Regarding the trial, I confirmed with Michael that Denver metro was the agreed location and 60 days the agreed trial duration. I also mentioned, and they concurred, that at the end of the trial we would gather performance results data as defined in my original response to the CR and determine future action.

Tim Gianes 303 703-2199

02/22/02 Return E-mail from Covad

Subject: RE: CR Interactive Report Date: Fri, 22 Feb 2002 20:02:53 -0700 From: "Michael Zulevic" To: "Todd Mead" CC: "Gianes, Timothy" Todd, I am looking for answers to your questions and sent an email to Tim earlier today asking about your availability for a clarification call this Weds. with one of our people who facilitated the implementation in Verizon. Hopefully, we can get this back on track real soon. Thanks, Michael Zulevic Director- External Affairs Office(520)575-2776 Cel(303)884-5657 Fax (520)575-2785

02/22/02 Information E-mail from Qwest to new Covad CR owner

From: Todd Mead [mailto:tmead@qwest.com] Sent: Friday, February 22, 2002 12:02 PM To: mzulevic@Covad.COM Cc: Gianes, Timothy Subject: CR Interactive Report Mike, As promised, here is the link to our interactive report where you can see the latest on your CR(s). This report is updated every 2 days. http://qwest.com/wholesale/cmp/changerequest.html (click on the Product/Process link) As regards to PC102301-1 IVR Testing Tool, there are two outstanding issues. Qwest is waiting for Covad to supply a response to these issues before we move on with the trial. The issues are: - Please provide the test detail behind each of the IVR options by product and respond in particular to the discrepancy on the loop length issue. - Would Covad be able to provide their circuit ID on every order so we could use that rather than the PON? You may already provide the circuit ID already but wanted verification it is standard procedure to include it on all ISRs. After your meeting with Mindy, please let me know if you want me to set something up with Qwest personnel. Thanks Todd

02/13/02 E-mail response, Qwest waiting for new Covad contact to move forward with trial.

From: Tim Gianes 02/13/2002 03:18 PM To: "Cutcher, Minda" Subject: RE: IVR Trial Status (Document link: Tim Gianes) Thanks for the heads up Mindy. I hope you are moving into something else you will be enjoying, Thanks for helping and providing the information you have. I will await the decision fom Covad on who our contact will be and will look for the requested data from that person going forward. Good luck! Tim Gianes 303 703-2199

02/13/02 E-mail from Covad advising change of personnel

From: "Cutcher, Minda" on 02/13/2002 12:52:26 PM To: Tim Gianes Subject: RE: IVR Trial Status Tim, As a result of some internal reorgs at Covad, someone else is going to be driving this forward with you. It will likely be Mike Zulevik, but I will keep you posted. It will take us a few weeks to transition. Mindy

02/07/02 Qwest response e-mail to Covad

Subject: RE: IVR Trial Status From: Tim Gianes 02/07/2002 09:16 AM To: "Cutcher, Minda" cc: Todd S Mead , Michael Keegan , Deni Toye , Terrance L Meehan , Linda Hendricks Subject: RE: IVR Trial Status (Document link: Todd S Mead) Mindy, I was expecting you to be able to provide the test detail behind each of the IVR options by product and respond in particular to the descrepancy on the loop length issue I mentioned. Also, would Covad be able to provide their circuit ID on every order so we could use that rather than the PON? You may already provide the circuit ID already but wanted verification it is standard procedure to include it on all ISRs. Thanks. Tim Gianes 303 703-2199

02/06/02 Reply e-mail from Covad

Subject: RE: IVR Trial Status From: Cutcher, Minda" on 02/06/2002 05:29:48 PM To: Tim Gianes , Todd S Mead , Michael Keegan cc: Deni Toye , Terrance L Meehan , Linda Hendricks Subject: RE: IVR Trial Status Tim, Help me out here. Are you looking for me to give you some more info or are you chasing the info? Mindy

01/29/02 E-mail from Qwest poviding update to Covad

Subject: IVR Trial Status Date:01/29/2002 04:02 PM From: tgianes@qwest.com To: mcutcher@covad.com, Todd S Mead/Mass/USWEST/US@USWEST, "Michael Keegan" cc: "Deni Toye" , "Terrance L Meehan" , Linda Hendricks/COMPLEX/USWEST/US@USWEST Mindy, Todd and Mike, Here is an update after the meeting I had with the Qwest Unbundled Services Process team. They expressed a couple of concerns that I believe can be resolved without much delay. As soon as we close on these issues we should be able to start a trial. First: They are strongly recommending that we use the Covad circuit ID instead of the PON number. We would have to insure that the circuit ID is posted to the LSR up front by Covad. This circuit number should appear on the Worddoc that the field techs work from. Second: They have requested a detailed description of the specific tests (with acceptance parameters) that are run at each option of the IVR and for each service type. I did receive a document titled Covad Loop Test Logic which seems to describe some of Covad's test acceptance parameters. Within that document for instance under Loop Length it shows that 15K is the acceptable parameter for ADSL. If this is built into the IVR parameters we would fail the test when in fact I don't believe these circuits have this requirement. For those that do have a length restriction it is 18K not 15K. We all agreed that long term there is the potential for incremental time savings, depending to a large degree on the detail provided by the IVR. Hence the desire to still pursue the trial. I will complete the trial document when I have these last 2 elements. The test parameters by option will be included in the trial documentation that I will distribute to the field. Please call with any questions/clarifications. It may be beneficial to have a quick call with the IVR SME to quickly work through the test options issue. Tim Gianes 303 703-2199

01/11/02 E-mail from Qwest responding to Covad

Subject: Re: Status at Last Date: Fri, 11 Jan 2002 09:02:58 -0700 From: "Tim Gianes" To: "Cutcher, Minda" CC: tmead@qwest.com, tgianes@qwest.com Mindy & Todd, My responses are in red after the question. "Cutcher, Minda" on 01/09/2002 08:44:26 PM To: tmead@qwest.com, tgianes@qwest.com Subject: Status at Last Todd and Tim, At last, here's my status on Action Items: 6.1 complete 6.2 the answer is yes to all (with the exception of the request on "fail to access") however, I think Covad could provide some generic data on system up time, which would drive to the same info (yes?). =Generic up time data would be helpful.= However, the catch is that to collect all this data requires a programming request, which could take between 2-4 weeks, depending on workload in our IT group. On the I-Report stuff, my understanding is that Covad will provide Qwest with a list of all orders that used IVR, then Qwest would run the I-Report analysis. Please confirm. =This is correct. Will need Qwest order numbers and related repair ticket numbers as well. Based on agreed definition of "I" report........submitting a repair ticket within 30 days of the service order DD.= 6.3 complete 6.6 sounds like Tim and I have more work to do on this. Let me know when would be a good time to discuss further. =Todd, could you schedule a 30 minute meeting? Looks like late (after 4 pm) on the 16th or 18th, or anytime on the 21st would be ok at this time.= If you have any questions, etc. let me know. Otherwise, let's talk about next steps to implementation. Mindy 253-323-2481 (efax) 781-649-0703 (p) 978-869-7376 (m)

01/10/02 E-mail update from Covad on Kick-off meeting actions

Subject: Status at Last Date: Wed, 9 Jan 2002 19:44:26 -0800 From: "Cutcher, Minda" To: tmead@qwest.com, tgianes@qwest.com Todd and Tim, At last, here's my status on Action Items: 6.1 complete 6.2 the answer is yes to all (with the exception of the request on "fail to access") however, I think Covad could provide some generic data on system up time, which would drive to the same info (yes?). However, the catch is that to collect all this data requires a programming request, which could take between 2-4 weeks, depending on workload in our IT group. On the I-Report stuff, my understanding is that Covad will provide Qwest with a list of all orders that used IVR, then Qwest would run the I-Report analysis. Please confirm. 6.3 complete 6.6 sounds like Tim and I have more work to do on this. Let me know when would be a good time to discuss further. If you have any questions, etc. let me know. Otherwise, let's talk about next steps to implementation. Mindy 253-323-2481 (efax) 781-649-0703 (p) 978-869-7376 (m)

01/04/02 Meeting minutes for Kick-off meeting

11:00 a.m. (MDT) / Thursday 3rd January 2002

Attendees: Todd Mead / Qwest Tim Gianes / Qwest Mindy Cutcher / Covad

Purpose of the meeting was to develop the framework for the IVR trial scheduled to begin on the 28th January 2002 and lasting for approximately 2 months.

Identify/Answer CLEC/Qwest Questions About Trial : Location of trial – Denver Metro area. Tim will verify with local field director Duration of trial will be approximately 2 months During the trial, all existing loop tests will continue as before. Qwest technicians will still provide continuity tests to Covad as requested and Qwest center technicians will continue to provide Covad required circuit turn-up test results.

Establish Action Plan (Resolution Time Frame): 6.1 Mindy will provide Tim a password for IVR by Monday (01/07/02) / Mindy 1/7/02 6.2 Mindy will provide details on reporting capability of IVR. Specifically: - Number of times Qwest accesses the Covad IVR - Number of times Qwest attempts to access IVR but fails (new request) - Number of circuits tested by Qwest via the IVR - Number of circuits that Passed the required IVR tests - Monthly summary of failed tests by state - Identify all circuits tested via the IVR by Qwest to run batch report for “I” Reports 6.3 Mindy needs to confirm what type of circuit the IVR testing tool should be used for. / Mindy 1/7/02 6.4 Todd to forward the ppt and pdf file attached to original CR onto Tim. / Todd 1/3/02 6.5 Tim will produce a trial document outlining the trial purpose, what will be measured during the trial and the expected outcomes. / Tim 1/14/02 6.6 Ideally, this trial should capture the number of times the IVR test generated a ‘pass’ but Covad found a problem with the circuit. Both Qwest and Covad will explore options for collecting this data. / Tim/Mindy 1/14/02

12/05/01 Answers to additional clarification questions, received from Covad:

Answers to the questions are embedded below. Keep in mind that we offer this to the ILECs as an additional testing tool for their use and have not had the opportunity to do any rigorous data gathering and analysis. That might be something we can build in to the trial if Qwest decides to go forward.

- What is the availability time of the IVR? I have assumed 24x7 but have there been unscheduled downtimes over the past 6 months and if so how many and for how long? The system is designed to be on 24X7. It is the same system Covad field techs and Agents use to test orders.

- What are the specific circuit types that are included in their process with Verizon? LX--? etc. It can be used to test any UNE loop... just not line share.

- Has COVAD tracked the success rate for accessing the IVR and completing the tests? If so what is the rate? No data on this.

- Is part of the agreement that if the tests come back positive, COVAD technicians will accept the test results without question and complete the order? No this is just to be used as a tool for the ILEC Tech at this time. It is not a replacement for test and accept.

- Has COVAD measured the actual usage of the IVR tool by Verizon.....what % of the orders that qualify are tested by Verizon utilizing the IVR? It has only been used as a interim test tool not for test and accept so no data on this.

- What % of the orders tested by the IVR and accepted by COVAD have had an "I" report (repair ticket within 30 days of turnup)? No data on this.

- What are the specific test parameters utilized by the IVR for each test run? It is the same parameters that are used by our agents when they test the loop for test and accept.

10:00 am (MDT) / Thursday, November 01, 2001

Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PC102301-1- IVR Testing

Minda Cutcher, mcutcher@covad.com , Covad Fred Aesquivel III, faesqui@qwest.com, Qwest Michael Belt, mbelt@qwest.com, Qwest

Introduction of Attendees Introduction, Fred, Mike, Minda / T. Meehan and T. Gianes left call per Fred’s request.

Review Requested (Description of) Change Implementation of Covad’s IVR Testing Tool by Qwest for use in the field provisioning and repair process. The Request was reviewed and fully understood.

Confirm Areas & Products Impacted Areas: Field Provisioning and Repair Products: Unbundled Loop/ Stand Alone Loops

Confirm Right Personnel Involved Fred Aesquivel will coordinate SME’s for review and response Michael Belt – Coordinate CR

Identify/Confirm CLEC’s Expectation Covad would like to implement IVR testing with Qwest. The Integrated Voice Response (IVR) unit is an automated, menu-driven tool allowing technicians to run loop tests, loop diagnostics, perform open, short, and quiet tests, and send a tone across the ILEC loop without calling for assistance. IVR is an automated voice response (dial-in) system by which Qwest technicians can perform a one way “pre-test” of a loop prior to formal cooperative (two way) acceptance testing with Covad. IVR takes the Qwest tech through the same process as the two-way test and will feed back results to the Qwest tech. If the loop tests "good", the Qwest tech would then perform the coop test and loop turnover with Covad. If a fault were discovered during the IVR test, the Qwest tech would then have the opportunity to correct the deficiency prior to turnover to Covad. This process has been implemented in another ILEC and Verizon specifically asked for its use to improve their provisioning efficiency as part of its recent recovery efforts in NYC. Eventually, the goal will be to eliminate the need for cooperative testing, saving both Covad and Qwest time and resources, improving operational efficiencies for both.

Identify any Dependent Systems Change Requests N/A

Establish Action Plan (Resolution Time Frame) Fred Aesquivel III to coordinate with Verizon on previous IVR testing from trial done in April/May in Massachusetts regarding loop turnover with Bell Atlantic.


CenturyLink Response

September 5, 2002

Michael Zulevic Covad

SUBJECT: Qwest’s Revised Change Request Response - CR #PC102301-1 Implementation of Covad’s IVR Testing Tool by Qwest

This is in response to Covad’s Change Request (CR) PC102301-1. This CR requests that Qwest implement Covad’s IVR Testing Tool for use in the field for Unbundled Loop provisioning and repair to warrant Qwest’s Technical Publications parameters. Qwest utilizes its own test tools for Unbundled Loop provisioning and repair. The use of Covad’s IVR tool requires adding an additional and redundant step to the Unbundled Loop provisioning process and Unbundled Loop repair process.

Utilization of Covad’s IVR tool obligates Qwest to stand ready to evaluate and accept any request from other CLECs to trial their respective test platforms into Qwest’s processes in a nondiscriminatory manner. Additionally regulatory requirements prohibit Qwest from providing different levels of service to CLECs. Utilization of a CLEC provided provisioning and repair tool or process may benefit some CLECs over others by creating disparate service levels.

Since acceptance of this request from Covad would open Qwest to accepting similar requests from all CLECs, Qwest has determined that utilization of the Covad IVR testing tool would be cost prohibitive to implement. Qwest would incur additional and unrecoverable costs related to turning up and completing service orders and/or repair tickets. * Cost estimates are based on order volumes (300,000) across the 14 states for a minimum of 300 existing CLECs who could each make similar requests of Qwest and which Qwest may have to honor for parity purposes. * Qwest would incur additional costs related to initial & required ongoing employee training for any testing tool that could be provided by the CLECs. Depending on the service types included, provisioning and/or repair application, and the complexity of the tool, employee-training costs or initial deployment could run $100,000 per request or potentially $30M if all CLECs made similar requests of Qwest. Considering the increasing complexity of providing comprehensive training to manage multiple CLEC test vehicles, ongoing and refresher training costs would be substantial. * Qwest already performs and documents internal tests based on ANSI standards. Utilizing test tools from CLECs would not only duplicate those tests but would require Qwest to spend a minimum of an additional 3-5 minutes per order at a cost of $690,000 - $1,150,000 per year based on regional order volumes. *Qwest would also incur additional costs related to required operational trials, process documentation and revisions, and the complexity of managing numerous process requirements for multiple tools. This is not measurable at this point due to the unknown nature of each potential request, but is recognized as a valid concern and real cost to Qwest.

The requested change does not result in a reasonably demonstrable business benefit to Qwest or Covad. In fact performance data during the trial does not support that service levels improved for Covad. Utilizing multiple test platforms requires Qwest to create multiple processes, requiring the Qwest Network Technician to determine which process/platform to use for which CLEC. This creates potential for human error, potentially degrading service quality and performance results.

As stated above, adapting the IVR tool into Qwest’s processes creates legal, economic and service quality performance liabilities for Qwest. Qwest respectfully declines to implement Covad’s IVR tool into its Network processes.

Sincerely,

Tim Gianes Senior Project Manager

cc: Paul Kirchhoffer, Diane Diebel, Mary Retka, Barry Orrel

12-03-2001

Minda Cutcher VP ILEC Relations Covad

CC: Fred Aesquivel Douglas Lange Todd Mead

This letter is in response to your CLEC Change Request Form, PC102301-1 dated 10/23/01 entitled “Implementation of Covad’s (IVR) Testing Tool”.

After having reviewed your request I was also able to interview John Reed with Verizon, a current user of the Covad IVR testing tool. Unfortunately John was unable to provide documented data regarding several critical measures. However, he was very positive in his feedback as a whole and felt that the tool has provided improved efficiencies when completing service orders with Covad.

Thank you for agreeing to respond to these and other questions I have recently submitted to you. The answers will greatly assist us as we move forward. - Percent of usage of the IVR tool for qualified orders? - Specific test parameters of the tool for each test? - Specific circuit types included in the process? - Have there been system access issues…..if so how often etc? - Rate of “I” reports (repair tickets within 30 Days) on IVR tested orders?

Based on some positive feedback from Verizon, the fact that there is no cost to Qwest, and the apparent benefit to all parties of utilizing the IVR tool, I am recommending that Qwest move forward by conducting a trial. The purpose of the trial would be to develop a documented process and to help Qwest & Covad establish data validating the usage and gained efficiencies of the IVR tool. The trial would be conducted in a metro area agreeable to both parties for a minimum period of 2 months beginning no later than January 28th, 2002. The results of the trial and answers to the above questions will determine further action regarding this initial Change Request. If Qwest ultimately decides to accept the new process, it will be with the understanding that Covad, and any other CLEC requesting this process, must provide the IVR, test vehicle, and process and usage documentation at no cost to Qwest.

Sincerely,

Timothy Gianes Senior Project Manager - Qwest Communications


Open Product/Process CR PC102901-1 Detail

 
Title: Qwest to include PON on Qwest Winback Orders.
CR Number Current Status
Date
Area Impacted Products Impacted

PC102901-1 Completed
4/17/2002
Ordering Centrex, Resale, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Pent, Anne
Director:
CR PM: Thomte, Kit

Description Of Change

Currently when Qwest Wins Back a customer from Eschelon and an order is issued on an Eschelon account Qwest does not enter a PON. When Qwest does not enter a PON on an order then the Loss and Completion Report does not include a PON. Eschelon asks Qwest to develop, document, distribute and train an adhered to process to use a PON on all orders issued on Eschelon accounts.


Status History

10/29/01 - CR Received by Kathy Stichter of Eschelon

10/29/01 - CR Status changed to Submitted

10/29/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

10/30/01 - Clarification meeting scheduled for Friday 11/02/01.

11/02/01 - Clarification Meeting held with Eschelon

11/14/01 - CMP Meeting - Eschelon presented its CR.

12/05/01 - Second clarification call held

12/12/01 - CMP Meeting: Eschelon presented its CR, Qwest SME in attendance, status changed to Evaluation. Discussion centered on whether the fix will be systems or process related. Eschelon was concerned about the timing of implementation if a systems fix is required. Qwest will explore both systems and process related fixes to this request. Qwest will present their draft response at the January CMP meeting.

01/10/02 - Draft response dated 01/10/02 posted to the CMP database and issued to Eschelon. Status changed to "Presented"

01/16/02 -January CMP meeting. Qwest presented their response to the CLEC community. CLECs agreed to change the status to "Development"

01/21/02 - Formal response dated 01/10/02 issued to CLECs

02/20/02 - February CMP meeting: Action item # 1 presented and closed. CR will remain in Development status until March CMP meeting. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/21/02 - Notification issued to CLECs with announcement of PON field enhancements on Loss & Completion report

03/20/02 - March CMP meeting. CLECs agreed to change CR status to "CLEC Test." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be

posted on the CMP Web site

04/01/02 - Sent Eschelon an e-mail asking for status on the system fix

04/01/02 - Reply e-mail from Eschelon - they continue to send daily reports to Qwest with missing PONs

04/09/02 - E-mail from Qwest explaining the two examples where there was no PON for winback orders

04/17/02 - April CMP Meeting: CLECs agreed to close CR. Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site


Project Meetings

04/09/02 - E-mail from Qwest explaining the two examples where there was no PON for winback orders

Subject: Qwest Winbacks - Loss Report Date: Tue, 09 Apr 2002 15:09:36 -0600 From: "Todd Mead" Organization: Qwest Communications International, Inc. To: Bonnie Johnson CC: Kathleen Stichter

Bonnie, Thanks for the update on this issue. Qwest continues to monitor and investigate the daily spreadsheet you send to Dee. Thus far, Qwest has discovered two examples from your spreadsheets where the PON field was left blank on Qwest Winbacks. However, both of these orders were processed on 3/14 (the edit was implemented 3/16). If these early orders are not touched between the issue date and completion date and were submitted prior to the 3/16 edit, then the PON field will remain blank. However, for any orders submitted after 3/16 you should not see the PON field blank for Winbacks. Please continue to monitor and forward any examples to Qwest.

Thanks

Todd

04/01/02 - Reply e-mail from Eschelon - they continue to send daily reports to Qwest with missing PONs

Subject: RE: CR Update Date: Mon, 1 Apr 2002 10:20:31 -0600 From: "Johnson, Bonnie J." To: Todd Mead , "Stichter, Kathleen L."

Todd, See below!

--Original Message-- From: Todd Mead [SMTP:tmead@qwest.com] Sent: Monday, April 01, 2002 9:46 AM To: Stichter, Kathleen Cc: Johnson, Bonnie Subject: CR Update

Kathy, I am looking for some feedback on two of your CRs that are currently in CLEC Test:

PC102901-1 "Qwest to include PON on Qwest Winback Orders" Hopefully you are now seeing the Loss reports with the PON field populated for winback orders? Check with Dee Lucket at Qwest. We continue to send "missing PON's" to her on a daily basis. Dee would be able to give you the compliance rate as she identifies which "missing PON's" are Qwest winbacks.

02/21/02 Notification issued to CLECs with announcement of PON field enhancements on Loss & Completion report

Announcement Date: February 21, 2002 Effective Date: March 16, 2002 Document Number: SYST.02.21.02.F.02589.PONFldLs-CmplRpt Notification Category: System Target Audience: CLECs, Resellers Subject: PON Field for Loss & Completion Report (Winback and Record Orders)

This notification is to advise Loss & Completion report users that, effective March 16, 2002, two enhancements to the Loss & Completion reports will be implemented:

- For Qwest ‘Winback’ orders, the Loss and Completions report will display “000015137896” as the PON. - For Qwest ‘Record’ orders, the Completions report will display “RECCOR” as the PON.

If you have any questions, please feel free to contact me at 303-896-2680.

Curt Anderson 271 IT PMO

Wednesday, 5th December, 2001 / 12:00 p.m. (MST)

Second clarification call

Attendees: Kathy Stichter / Eschelon Bonnie Johnson / Eschelon Anne Robberson / Qwest Donna Svendgaard / Qwest Todd Mead / Qwest

Identify/Confirm CLEC’s Expectation - Eschelon do not want to see any orders on the completion report without an accompanying PON - Eschelon do not require the use of the word “Win Back” on the completion report if this creates parity issues with Qwest Retail. Who the customer goes to is not important to Eschelon, confirmation that Eschelon should stop billing the customer is the issue here. - With the implementation of a suitable process, Qwest and Eschelon can stop the current process of sending and investigating daily spreadsheets of completion orders with no PONs.

Establish Action Plan Anne will set up a meeting with Resale before next CMP meeting (12/12/01) Anne will report progress at December CMP meeting A draft response will be posted to the web and presented at January’s CMP meeting

Friday, 2nd November, 2001 Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PC102901-1 Qwest to include PON on Qwest winback orders.

Meeting Minutes of Eschelon Meeting 11/2/2001

Attendees: Kathy Stichter, Eschelon Bonnie Johnson, Eschelon Mark Routh, Qwest CMP Manager Peggy Esquibel-Reed, Qwest CMP Todd Mead, Qwest CMP Mike Belt, Qwest CMP Mark Coyne, Qwest Wholesale Process Anne Robberson, Qwest Wholesale Process Nancy Walker, Qwest Wholesale Systems Barbara Campbell, Qwest Wholesale Systems Curt Anderson, Qwest Wholesale Systems

The above attendees met on Friday, 11/2/2001 to review the research findings for the data issues that Eschelon had identified on their Loss and Completions reports. The research findings and resulting Qwest actions are documented in a document titled “Eschelon Research Summary”. The details of the data researched are documented in a document titled “Eschelon Research Details”. In addition to the Qwest actions identified in the “Eschelon Research Summary”, the following action items were identified in the meeting:

Anne will complete the Issue Reference column on the Eschelon Research Details document and return the document to Nancy. Nancy will forward it on to Peggy for distribution to Eschelon. Mark Coyne will define and implement a process for identifying the Qwest winback orders on the list of orders with missing PONs that Eschelon delivers to Qwest daily. Nancy will contact Alan Zimmerman to discuss Eschelon’s use of the Loss and Completions Report. It appears that Eschelon is using the report to identify when a line was lost for the purpose of discontinuing account billing. This may not be an appropriate use of this report. Anne will research the “C” orders with TIC charges that appear on one of Eschelon’s daily missing PONs list and will determine whether or not these orders were written correctly. Anne will research the orders that were identified as missing the TRAK DCR RS on the Eschelon Research Details document and will determine what process failures caused the omission. The following URs and CRs were discussed as a result of this research. Curt will track the processing of these requests to provide status updates to his management prior to the next CMP meeting. 1. Missing or Inaccurate PON on Completion Report:

The Missing PON spreadsheet sent on 10/2 had 248 detail lines which reflected 118 orders with missing or inaccurate PONS. For these orders, the Completion Report correctly included the service order information that was present in the SOP. The SOP either did not have PONs for these orders or had the inaccurate PONs at the time the orders completed. The causes for the missing or inaccurate PONs were traced to the following seven order writing scenarios:

Of the 118 orders: A. 58 are Qwest Retail “winback” orders. These orders were initiated by Qwest Retail and do not include PONs. These orders appear on the Loss and Completions Reports for the CLEC that is losing the service to notify them of the impact to their business. Qwest Actions: - Anne will talk with the retail service center that processes “winback” orders to gather information about their process and will determine if their process can be changed to require entry of a PON. Eschelon has submitted CR #PC102901-1 requesting this process change. - Anne will talk with the process specialist for Loss and Completions Reporting to request that existing procedures and CLEC training be updated to include information about Qwest Retail “winback” orders appearing with no PON on Loss and Completions Reports.

B. 14 are orders that were initiated by Qwest Wholesale to record Trouble Isolation Charges that resulted from a repair call that was placed by Eschelon or by their end-user. It is Qwest’s policy to bill a Trouble Isolation Charge when a Qwest technician finds the problem to be on the end-user’s premise. Qwest Wholesale initiates orders to record these charges and stores the Account Number in the PON field since the SOPs require PON and no PON is available. These orders appear on the Completions Reports for the CLEC that “owns” the service to notify them of the impact to their business. Qwest Actions: - Anne will talk with the process specialist for CLEC Trouble Reporting to gather information about their process for recording Trouble Isolation Charges and will determine if their process can be changed to enter “TIC” as the PON. If this change is feasible and if all CLECs agree to it, Anne will create a UR to initiate a system change in the system that generates these orders. - Anne will talk with the process specialist for CLEC Trouble Reporting to request that existing procedures and CLEC training be updated to include information about orders initiated by Qwest to record Trouble Isolation Charges. - Anne will talk with the process specialist for Loss and Completions Reporting to request that existing procedures and CLEC training be updated to include information about Qwest orders for Trouble Isolation Charges appearing with an Account Number as the PON on Completions Reports.

C. 3 are “F” orders without PONs. “F” orders are one component of a transfer order. Transfer orders are comprised of a “T” order (identifying the transfer to information) and an “F” order (identifying the transfer from information). These transfer orders were submitted by Eschelon and processed by the Flow through processor which stores the PON on the “T” order but not on the “F” order. Qwest Actions: - Anne wrote a UR to initiate a system change in the Flow through processor to record the PON on the “F” order.

D. 17 are orders that were submitted by Eschelon and manually entered without PONs into the Western region SOP by Qwest Service Delivery Coordinators. The SOPs in the Eastern and Central regions include an edit to require PON on wholesale orders (RCID or ZCID is present) with inward activity. The Western region SOP does not include this edit. Since the SOP did not require PON, Service Delivery Coordinators incorrectly omitted the PON when entering these orders into the SOP. Qwest Actions: - Anne wrote a UR to initiate a system change to include an edit to require PON on wholesale orders with inward activity in the Western region SOP.

E. 13 are orders that were submitted by Eschelon and manually entered with inaccurate PONs into the Eastern and Central region SOPs by Qwest Service Delivery Coordinators. The SOPs in the Eastern and Central regions include an edit to require PON on wholesale orders (RCID or ZCID is present) with inward activity. Service Delivery Coordinators incorrectly entered an inaccurate value for the PON when entering these orders into the SOP. Qwest Actions: -On 9/21/01 Qwest distributed internally an MCC to re-emphasize the importance of the PON entered on the service order matching the PON on the LSR. The topic heading of the MCC was “Order Writing” and the heading stated “It is extremely important that the PON information entered on the service order matches the PON on the LSR.” This action was taken as result of research performed by Qwest in response to a separate CLEC inquiry relating to inaccurate PONs on Loss and Completions Reports. -Anne will notify the team leaders in the wholesale service centers that there are occurrences of inaccurate PONs on service orders and will request that they ensure that their teams are entering PONs correctly.

F. 12 are record orders that were initiated by Qwest Wholesale and do not include PONs. Record orders may be initiated by a CLEC or by Qwest Wholesale to correct system records. The SOPs do not require PON on record orders. Qwest Actions: -Anne will talk with the process specialist for record orders to gather information about their process for generating record orders and will determine if their process can be changed to enter “RECCOR” as the PON. If this change is feasible and if all CLECs agree to it, Anne will issue an MCC internally to implement the process change. -Anne will talk with the process specialist for Loss and Completions Reporting to request that existing procedures and CLEC training be updated to include information about record orders appearing with no PON on Completions Reports.

G. 2 are disconnect orders submitted by Eschelon and do not include PONs. The SOPs do not require PON on disconnect orders. Qwest Actions: -Anne will write a UR to initiate a system change to include an edit to require PON on wholesale disconnect orders in all regional SOPs. -Anne will talk with the process specialist for Loss and Completions Reporting to request that existing procedures and CLEC training be updated to include information about disconnect orders appearing with no PON on Completions Reports.

Attachment: The spreadsheet titled “Qwest Research on Orders with Missing PONs” cross references the 118 orders included on Eschelon’s spreadsheet of orders with missing PONs to the order writing scenario detailed above that resulted in the missing or inaccurate PON data on the Loss and Completions Reports.


CenturyLink Response

January 10, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc.

CC: Mark Coyne Sue Burson Carolyn Brown John Gallegos Connie Winston

This letter is in response to your CLEC Change Request Form, number PC102901-1 dated 10/29/01 Qwest to include PON on Qwest Winback Orders.

REQUEST: Currently, when Qwest wins-back a customer from Eschelon and an order is issued on an Eschelon account Qwest does not enter a PON. When Qwest does not enter a PON on an order then the Loss and Completion Report does not include a PON. Eschelon asks Qwest to develop, document, distribute and train an adhered to process to use a PON on all orders issued on Eschelon accounts.

RESPONSE: Qwest understands the difficulty the CLECs currently face when no PON is entered on the Loss & Completion Report for Qwest win-backs. To resolve this situation Qwest has initiated a systems related project that will ensure the PON field on the Loss & Completion Report is populated for Qwest win-backs.

Qwest has completed a systems change request on the behalf of Eschelon and resources have been assigned. The target implementation date for this project is in the second quarter, 2002. Qwest will provide a commitment date for implementation at the February CMP meeting.

Sincerely,

Anne Robberson Senior Process Analyst

Curt Anderson Project Manager


Open Product/Process CR 5579345 Detail

 
Title: Repair process for multiple lines on single report (Reference Systems CR # SCR112101 2)
CR Number Current Status
Date
Area Impacted Products Impacted

5579345 Completed
12/12/2001
Ordering Unbundled Loop, UNE-P, Resale
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: McMahon, Cheryl
Director:
CR PM:

Description Of Change

Develop a consistent repair process for receiving information about multiple lines for a single customer on a single report, without the use of facsimiles. In some instances, when Eschelon calls Qwest about a repair issue for a multiple-line account, Qwest will require Eschelon to call regarding the main line and then send information regarding the subsequent lines by facsimile. This is time consuming and inefficient for both parties. In other cases, the Qwest representative will take the information over the telephone for all of the lines. The latter approach is more efficient. In any case, a consistent approach is needed so that Eschelon may adequately train its employees in the proper procedure.

Modifications

08/22/01 - Added Systems Action Item 314, Get a copy of the process in the AMSC

08/22/01 - Added Systems Action Item 315, Set up an internal meeting to discuss the AMSC process throughout Qwest

08/22/01 - Added Systems Action Item 271, Determine why the CLEC's call in a trouble ticket on the first TN and then have to fax in trouble tickets for any other

08/22/01- Added Systems Action Item 323, check into how the retail business handles trouble with more than three lines.


Status History

06/06/01 - CR received by Lynne Powers of Eschelon

06/06/01 - Status changed to New to be evaluated

07/09/01 - Status changed to New - to be clarified

07/13/01 - Additional information requested of Eschelon to sight specific examples (MR-NH)

08/09/01 - CR being addressed currently by Qwest repair process personnel. (MR)

08/15/01 - CLEC CMP Meeting Product & Process, Eschelon advised that they would escalate Qwest's response of 07/31/01

09/04/01 - Draft Response issued to Eschelon

09/05/01 - Eschelon provided feedback on draft response - clarification meeting to be held

09/10/01 - Clarification Meeting Held. Eschelon would accept Qwest's response with revised language.

09/14/01 - Qwest's response issued to Eschelon

09/19/01 - CMP Meeting - Qwest presented its response. Eschelon requested that the response be discussed by the CLEC's at October's CMP Meeting.

10/17/01 - CMP Meeting: Qwest to revisit response presented in meeting; regarding issues for circuit credits, and restriction of placing only 5 circuits on a single ticket. No "Current Status" change.

11/01/01 - Revision, dated October 31, 2001, to the Qwest September 14, 2001 response was transmitted to the CLEC Community

11/09/01 - Issued revised response dated 11/7/01 to Eschelon. Response will be distributed to the CLEC Community and posted to the WEB.

11/14/01 - CMP Meeting - It was agreed that the CR could be placed into CLEC Test. It was agreed that Qwest would work with Eschelon to develop a System CR for modifying WFA to accept credits for multiple circuits on a single trouble ticket.

11/21/01 - Systems CR (SCR112101-2) drafted by CRPM and submitted for modifying WFA to accept credits for multiple circuits on a single trouble ticket.

12/12/01 - CMP Meeting - CLEC community agreed to change "Current Status" to "Completed."


Project Meetings

09/10/01 - A meeting was held on 9/10/01 to discuss CR5579345. Attendees: Kathy Stichter - Eschelon, Nancy Hoag, Chris Henderson, Lynn Stecklein - Qwest. Kathy requested clarification on the Qwest response regarding Unbundled Loop Services and how trouble is reported. Chris Henderson provided clarification on Qwest's policy. Kathy agreed to accept our response if Qwest agreed to revise/reword the verbiage associated with this issue. A supplement to the response will be provided by Nancy and Chris by 9/12/01.

Stichter, Kathleen L. on 09/05/2001 02:11:31 PM

To: lsteckl@qwest.com, mrossi@qwest.com cc: "Powers, F. Lynne" , "Clauson, Karen L." , "Walberg, Loren"

Subject: FW: CR#5579345 - Repair Process for multiple lines on single report

Lynn, The response is confusing. I need clarification. My major concern is design services which equates to unbundled loop for Eschelon. Does this response say: For Unbundled Loop Services, one trouble ticket will be issued for each separate case of trouble. Qwest inputs one case of trouble then gives that ticket number to the CLEC. The CLEC then faxes the additional cases of trouble to Qwest. The ticket number from the first case of trouble must be on the fax to be used as a cross-reference on all other cases of trouble. or For Non-Designed, Designed and Retail Services, multiple trouble reports will be accepted on a single repair ticket if all three (3) of the following criteria are met: 1. Same, exact trouble on each line, i.e. static on TN 333-333-3333, 333-333-3334 and 333-333-3335. 2. Same end user location 3. Same customer name for end user

There is a restriction on Designed Service trouble reports of five (5) cases of trouble per single repair ticket. No restrictions exist for Non-Designed Services. Please let me know. Either way the response does not meet our needs. What Eschelon is looking for is to report as many circuits (unbundled loops) for the same customer at the same address with one call. Qwest can issue as many tickets as it needs to issue but Eschelon should not have to fax additional circuits to Qwest when a customer has multiple circuits in trouble. I find it hard to believe that a Retail customer would need to fax information to Qwest on multiple circuits in trouble. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com


CenturyLink Response

Wholesale Product Marketing

November 7, 2001

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc

CC: Matthew Rossi

RE: CR #5579345 – Repair process for multiple lines on single report.

This letter is in response to your CLEC Change Request Form #5579345 dated June 6, 2001. It includes the updates that were agreed to in a joint meeting held with Qwest and Eschelon on September 10, 2001.

Qwest is providing procedures detailed in this letter to address multiple circuits on a single trouble ticket. Credit for circuit outages are also addressed.

? Change Request: “Repair process for multiple lines on single report Develop a consistent repair process for receiving information about multiple lines for a single customer on a single report, without the use of facsimiles. In some instances, when Eschelon calls Qwest about a repair issue for a multiple-line account, Qwest will require Eschelon to call regarding the main line and then send information regarding the subsequent lines by facsimile. This is time consuming and inefficient for both parties. In other cases, the Qwest representative will take the information over the telephone for all of the lines. The latter approach is more efficient. In any case, a consistent approach is needed so that Eschelon may adequately train its employees in the proper procedure.”

Qwest Response:

Qwest has developed a process for handling multiple ticket requests which will provide an option to the CLECs to either fax multiple requests or remain on line with the Repair Employee while the tickets are submitted.

Related “Trouble”

For Wholesale, Non-Design and Design Services, including Unbundled Loops, multiple trouble reports will be accepted on a single repair ticket if all three (3) of the following criteria are met:

- Same, exact trouble on each line, i.e. static on TN 333-333-3333, 333-333-3334 and 333-333-3335. - Same end user location - Same customer name for end user

There is a restriction on Design Services, including Unbundled Loops; trouble reports of five (5) cases of trouble per single repair ticket. No restrictions exist for Non-Design Services.

Unrelated “Trouble”

If the CLEC answers “no” to any of these three questions, then individual trouble reports must be submitted.

One trouble ticket will be issued for each separate case of trouble. Qwest will offer the option to the CLEC to input one case of trouble and fax the additional cases of trouble to Qwest. The ticket number from the first case of trouble must be on the fax to be used as a cross-reference on all other cases of trouble. If the CLEC chooses not to fax additional cases of trouble, the CLEC may remain on the line with the Repair Employee to submit all trouble tickets.

The CLEC is responsible to isolate trouble to a specific line when multiple lines exist for a customer at one location. If the CLEC requests, Qwest will perform the trouble isolation and appropriate charges will apply.

Credits for Circuit Outages

Qwest currently uses the WFA (Work Force Administrator) system for all trouble reporting. It was designed to only handle a single circuit per trouble report. Consequently, credits for circuit outages are limited to a single circuit per trouble report. The CLEC may request individual tickets to ensure credit, as appropriate, for each affected circuit.

Qwest is willing to assist Eschelon or any other CLEC in the preparation of a system Change Request that would investigate options to modify WFA to correct current deficiencies in the system for providing credits for more than one circuit.

Sincerely, Cheryl McMahon Senior Process Analyst

October 31, 2001

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc

CC: Matthew Rossi Chris Henderson

RE: CR #5579345 - Repair process for multiple lines on single report.

This letter is in response to your CLEC Change Request Form #5579345 dated June 6, 2001. It includes the updates that were agreed to in a joint meeting held with Qwest and Eschelon on September 10, 2001.

* Change Request: "Repair process for multiple lines on single report. Develop a consistent repair process for receiving information about multiple lines for a single customer on a single report, without the use of facsimiles. In some instances, when Eschelon calls Qwest about a repair issue for a multiple-line account, Qwest will require Eschelon to call regarding the main line and then send information regarding the subsequent lines by facsimile. This is time consuming and inefficient for both parties. In other cases, the Qwest representative will take the information over the telephone for all of the lines. The latter approach is more efficient. In any case, a consistent approach is needed so that Eschelon may adequately train its employees in the proper procedure."

Qwest Response:

Qwest currently uses the WFA (Work Force Administrator) system for all trouble reporting. This system is a Telecordia software system developed during the mid-1980’s time frame. It was designed to only handle a single circuit per trouble report. Any modifications to the software system for handling multiple circuits per trouble report would require a software modification by Telecordia. The cost for modification is roughly estimated in the hundreds of thousands of dollars. Currently, Qwest has no plans to modify WFA to accept multiple circuits per trouble report.

Qwest is providing procedures detailed in this letter to address multiple circuits on a single trouble ticket. Credit for circuit outages are also addressed.

Related "Trouble"

For Wholesale and Retail, Non-Designed and Designed Services, including Unbundled Loops, multiple trouble reports will be accepted on a single repair ticket if all three (3) of the following criteria are met:

- Same, exact trouble on each line, i.e. static on TN 333-333-3333, 333-333-3334 and 333-333-3335. - Same end user location - Same customer name for end user

There is a restriction on Designed Service, including Unbundled Loops; trouble reports of five (5) cases of trouble per single repair ticket. No restrictions exist for Non-Designed Services that meet the above criteria.

Unrelated "Trouble"

If the co-provider answers "no" to any of these three questions, then individual trouble reports must be submitted. If the co-provider has additional information that Qwest has no system access to, the information must be "faxed" to the appropriate repair center.

One trouble ticket will be issued for each separate case of trouble. Qwest inputs one case of trouble then gives that ticket number to the CLEC or Retail end user. The CLEC or Retail end user then faxes the additional cases of trouble to Qwest. The ticket number from the first case of trouble must be on the fax to be used as a cross-reference on all other cases of trouble.

The co-provider is responsible to isolate trouble to a specific line when multiple lines exist for a customer at one location. If the co-provider requests, Qwest will perform the trouble isolation and appropriate charges will apply.

Credits for Circuit Outages

Currently, only the circuit listed on the trouble ticket will receive credit. If multiple loops were put on one ticket, and multiple outages occurred, the CLEC would need to contact their Account Manager for additional credits.

To ensure process compliance by the Qwest Repair Center personnel, the center management has initiated a review of these Methods and Procedures.

Sincerely,

Chris Henderson Senior Process Analyst

Ann Danielsen Manager Process Management

-

September 14, 2001 Wholesale Product Marketing Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc

CC:Matthew Rossi Chris Henderson

RE: CR #5579345 Repair process for multiple lines on single report.

This letter is in response to your CLEC Change Request Form #5579345 dated June 6, 2001. It includes the updates that were agreed to in a joint meeting held with Qwest and Eschelon on September 10, 2001.

Change Request: Repair process for multiple lines on single report Develop a consistent repair process for receiving information about multiple lines for a single customer on a single report, without the use of facsimiles. In some instances, when Eschelon calls Qwest about a repair issue for a multiple-line account, Qwest will require Eschelon to call regarding the main line and then send information regarding the subsequent lines by facsimile. This is time consuming and inefficient for both parties. In other cases, the Qwest representative will take the information over the telephone for all of the lines. The latter approach is more efficient. In any case, a consistent approach is needed so that Eschelon may adequately train its employees in the proper procedure.

Qwest Response: For Wholesale and Retail, Non-Designed and Designed Services, including Unbundled Loops, multiple trouble reports will be accepted on a single repair ticket if all three (3) of the following criteria are met:

Same, exact trouble on each line, i.e. static on TN 333-333-3333, 333-333-3334 and 333-333-3335. Same end user location Same customer name for end user

There is a restriction on Designed Service, including Unbundled Loops, trouble reports of five (5) cases of trouble per single repair ticket. No restrictions exist for Non-Designed Services.

If the co-provider answers “no” to any of these three, then individual trouble reports must be submitted. If the co-provider has additional information that Qwest has no system access to, the information must be “faxed” to the appropriate repair center.

The co-provider is responsible to isolate trouble to a specific line when multiple lines exist for a customer at one location. If the co-provider requests, Qwest will perform the trouble isolation and appropriate charges will apply.

One trouble ticket will be issued for each separate case of trouble. Qwest inputs one case of trouble then gives that ticket number to the CLEC or Retail end user. The CLEC or Retail end user then faxes the additional cases of trouble to Qwest. The ticket number from the first case of trouble must be on the fax to be used as a cross-reference on all other cases of trouble.

To ensure process compliance by the Qwest Repair Center personnel, the center management has initiated a review of these Methods and Procedures.

Sincerely,

Nancy J. Hoag Wholesale Product Manager

July 13, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom, Inc

CC:Matthew Rossi Chris Henderson

RE: CR #5579345 Repair process for multiple lines on single report.

This letter is in response to your CLEC Change Request Form #5579345 dated June 6, 2001. Change Request: Repair process for multiple lines on single report Develop a consistent repair process for receiving information about multiple lines for a single customer on a single report, without the use of facsimiles. In some instances, when Eschelon calls Qwest about a repair issue for a multiple-line account, Qwest will require Eschelon to call regarding the main line and then send information regarding the subsequent lines by facsimile. This is time consuming and inefficient for both parties. In other cases, the Qwest representative will take the information over the telephone for all of the lines. The latter approach is more efficient. In any case, a consistent approach is needed so that Eschelon may adequately train its employees in the proper procedure.

Qwest Response: For both Non-Designed and Designed Services, except for Unbundled Loops, multiple trouble reports will be accepted on a single repair ticket if all three (3) of the following criteria are met:

1. Same, exact trouble on each line, i.e. static on TN 333-333-3333, 333-333-3334 and 333-333-3335. 2. Same end user location 3. Same customer name for end user

There is a restriction on Designed Service trouble reports of five (5) cases of trouble per single repair ticket. No restrictions exist for Non-Designed Services. If the co-provider answers (no) to any of these three, then individual trouble reports must be submitted. If the co-provider has additional information that Qwest has no system access to, the information must be (faxed) to the appropriate repair center.

The co-provider is responsible to isolate trouble to a specific line when multiple lines exist for a customer at one location. If the co-provider requests, Qwest will perform the trouble isolation and appropriate charges will apply.

For Unbundled Loop Services, one trouble ticket will be issued for each separate case of trouble. Qwest inputs one case of trouble then gives that ticket number to the CLEC. The CLEC then faxes the additional cases of trouble to Qwest. The ticket number from the first case of trouble must be on the fax to be used as a cross-reference on all other cases of trouble.

To ensure process compliance by the Qwest Repair Center personnel, the center management will conduct a review of these Methods and Procedures. Sincerely,

Nancy J. Hoag Wholesale Product Manager


Open Product/Process CR PC091901-1 Detail

 
Title: Qwest to form a Quality Team
CR Number Current Status
Date
Area Impacted Products Impacted

PC091901-1 Completed
6/19/2002
Pre-Ordering, Ordering Centrex, LNP, Resale
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

Qwest to form Quality Team to review and improve the end to end processes for:

CLEC on-net to resale reuse of facilities

CLEC on-net to resale new facilities

Resale CLEC to resale CLEC (same CLEC) move including port within

Change orders requesting a TN change reusing TNs from old location and changing them at the new location requiring port within.

The team to include Qwest SMEs from each of its’ functional areas:

Order distribution center

Service order processing

Assignments

Switch technicians (RCMAC)

Network dispatch in

Network dispatch out

LNP center

Eschelon has offered to serve as the prototype for this Quality Team which will benefit all CLECs. It is yet to be determined how these orders will be identified. Eschelon’s expectation is that the Quality Team at Qwest will watch the flow of each order and determine the process gaps that are causing CLEC customers a significant amount of service disruption and down time. In addition, the Quality Team should remain in place until process improvements are made and proven effective.


Status History

09/17/01 - CR received by Kathy Stichter of Eschelon

09/19/01 - CR status changed to Submitted

09/21/01 - Updated CR sent to Kathy

09/24/01 - Scheduled clarification meeting with Eschelon

09/28/01 - Notified CLEC of cancellation of meeting

10/05/01 - Judy Schultz to coordinate with Lynn Powers to establish Qwest position

10/17/01 - CMP Meeting: CLEC community & Qwest agreed to enter Quality Team meeting minutes into CR database. Meetings are generally conducted on a 1 to 2 week frequency. "Current Status" changed to Clarification.

11/14/01 - CMP Meeting this Process Change was reviewed as a separate part of the agends. Toni Dubuque reviewed the primary topics that are being addressed by the Quality team. Toni indicated that the Quality team will probably remain active through the end of 2001. Eschelon expressed their appreciation for what has been accomplished by this team.

12/12/01 - CMP Meeting - Toni Dubuque, Qwest provided an update for the quality team. She indicated that overall progress has been made with various CR related issues, and that the team will continue into next year. A situation was identified, "Change of local service provider and customer moves," that requires process modification in order to prevent future customer outages. The team is working the process modifications & flow sheets; and will conduct a validation exercise with Eschelon in the near future. "CR Status" remains as "Presented."

01/16/02 - CMP Meeting - Toni dubuque, Qwest indicated that Quality Team is working primary issues identified in original CR "Description of Change." Most issues have been addressed and balance should be completed within the next 30 to 60 days. CLEC community agreed to change CR Status to "Development."

02/20/02 - Qwest provided a status update. CR status remains in "Development." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/20/02 - CMP Meeting - It was agreed that the CR would remain in Development. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

03/22/02 - Qaulity Team Meeting conducted with Eschelon.

04/17/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR would remain in Development.

05/15/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR would move into CLEC Test..

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


Project Meetings

CMP Quality Meeting Minutes 3-22-02

Specifics: Purpose of Meeting: resolve Port In/Within order issues Meeting Dates: March 22,2002 Time: 1pm CST Meeting Chair: Toni Dubuque Next Meeting:Complete

Attendees: Toni Dubuque, Qwest Cust Svc Oprns Bonnie Johnson, Eschelon Joan Wells, Qwest Process Claudia Meredith-Trump, Qwest

Agenda: - Finalize flows - Finalize test process

- Port-in flows have been re-done on Power Point with specific language on process to be used in the 3 Port in scenarios and 8 Port within scenarios. These were reviewed by the team and are in an understandable format for training. - Training will be done by Qwest in the Mpls center CSIE team and documents shared with all other appropriate centers for review. - Joan will work with the product team to get specific scenarios updated in PCAT - Eschelon will do test order week of April 1st. Claudia will monitor flow and get specifics back to Bonnie for confirmation of order process.

The committee feels that they have completed the objective of improving the documented processes for unique situations involving Port In and Port within orders. This work will benefit all customers who order LNP. Order routing changes have eliminated the problems with moving orders from center to center within Qwest.

Purpose of Meeting: Resolve Port In/Within order issues Meeting Dates: January 23,002, Time: 1130am CST Call-in Bridge: 877-572-868, ID: 811-0227 Meeting Chair: Toni Dubuque Next Meeting:February 7,2002 3-4pm CST

Name/Presentation Toni Dubuque, Qwest Cust Svc Oprns/x/ Joan Wells, Qwest Process/x/ Bonnie Johnson, Eschelon/x/ Claudia Meredith-Trump, Qwest/x/ Chris Siewert,, Qwest Ctr Mgmt/x/ Barb Vigoren, Eschelon/ / Mary Madill, Qwest Ctr Mgr/ / Frank Lopez, Qwest Ctr Mgr/ /

Agenda: - Finalize flows - Finalize test process - Address Action Items - Determine next meeting

- Port-in flows are final and have been issued within Qwest; scenarios 1-3 are attached. - Port-within flows are work-in-progress to add all products - Test accounts have been set up and by 1-25 a test order will be submitted by Eschelon for monitoring and ensuring process for Scenario 3 is working; have already used process on live orders for Scenario 2. - During root cause process, we had identified a learning about procedures between RCMAC and Complex Translations (CT) that we wanted to investigate and tighten communications. On port-in C-orders, if the NPA-NXX of the end user has never been loaded into a DMS-10 or Ericsson Switch, Complex Translations must load before RCMAC does work. Communication is done by fax. We have added step in process for order writer to call CT to ensure load is complete prior to order flowing downstream. - Port-in coordination product is in detail design and pricing for both retail and wholesale. This will take care of end users who have special needs and cannot afford downtime. Joan is our representative and will keep us updated on progress. (CR open also) - Auto routing of port-in/within orders by MPI will be implemented 3-20-02. Good news – screening will be eliminated.

Action Items: Item/Assigned to/Status/Completion Date 1. Determine an interim process for cutting over end users who handle emergency call (doctors, hospitals) to eliminate inability to receive calls on due date (FDT 8am, work done anytime between 8-5pm)/Joan Wells/Same as #2/Work in progress 2. Communicate potential date of new coordination process/product for port in orders that will eliminate downtime (in definition stage)/Joan Wells/See above/Work in progress 3. Meet with Network process to investigate gaps in handling C action orders in complex translations/Joan/Chris/Completed / see notes above/1-23-02 Set up test accounts 612-302 and 612-721/Joan/Completed/1-23-02 Test Scenario 3/Joan/Bonnie// Finalize Port within flows/Joan/Should be done by 2-1/

Next meeting will be the last formal session. We will reconvene team to do live test when actual order is received by Eschelon.

CMP Quality Meeting Minutes 01-07-02

Specifics: Purpose of Meeting: resolve Port In/Within order issues Meeting Dates: December 18, 2001 Time: 2pm CST Call-in Bridge 877-572-868 811-0227 Meeting Chair: Toni Dubuque Next Meeting: January 9, 2002 @ 2pm CST

Attendees: Name Present Name Present Toni Dubuque, Qwest Cust Svc Oprns x Joan Wells, Qwest Process x Bonnie Johnson, Eschelon x Claudia Meredith-Trump, Qwest x Al Kiehn, Qwest Ctr Mgmt x Barb Vigoren, Eschelon x Mary Madill, Qwest Ctr Mgr Frank Lopez, Qwest Ctr Mgr

Agenda: - Review flows and clarify any questions - Set up process for live customer SPOC monitoring - Determine next meeting

Flows were presented by Joan Wells indicating the different scenarios regarding special circumstances for Port in, Port within orders.

- End user is with Q retail or current CLEC NSP/end user moving to new location requesting to move existing TN’s and change to a new reseller provider, new facilities/Q port in activity flow - Existing resale account, no service provider change to 2 current locations – original location with account history to be disconnected and TN’s moved to newest account locations where new TN’s exist that will be disconnected/Port within activity flow - Existing resale account port within/T &F dual service requested, number change at T location upon completion of F order activity flow - End user is with Q retail or current CLEC NSP/end user moving to new location already served by same reseller requesting Port, will be disconnecting existing TN’s and replacing with port in in TN’s, reuse existing facilities/Q port in activity flow

There were a number of questions and clarifications done on the flows. This used the majority of the time allotted for the meeting. Another meeting was set to regroup and finalize flows.

Quality Team - Qwest/Eschelon LNP Order Issues: Revision 5 Team Members: Sponsor - Toni Dubuque Q Team - Mark Coyne, Ray Burton, Mary Madill, Joan Wells, Russ Urvig E Team - Bonnie Johnson

Meetings: Sept 10, 2001 @ 10:30am CDT Sept 17, 2001 @ 2:00pm CDT (rev 2) Sept 26, 2001 @ 930am CDT (rev 3) Oct 5,2001 @ 930MDT/1030amCDT (rev 4) Oct 12, 2001 Oct 26, 2001 @ 230pmCDT (rev 5) NEXT MTG Nov 7, 2001 @ 900am CST Call-In Number: 877-847-3567 pc600-2974

ISSUE 1: Mis routing of orders causing missed commitments - CLOSED * Port within orders should go to Cheyenne for processing * Port in orders should go to Phoenix for processing * Screeners in Dallas must make determination based on remarks field * States manual handling * Move - port within or port between CLEC to CLEC ACTION ITEMS: * NPI field on LSR (determines port in or within) not used by Q. Eschelon has put in a CR for consideration. This field also then could be used to route LSR to right center without manual handling Owner: Mark and Joan * Retrain Dallas to handle current LSRs and screen to right center Owner: Ray * Identify unique req. type for these types of orders for ease in mechanized routing Owner: Joan Wells * With Virtual Center, should Duluth also be trained to handle the port in orders? The volume has been small so expertise has been centralized. Owner: Mary Status - Rev 1: This training took place the week of 9-3-01 with clarification on how to recognize the difference in order to route properly. The current process dictates that any misrouted order to be special handled and not go into regular flow (calls are placed between centers) Status - Rev 2: * An user request to use the NPI field in conjunction with the req. type will be filed by week ending 9-21 so that IMA can automatically route the orders to the proper center for processing. The NPI field is in use at Q on the Resale LSR form. 30-day notification will need to be made to all CLECs prior to implementation. No definite date yet but will target EOY. * The req. type change will not be required since routing will be accomplished through the NPI field. Req. type changes must go through OBF so the option selected for implementation should be more timely. * There were no failures in routing last week for Eschelon. Center managers are stressing the need to review the entire LSR before processing. Daily 3pm calls between centers are identifying each routing failure and preparing direct feedback to the SDC. * Volumes will dictate the move of port-in orders CLEC to CLEC to Duluth. * E is calling on any orders that do not carry telephone # and name of a Phoenix SDC. This is an indication to them that we potentially had a failure in routing. Status - Rev 3 * Routing problems significantly improved * CR for NPI field delayed due to further investigation; all problems resolved and will be issued on 10-8-01 by Joan Wells Status = Rev 5 * UR filed and kick-off meeting held with IT; projected implementation scheduled for late 1st qrt ’02 or early 2nd qrt * Decision made to implement as a going forward change ISSUE 2: Reuse of facilities on Port within orders - CLOSED

* Circuit ID given by E, if available * If reuse is not done, FOC must be noted in the remarks that new facilities are being used so that E can dispatch tech for cross-connect work. Failure to dispatch causes end-user out-of-service condition ACTION ITEMS: * Review process to verify what needs to take place within centers Owner: Mary/Joan/Russ Urvig * Look at Loop Reclamation policy and clarify obligation to reuse facilities Owner: Toni Status - Rev 2: * Clarification needed on product definition pertaining to Q discretion on reuse. Process/Product will get together to clarify and bring back to team concise definition. * Gap still exists when reuse not chosen as option. Order writers not aware of issue at time of FOC so do inform customer. Need to revise process to determine best method of notification. Status - Rev 3: * Policy is to reuse facilities whenever possible preventing dispatch for Q or for CLEC * When reuse is not the available option, our tech should be doing cross-connect work so no dispatch required by CLEC Status - Rev 5: * Process working and full understanding established

ISSUE 3: Trouble Shooting Port in/Port within orders

* When trying to back out orders that have gone bad, Q/E needs to understand internal flow to enhance trouble shooting skills ACTION ITEMS: * Review process and document key points for both Q CSIE team and E Owner: Joan Wells Status - Rev 2: * E indicated that there are numerous areas of failure for these types of work backs often causing outages of up to 3 days. They are recommending focal points within the center to deal with these orders so that expertise will be built and that data can be collected for root cause analysis. This suggestion will be looked at for feasibility and reported out at next meeting (Owner: Toni) Status - Rev 3: * Root cause will be done on all failures with gap analysis and recommended action. (Owner: Claudia Meredith-Trump) First read out on 10-5 * Focal points process to be discussed on 10-5

Status - Rev 5 * Root cause analysis done on 5 failures on 10-5 and 1 failure on 10-26 * Findings: * SO writing orders found for both sending and receiving parties; discussed process adherence and provided feedback to all employees touching orders * CLEC owning customers did not disconnect in switch on a timely basis; early detection of this in trouble shooting process can reduce impairment issues * CSIE personnel reviewed failure points and areas to intervene before additional complications add to length of impairment * Will continue process to look at every failure for additional learning

ISSUE 4: Problem for Port in – working in both switches * Calls going both ways in switch * E would like to coordinate the time between the techs for delivering new facilities ACTION ITEMS: * Review process to id gaps and areas for improvement Owner: Joan Wells Status - Rev 2: * Problem lies with FDT and when triggering takes place at both customer locations (giver/receiver). Joan has made one change to Q to default FDT from 5pm to noon. More investigation to follow on other issues and potential process improvements. Status - Rev 5 * Eschelon filed CR to request options; Joan Wells working on research for options

ISSUE 4: Identifying ways to minimize errors ACTION ITEMS: * Look at using NPI as first characters of PON to capture and track orders for trouble shooting Owner: Ray and Bonnie Status - Rev 2: * E will use effective 9-27 so that Q can capture orders and do root cause. Screening process will stay the same so that we ensure SDC still looks at entire LSR to determine correct routing. Status - Rev 5 * Continue to use field; screening failures minimal; feedback and process review continues with employees

ISSUE 5: Telephone number swap Added 9-17-01 * E will write up issue so right Q people on team to handle * Problem definition: Eschelon has a customer with a ported number (usually resale). They are going to move within the same CO so dual service is not an option. So they establish the customer at the new location with a new telephone number and leave the old number working. When the customer is moved and at the new premise, they need to disconnect the old ported number and reestablish it at the move location - also disconnecting the temporary telephone number. How can they do this?

Status - Rev 3: * Joan to read out on 10-5 Status - Rev 5 To clarify this answer, I checked with Retail on their processes for Port Within (T&F) and also Dual and Overlapping Service, which our Wholesale processes mirror. Retail does not allow dual service if you are porting your telephone number within. This means if the end user has a telephone number currently, that was either previously ported in or a native TN to the switch, and are now moving to a new switch and want to do a port within, they would not be able to have dual service, because of the LRN routing that is taking place through the NPAC. Incoming calls cannot be routed to more than one switch at a time, so this would cause problems with the end user receiving their incoming calls.

If the end user currently has a TN that was previously ported in and now wants to do a T&F to a new location within the same switch, this would not be considered a port within and the limitation involving the dual service would then be dependent upon the switch type, the product type, the line type (bridge taps etc.) and the region. There are methods in Infobuddy that outline the restrictions and rules for dual service, as well as facility check, which helps to determine if dual service is an option in these situations.

So, if dual service is desired, but not available, what the Reseller would have to do, is request a New connect at the new location with new TN's. Then, when they want the service at the old location disconnected, they would have to submit two related requests. One to do a number change at the new location as a port within, indicating the new numbers and another request to disconnect the number at the old location, using port out fids. Qwest would then process the disconnect, using the port out fids and the number change using the port in fids. These would be manual orders, with good remark entries needed from the Reseller as to what exactly is needed on the orders. Standard port due date intervals would apply.

* Process change to be made to allow move and port on one LSR; this will not change Dual service issue but will help with other order issues that cause CLEC to do two LSRs to accomplish task. Effective date yet to be determined. Will continue to monitor progress

Quality Team - Qwest/Eschelon LNP Order Issues: Revision 3 Team Members: Sponsor - Toni Dubuque Q Team - Mark Coyne, Ray Burton, Mary Madill, Joan Wells, Russ Urvig E Team - Bonnie Johnson

Meetings: Sept 10, 2001 @ 10:30am CDT Sept 17, 2001 @ 2:00pm CDT (rev 2) Sept 26, 2001 @ 930am CDT (rev 3) Oct 5,2001 @ 930MDT/1030amCDT (rev 4) Call-In Number: 877-847-3567 pc600-2974

ISSUE 1: Misrouting of orders causing missed commitments

* Port within orders should go to Cheyenne for processing * Port in orders should go to Phoenix for processing * Screeners in Dallas must make determination based on remarks field * States manual handling * Move - port within or port between CLEC to CLEC ACTION ITEMS: * NPI field on LSR (determines port in or within) not used by Q. Eschelon has put in a CR for consideration. This field also then could be used to route LSR to right center without manual handling Owner: Mark and Joan * Retrain Dallas to handle current LSRs and screen to right center Owner: Ray * Identify unique req type for these types of orders for ease in mechanized routing Owner: Joan Wells * With Virtual Center, should Duluth also be trained to handle the port in orders? The volume has been small so expertise has been centralized. Owner: Mary Status - Rev 1: This training took place the week of 9-3-01 with clarification on how to recognize the difference in order to route properly. The current process dictates that any misrouted order to be special handled and not go into regular flow (calls are placed between centers) Status - Rev 2: * An user request to use the NPI field in conjunction with the req type will be filed by week ending 9-21 so that IMA can automatically route the orders to the proper center for processing. The NPI field is in use at Q on the Resale LSR form. 30-day notification will need to be made to all CLECs prior to implementation. No definite date yet but will target EOY. * The req type change will not be required since routing will be accomplished through the NPI field. Req type changes must go through OBF so the option selected for implementation should be more timely. * There were no failures in routing last week for Eschelon. Center managers are stressing the need to review the entire LSR before processing. Daily 3pm calls between centers are identifying each routing failure and preparing direct feedback to the SDC. * Volumes will dictate the move of port-in orders CLEC to CLEC to Duluth. * E is calling on any orders that do not carry telephone # and name of a Phoenix SDC. This is an indication to them that we potentially had a failure in routing. Status - Rev 3 * Routing problems significantly improved * CR for NPI field delayed due to further investigation; all problems resolved and will be issued on 10-8-01 by Joan Wells ISSUE 2: Reuse of facilities on Port within orders

* Circuit ID given by E, if available * If reuse is not done, FOC must be noted in the remarks that new facilities are being used so that E can dispatch tech for cross-connect work. Failure to dispatch causes end-user out-of-service condition ACTION ITEMS: * Review process to verify what needs to take place within centers Owner: Mary/Joan/Russ Urvig * Look at Loop Reclamation policy and clarify obligation to reuse facilities Owner: Toni Status - Rev 2: * Clarification needed on product definition pertaining to Q discretion on reuse. Process/Product will get together to clarify and bring back to team concise definition. * Gap still exists when reuse not chosen as option. Order writers not aware of issue at time of FOC so do inform customer. Need to revise process to determine best method of notification. Status - Rev 3: * Policy is to reuse facilities whenever possible preventing dispatch for Q or for CLEC * When reuse is not the available option, our tech should be doing cross-connect work so no dispatch required by CLEC

ISSUE 3: Trouble Shooting Port in/Port within orders

* When trying to back out orders that have gone bad, Q/E needs to understand internal flow to enhance trouble shooting skills ACTION ITEMS: * Review process and document key points for both Q CSIE team and E Owner: Joan Wells Status - Rev 2: * E indicated that there are numerous areas of failure for these types of work backs often causing outages of up to 3 days. They are recommending focal points within the center to deal with these orders so that expertise will be built and that data can be collected for root cause analysis. This suggestion will be looked at for feasibility and reported out at next meeting (Owner: Toni) Status - Rev 3: * Root cause will be done on all failures with gap analysis and recommended action. (Owner: Claudia Meredith-Trump) First read out on 10-5 * Focal points process to be discussed on 10-5

ISSUE 4: Problem for Port in - working in both switches * Calls going both ways in switch * E would like to coordinate the time between the techs for delivering new facilities ACTION ITEMS: * Review process to id gaps and areas for improvement Owner: Joan Wells Status - Rev 2: * Problem lies with FDT and when triggering takes place at both customer locations (giver/receiver). Joan has made one change to Q to default FDT from 5pm to noon. More investigation to follow on other issues and potential process improvements.

ISSUE 4: Identifying ways to minimize errors ACTION ITEMS: * Look at using NPI as first characters of PON to capture and track orders for trouble shooting Owner: Ray and Bonnie

Status - Rev 2: * E will use effective 9-27 so that Q can capture orders and do root cause. Screening process will stay the same so that we ensure SDC still looks at entire LSR to determine correct routing.

ISSUE 5: Telephone number swap Added 9-17-01 * E will write up issue so right Q people on team to handle * Problem definition: Eschelon has a customer with a ported number (usually resale). They are going to move within the same CO so dual service is not an option. So they establish the customer at the new location with a new telephone number and leave the old number working. When the customer is moved and at the new premise, they need to disconnect the old ported number and reestablish it at the move location - also disconnecting the temporary telephone number. How can they do this?

Status - Rev 3: * Joan to read out on 10-5

Quality Team - Qwest/Eschelon LNP Order Issues: Revision 2 Team Members: Sponsor - Toni Dubuque Q Team - Mark Coyne, Ray Burton, Mary Madill, Joan Wells, Russ Urvig E Team - Bonnie Johnson

Meetings: Sept 10, 2001 @ 10:30am CDT Sept 17, 2001 @ 2:00pm CDT (rev 2) Sept 26, 2001 @ 930am CDT (rev 3) Call-In Number: 877-847-3567 pc600-2974

ISSUE 1: Misrouting of orders causing missed commitments

* Port within orders should go to Cheyenne for processing * Port in orders should go to Phoenix for processing * Screeners in Dallas must make determination based on remarks field * States manual handling * Move - port within or port between CLEC to CLEC ACTION ITEMS: * NPI field on LSR (determines port in or within) not used by Q. Eschelon has put in a CR for consideration. This field also then could be used to route LSR to right center without manual handling Owner: Mark and Joan * Retrain Dallas to handle current LSRs and screen to right center Owner: Ray * Identify unique req type for these types of orders for ease in mechanized routing Owner: Joan Wells * With Virtual Center, should Duluth also be trained to handle the port in orders? The volume has been small so expertise has been centralized. Owner: Mary Status - Rev 1: This training took place the week of 9-3-01 with clarification on how to recognize the difference in order to route properly. The current process dictates that any misrouted order to be special handled and not go into regular flow (calls are placed between centers) Status - Rev 2: * An user request to use the NPI field in conjunction with the req type will be filed by week ending 9-21 so that IMA can automatically route the orders to the proper center for processing. The NPI field is in use at Q on the Resale LSR form. 30-day notification will need to be made to all CLECs prior to implementation. No definite date yet but will target EOY.

* The req type change will not be required since routing will be accomplished through the NPI field. Req type changes must go through OBF so the option selected for implementation should be more timely.

* There were no failures in routing last week for Eschelon. Center managers are stressing the need to review the entire LSR before processing. Daily 3pm calls between centers are identifying each routing failure and preparing direct feedback to the SDC.

* Volumes will dictate the move of port-in orders CLEC to CLEC to Duluth. * E is calling on any orders that do not carry telephone # and name of a Phoenix SDC. This is an indication to them that we potentially had a failure in routing. ISSUE 2: Reuse of facilities on Port within orders

* Circuit ID given by E, if available * If reuse is not done, FOC must be noted in the remarks that new facilities are being used so that E can dispatch tech for cross-connect work. Failure to dispatch causes end-user out-of-service condition ACTION ITEMS: * Review process to verify what needs to take place within centers Owner: Mary/Joan/Russ Urvig * Look at Loop Reclamation policy and clarify obligation to reuse facilities Owner: Toni Status - Rev 2: * Clarification needed on product definition pertaining to Q discretion on reuse. Process/Product will get together to clarify and bring back to team concise definition. * Gap still exists when reuse not chosen as option. Order writers not aware of issue at time of FOC so do inform customer. Need to revise process to determine best method of notification.

ISSUE 3: Trouble Shooting Port in/Port within orders

* When trying to back out orders that have gone bad, Q/E needs to understand internal flow to enhance trouble shooting skills ACTION ITEMS: * Review process and document key points for both Q CSIE team and E Owner: Joan Wells Status - Rev 2: * E indicated that there are numerous areas of failure for these types of work backs often causing outages of up to 3 days. They are recommending focal points within the center to deal with these orders so that expertise will be built and that data can be collected for root cause analysis. This suggestion will be looked at for feasibility and reported out at next meeting (Owner: Toni)

ISSUE 4: Problem for Port in - working in both switches * Calls going both ways in switch * E would like to coordinate the time between the techs for delivering new facilities ACTION ITEMS: * Review process to id gaps and areas for improvement Owner: Joan Wells Status - Rev 2: * Problem lies with FDT and when triggering takes place at both customer locations (giver/receiver). Joan has made one change to Q to default FDT from 5pm to noon. More investigation to follow on other issues and potential process improvements.

ISSUE 4: Identifying ways to minimize errors ACTION ITEMS: * Look at using NPI as first characters of PON to capture and track orders for trouble shooting Owner: Ray and Bonnie

Status - Rev 2: * E will use effective 9-27 so that Q can capture orders and do root cause. Screening process will stay the same so that we ensure SDC still looks at entire LSR to determine correct routing.

ISSUE 5: Telephone number swap Added 9-17-01 * E will write up issue so right Q people on team to

-

Quality Team - Qwest/Eschelon LNP Order Issues: Revision 1 Team Members: Sponsor - Toni Dubuque Q Team - Mark Coyne, Ray Burton, Mary Madill, Joan Wells E Team - Bonnie Johnson

Meetings: Sept 10, 2001 @ 10:30am CDT Sept 17, 2001 @ 2:00pm CDT Call-In Number: 877-847-3567 pc600-2974

ISSUE 1: Misrouting of orders causing missed commitments

* Port within orders should go to Cheyenne for processing * Port in orders should go to Phoenix for processing * Screeners in Dallas must make determination based on remarks field * States manual handling * Move - port within or port between CLEC to CLEC ACTION ITEMS: * MPI field on LSR (determines port in or within) not used by Q. Eschelon has put in a CR for consideration. This field also then could be used to route LSR to right center without manual handling Owner: Mark and Joan * Retrain Dallas to handle current LSRs and screen to right center Owner: Ray Status: This training took place the week of 9-3-01 with clarification on how to recognize the difference in order to route properly. The current process dictates that any misrouted order to be special handled and not go into regular flow (calls are placed between centers) * Identify unique req type for these types of orders for ease in mechanized routing Owner: Joan Wells * With Virtual Center, should Duluth also be trained to handle the port in orders? The volume has been small so expertise has been centralized. Owner: Mary

ISSUE 2: Reuse of facilities on Port within orders

* Circuit ID given by E, if available * If reuse is not done, FOC must be noted in the remarks that new facilities are being used so that E can dispatch tech for cross-connect work. Failure to dispatch causes end-user out-of-service condition ACTION ITEMS: * Review process to verify what needs to take place within centers Owner: Mary * Look at Loop Reclamation policy and clarify obligation to reuse facilities Owner: Toni ISSUE 3: Problem understanding timing of translations

* When trying to back out orders that have gone bad, E needs to understand internal flow to enhance trouble shooting skills ACTION ITEMS: * Review process and document key points for both Q CSIE team and E Owner: Joan Wells

ISSUE 4: Problem for Port in - working in both switches * Calls going both ways in switch * E would like to coordinate the time between the techs for delivering new facilities ACTION ITEMS: * Review process to id gaps and areas for improvement Owner: Joan Wells

ISSUE 4: Identifying ways to minimize errors

ACTION ITEMS: * Look at using MPI as first characters of PON to capture and track orders for trouble shooting Owner: Ray and Bonnie


Open Product/Process CR PC101001-1 Detail

 
Title: Process for CLEC to get end user service corrected without an additional LSR when Qwest typed the original order incorrectly.
CR Number Current Status
Date
Area Impacted Products Impacted

PC101001-1 Completed
3/20/2002
Repair Centrex, Resale, Unbundled Loop, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: McMahon, Cheryl
Director:
CR PM:

Description Of Change

Currently when Eschelon calls Qwest repair, if the customer service record (CSR) does not match what Eschelon ordered, Qwest repair refuses to open a ticket and instead tells Eschelon to issue an order to correct the problem. Eschelon will investigate and determine that what the LSR asked for is different than what Qwest typed. If an end user customer needs to wait for Eschelon to send through a LSR and Qwest to issue an order the end user would be without the service for several days. This is a hardship for the end user customer. Eschelon asks Qwest to develop, document, distribute and train an adhered to process for Eschelon repair to call Qwest repair and have the end user customer service fixed without Eschelon issuing another LSR. Eschelon asks that the process include Qwest repair transferring Eschelon to the appropriate person within Qwest who will issue an order with the same day DD to fix the problem that was caused by Qwest typing the original order incorrectly.


Status History

10/08/01 - CR Received from Kathy Stichter or Eschelon

10/10/01 - CR logged and status changed to Submitted

10/10/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

10/19/01 - Held Clarification Meeting with Eschelon

11/14/01 - CMP Meeting - CR was clarified with the CLECs. Qwest to prepare its draft response.

12/05/01 - Draft response dated 12/04/01 posted to CMP database and issued to the originating CLEC. Status changed to Presented.

12/12/01 - CMP Meeting: Qwest response presented to CLECs, agreement obtained to change status to CLEC Test

12/28/01 - Formal response dated 12/4/01 issued to CLECs

01/16/02 - January CMP meeting. Eschelon experienced pushback from a center on this process (12/19/01). CLECs also asked where this process is documented. Qwest will open an action item (Action # 1). CR to remain in CLEC Test Status.

01/24/02 - E-mail from Eschelon citing an out-of-process example - Action # 2 opened

02/08/02 - Resolution to Action # 2 posted to CMP database

02/20/02 - February CMP meeting: Action # 2 closed. Global Action Item opened to address Qwest internal communication of processes developed in CMP. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/27/02 - Revised response to Action # 1 posted to CMP database

03/20/02 - CMP Meeting - It was agreed that the CR could be closed, CR status changed to Completed. Action #1 closed. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

01/24/02 E-mail from Eschelon citing an out-of-process example Subject: FW: PC101001-1 Draft Response Date: Thu, 24 Jan 2002 09:27:46 -0600 From: "Stichter, Kathleen L." To: tmead@qwest.com CC: "Johnson, Bonnie J." Todd, Please pass this example onto the correct people who can make sure that the tier 0 office in Sierra Vista is covered. I am currently and have been on a call for the last 20+ minutes with one of our repair coordinators and Qwest. Our customer, 602-252-4650, has a Resale MEL line which was installed on LSR 3859136. The CFN is a local number but Qwest issued the order using a 1 before the 10 digit TN. When callers dial 602-252-4650 they get intercept stating they do not have to dial a 1 before the number. They, of course, are not dialing a 1, the central office switch is. Our repair coordinator called Interconnect 888-796-9087 and reached the tier 0, William, who stated that he could not take a ticket from a repair technician. He could only take a ticket from Eschelon sales or provisioning. William got another Qwest employee on the line, Diane, who also had the same understanding. Our repair coordinator added me on and Diane agreed to take the ticket and warm transfer us to the Tier 1 in the Minneapolis Center. Julie in Minneapolis took our information and is having an order issued to correct the original incorrect order. Julie did know that our repair coordinators can call into Interconnect. Our repair coordinators do not have the time to try and convince Qwest to take our issues. I do not have the time to sit on an escalation along with another employee, when Qwest, Sierra Vista is out of process. Please let me know when and how the office in Sierra Vista is covered on this process. Thanks Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

Friday, 10/19/01, 10:00am MST Alignment/Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PCCR101001-1 Stichter, Kathleen, klstichter@eschelon.com, Eschelon Telecom Frederickson, Chris, N/A , Eschelon Telecom Danielsen, Ann, aldanie@qwest.com, Qwest McMahon, Cheryl, cmmcmah@qwest.com, Qwest Belt, Michael, mbelt@qwest.com, Qwest

Introduction of Attendees Kathleen, Ann, Cheryl, Chris & Michael Review Requested (Description of) Change Process for CLEC to get end user service corrected without an additional LSR when Qwest typed the original order incorrectly. Reviewed and understood Confirm Areas & Products Impacted Area: Repair and Interconnect Service Center

Confirm Right Personnel Involved Ann Danielsen indicated right people were involved might need Mark Coyne approval for the LSR portion of the CR. ((Michael, there needs to be involvement from Wholesale support of the ISC/CSIE) Identify/Confirm CLEC’s Expectation Yes we fully understand expectations of the CR. Mike Belt to Coordinate with Mark Coyne regarding LSR Issues.

Identify any Dependent Systems Change Requests N/A

Establish Action Plan (Resolution Time Frame) Process in place via web, Ann to develop draft Qwest response for the Network Repair Portion of the CR. (again, the response needs to have ownership from the ISC/CSIE Wholesale group)M. Belt to forward draft response template with sample response for processing.


CenturyLink Response

December 4, 2001

Kathleen Stichter ILEC Relations Manager Eschelon

CC: Mark Coyne Ann Danielsen

This letter is in response to your CLEC Change Request Form, number PC 101001-1 dated 10/10/01 – Process for CLEC to get end user service corrected without an additional LSR when Qwest typed the original order incorrectly.

Request: Currently when Eschelon calls Qwest repair, if the customer service record (CSR) does not match what Eschelon ordered, Qwest repair refuses to open a ticket and instead tells Eschelon to issue an order to correct the problem. Eschelon will investigate and determine that what the LSR asked for is different than what Qwest typed. If an end user customer needs to wait for Eschelon to send through a LSR and Qwest to issue an order the end user would be without the service for several days. This is a hardship for the end user customer. Eschelon asks Qwest to develop, document, distribute and train an adhered to process for Eschelon repair to call Qwest repair and have the end user customer service fixed without Eschelon issuing another LSR. Eschelon asks that the process include Qwest repair transferring Eschelon to the appropriate person within Qwest who will issue an order with the same day DD to fix the problem that was caused by Qwest typing the original order incorrectly.

Qwest Response: Qwest Repair Process When a CLEC calls the Repair Center to report trouble on their end users service, the Repair Center will issue a repair ticket and forward the ticket to the appropriate screening group. If the screening group determines the problem needs to be resolved with a service order, the screener will refer the problem to the Interconnect Service Center (ISC). The ISC will initiate the subsequent order resulting from a Qwest error on the LSR or will contact the CLEC on errors resulting from a CLEC error on the LSR.

Interconnect Service Center Process CLEC reports of service problems or outages within 72 hours of order activity should be directed to the Interconnect Service Center (ISC) at 1-888-796-9087. The ISC agent will ascertain all pertinent information, create a database trouble ticket and attempt to warm transfer the CLEC to a Customer Service Inquiry and Education Service Delivery Consultant (CSIE SDC). If a CSIE SDC cannot be reached directly, the ISC agent will refer the trouble ticket to the CSIE SDC and advise the CLEC that they will receive a call back within 2 hours. The CSIE SDC will investigate the trouble ticket by reviewing the LSR and associated service order(s).

If a discrepancy is found on a completed service order (ordered product and/or services were not delivered), the CSIE SDC will issue a new service order to correct the problem. Every effort will be made to provide a same day Due Date for the new order. If no discrepancies are found on the completed service order, the CSIE SDC will either warm transfer the CLEC (if the CLEC is on the line) or refer the problem on behalf of the CLEC to the appropriate QWEST repair center. Resale POTS or PAL service trouble reports are handled by the Repair Call Handling Center (RCHC) at 1-800-573-1311 for residential service or 1-800-954-1211 for business service. Trouble reports for all other products are handled by the Account Maintenance Support Center (AMSC) at 1-800-223-7881.

Sincerely,

Cheryl McMahon Senior Process Analyst

Monica Manning IMA Process Specialist


Open Product/Process CR 5527214 Detail

 
Title: Legacy CR Utilization of Stranded DS0 Terminations
CR Number Current Status
Date
Area Impacted Products Impacted

5527214 Withdrawn
5/11/2001
Ordering, Provisioning
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

Qwest should develop a process to allow CLECs to reclaim stranded DS0 terminations. Qwest previously permitted CLECs to purchase DSO terminations in less than 100 block increments. Under this policy, Qwest would nonetheless deliver an entire 100 pair cable block to the CLEC and terminate all 100 pair at the ICDF. However, only the pairs ordered by CLECs were activated in TIRKS. Qwest then changed its policy and began requiring CLECs to purchase terminations only in 100 block increments. Once this policy was in effect, Qwest did not continue numbering terminations in sequence. For instance, at one site, Eshelon had ordered 549 terminations under the initial policy. Qwest provided Eschelon with 600 terminations but only activated 549 of the terminations. When Eschelon ordered additional terminations to that site after the policy change, Qwest provided Eschelon with a separate 100 termination block beginning at 600, thereby stranding the terminations between 550 and 600 that had already been wired.

Eschelon asked that Qwest provide a process by which CLECs can order, pay for and use the stranded DS0 terminations that were delivered and terminated by Qwest but not ordered by the CLEC. Qwest (through Keith Rice) informed Eschelon that Qwest has no product offering to manage the process of filling in the DS0 termination holes and will not be developing one in the foreseeable future.

Qwest should provide CLECs with a process to use the unused but connected DS0 terminations to ensure efficient use of the network. The connections are wired and ready to go. Qwest should accept payment for each unutilized pair and activate each pair in TIRKS. This would provide Qwest with additional revenue and enable the efficient use of both Qwest and CLEC networks. Please modify Qwest’s processes to enable CLECs to purchase and use the unused DS0 terminations that resulted from Qwest’s decision to fill orders out of sequence when it changed its policy to require CLECs to purchase DS0 terminations in 100 block increments. Please identify any rate Qwest would propose to charge


Status History

5/01/01 - CR received from Jessica Johnson of Eschelon

5/01/01 - Status changed to New - To be Validated

5/01/01 - Status changed to New - To be Evaluated

5/01/01 - Updated CR sent to Jessica Johnson, Lynne Powers, Karen Clauson and Janet Houston

5/11/01 - Status changed to Canceled - Co-Provider

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR 5527234 Detail

 
Title: Legacy CR Change the due date on the service order, instead of using a "hard hold"
CR Number Current Status
Date
Area Impacted Products Impacted

5527234 Completed
6/20/2001
Ordering Unbundled Loop, related items such as voice mail and DSL
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

When Qwest stops a cutover on the day of cut due to a Qwest issue, Qwest should change the actual due date in the Service Order Processor (SOP) on both the disconnect and the "n" order for loop installations, using the appropriate jeopardy code (indicating the reason the original due date is not met). If a cutover is stopped on the day of cut due to a CLEC issue, the CLEC submits a supplemental order, which causes the due date to be changed on the service orders. When a cutover is stopped on the day of cut due to a Qwest issue, however, Qwest testers currently use what they refer to as a "hard hold" on the service order that is disconnecting the customer’s existing service. This holds the line translations from completing through RCMAC. Nonetheless, many times, the service order in the SOP completes, and downstream departments complete their work. Because Qwest uses a "hard hold," the actual due date the cutover is performed is changed but the related service orders do not reflect the new date. It is unclear whether there is a jeopardy notice on the new connect installing the loop has a due date change in the SOP and reflects the appropriate jeopardy code or if the order appears to be completing on the original due date with no jeopardy code assigned to it.

This process creates customer-affecting problems. In many cases, the "hard hold" fails to work as intended, and the customer loses service completely. Because the service order has completed, it may be difficult to obtain the same facilities and OE to rebuild the customer in a timely manner. Even if the "hard hold" works as intended, the customer’s service can still be affected. For example, when a "hard hold" is used for an order for a customer with voice mail, the forwarding features are still functioning (because the "hard hold" holds the line translations from completing through RCMAC) but the mailbox portion of the customer’s voice mail is taken down (because the due date on the service order was not changed to reflect the hold). Qwest takes down the mailbox because, without a due date change, one group at Qwest does not know that the other has changed the date for completion of the order. The calls are forwarded, but there is no mailbox to receive them. This problem is not limited to voice mail and affects other areas, such as DSL. Qwest should stop using the "hard hold" and instead change the due date on the service order itself.


Status History

4/27/01 - CR received from Karen Clauson of Eschelon

5/01/01 - Status changed to New - To be Validated

5/01/01 - Status changed to New - To be Evaluated

5/01/01 - Updated CR sent to Jessica Johnson, Lynne Powers, Karen Clauson and Janet Houston

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

6/20/01 - CR status changed to Complete - Process Deployed as per Lynne Powers or Eschelon

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR 5579338 Detail

 
Title: Legacy CR Access to DSL pre qualification information
CR Number Current Status
Date
Area Impacted Products Impacted

5579338 Withdrawn
7/12/2001
Ordering Resale, Unbundled Loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

Please improve CLEC access to the DSL pre-qualification information to reduce the number of error messages and give CLEC at least the same access to the same information as Qwest receives. Often, when Eschelon uses Qwest’s IMA-GUI loop pre-qualification tool, the result is indeterminate. Instead of a yes or no response, Eschelon receives an error message. For example, the error message may indicate that the address and telephone number did not match. When Eschelon then calls Qwest, Qwest is able to run the request and receive a yes or no answer, even though Qwest is using the same address and telephone information used by Eschelon. In some cases, the customer already has DSL (and wants to upgrade speed, etc.). Even though the customer already has DSL, Eschelon cannot get pre-qualification information using IMA-GUI. But, when Eschelon calls Qwest, Qwest is able to retrieve the information using its internal systems. Eschelon has been working with Qwest to try to resolve this issue. Recently, Qwest has indicated that the issue may be addressed in Release 9.0, which will not occur until the end of the year. That is too long to wait. Also, no documentation has been provided as to what changes will be made during Release 9.0 and whether any changes will fully address the issue. Qwest should improve the process for notifying CLECs of such changes and providing documentation to them, as well as shorten the time needed to make necessary changes.


Status History

6/06/01 - CR received from Lynne Powers of Eschelon

6/06/01 - Status changed to New - to be evaluated

6/06/01 - Updated CR sent to Lynne Powers of Eschelon and Janet Houston

7/12/01 - Status changed to Cancelled - Co-Provider

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR PC122701-1 Detail

 
Title: Qwest to offer line conditioning to qualify a loop for Qwest resale DSL service.
CR Number Current Status
Date
Area Impacted Products Impacted

PC122701-1 Denied
3/20/2002
Pre-Ordering, Provisioning Resale, Other (DSL)
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Pennington, Freddie
Director:
CR PM:

Description Of Change

To provision DSL on a line, the line needs to meet certain qualifications. These qualifications include but are not limited to loop length, insertion loss, no bridge taps and no load coils. Currently a significant number of 1FB POTS lines ordered do not qualify for Qwest resale DSL. At this time Qwest does not offer line conditioning to qualify a line for Qwest resale DSL. Eschelon asks Qwest to offer line conditioning so more loops qualify for Qwest resale DSL.


Status History

12/27/01 - CR Submitted by Eschelon

12/27/01 - CR acknowledged by P&P CMP Manager

01/02/02 - Eschelon contacted to coordinate clarification call

01/09/02 - Clarification meeting held.

01/11/02 - Draft clarification meeting minutes issued to Eschelon

01/28/02 - E-mail from Eschelon with working example

02/20/02 - February CMP meeting: General clarification with CLEC community. CR status changed to "Evaluation" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

03/12/02 - Draft response dated 02/25/02 issued to Eschelon. CR Status changed to "Presented"

03/20/02 - March CMP Meeting: CR was denied. CR Status changed to "Denied." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be

posted on the CMP Web site

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

03/21/02 - Formal response dated 02/25/02 posted to CMP database

03/22/02 - Formal response dated 02/25/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses


Project Meetings

01/28/02 E-mail from Eschelon with working example

Subject: CR PC122701-1 Resale DSL Conditioning Date: Mon, 28 Jan 2002 11:30:42 -0600 From: "Stichter, Kathleen L." To: tmead@qwest.com CC: "Johnson, Bonnie J." Todd, Here is an example of why Eschelon is requesting Conditioning on resale DSL. Eschelon sold a DSL to a customer. When we went to pre-qualify the results were, Loop does not qualify for Megabit Service: insertion loss is too high. The customer went to Qwest and ordered DSL through Qwest. When investigated we found that Qwest offered to provision a new line with DSL to see if the new line would qualify. The new line did qualify for DSL. Now the customer has 1 extra line that they do not need and will be removing. This could have been avoided if this CR were accepted. One of the existing lines could have been conditioned to handle the DSL. Please get this information to the Qwest SMEs assigned to this CR. Thanks

Clarification Meeting

2:00 p.m. (MST) / Wednesday 9th January 2002 PC 122701-1 Qwest to offer line conditioning to qualify a loop for Qwest resale DSL service

Attendees: Kathy Stichter / Eschelon Tina Shiller / Eschelon Todd Mead / Qwest Bob Shaheen / Qwest Nadine Jensen / Qwest

Review Requested (Description of) Change: - Kathy read out the description from the change request: "To provision DSL on a line, the line needs to meet certain qualifications. These qualifications include but are not limited to loop length, insertion loss, no bridge taps and no load coils. Currently a significant number of 1FB POTS lines ordered do not qualify for Qwest resale DSL. At this time Qwest does not offer line conditioning to qualify a line for Qwest resale DSL. Eschelon asks Qwest to offer line conditioning so more loops qualify for Qwest resale DSL." - Bob qualified that you can have bridge tap on a DSL line, it just causes a loss of signal strength - Kathy stated that if there is anything stopping DSL going on the line they want to be able to order line conditioning up front. - This request is for a product that currently does not exist. It is not just something not available for Resale.

Areas Impacted: Pre-Ordering, Provisioning

Products Impacted: Resale DSL

Confirm Right Personnel Involved: Freddi Pennington is the owner of this CR. Todd will inform Freddi.

Identify/Confirm CLEC’s Expectation: New process or product

Establish Action Plan: Eschelon may present this CR at the January CMP meeting (01/16/02). General Clarification by the entire CLEC community will take place at the February CMP meeting (02/20/02) and Qwest will provide a response at the March CMP meeting (03/20/02). Freddi 03/20/02


CenturyLink Response

February 25, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc. 720 2nd Avenue South, Suite 1200 Minneapolis, MN 55402

SUBJECT: Qwest’s Change Request Response - CR # PC122701-1 Resale DSL Conditioning

Eschelon requested that Qwest provide a DSL line conditioning service for resale.

Qwest DSL product management does not offer DSL line conditioning service and it is not available to retail end-user subscribers.

Qwest does not offer for resale a service that it does not provide its own retail end-user subscribers.

Sincerely,

Freddi Pennington Resale/PAL/UNE-P Group Manager Qwest

Cc: William Campbell, Director Structure & Loops, Qwest Jasmin Epsy, Senior Director Product Marketing, Qwest Teresa Taylor, Senior Vice President Product Management, Qwest


Open Product/Process CR PC122701-2 Detail

 
Title: Qwest to allow 1FB POTS and DSL on one LSR.
CR Number Current Status
Date
Area Impacted Products Impacted

PC122701-2 Denied
3/20/2002
Ordering, Provisioning Resale, UNE-P, Other (DSL)
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Pennington, Freddie
Director:
CR PM:

Description Of Change

Currently to order a new line with Qwest resale DSL, Eschelon needs to submit 2 LSRs. One LSR for the POTS line and a subsequent LSR for the DSL. When 2 LSRs are issued Qwest does not know that the POTS line will eventually become DSL so facilities to provide a DSL capable loop are not taken into consideration. If Qwest allowed Eschelon to issue 1 LSR for the 1FB POTS line and the DSL then Qwest could provision the loop with DSL capable facilities, if available. Eschelon asks Qwest to allow 1FB POTS and DSL on 1 LSR.


Status History

12/27/01 - CR Submitted by Eschelon

12/27/01 - CR acknowledged by P&P CMP Manager

01/02/02 - Eschelon contacted to coordinate clarification call

01/08/02 - Clarification meeting held.

01/09/02 - Draft clarification meeting minutes issued to Eschelon

02/20/02 - February CMP meeting: General clarification with CLEC community. CR status changed to "Evaluation" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

03/12/02 - Draft response dated 02/27/02 issued to Eschelon. CR Status changed to "Presented"

03/20/02 - March CMP Meeting: CR was denied. CR Status changed to "Denied." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be

posted on the CMP Web site

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

03/21/02 - Formal response dated 02/27/02 posted to CMP database

03/22/02 - Formal response dated 02/27/02 issued to CLECs. Notification CMPR.03.22.02.F.01240.CR_Responses


Project Meetings

Clarification Meeting

2:00 p.m. (MST) / Tuesday 8th January 2002 PC 122701-2 Qwest to allow 1FB POTS & DSL on one LSR

Attendees: Kathy Stichter / Eschelon Todd Mead / Qwest Jeff Cook / Qwest Brett Fesler / Qwest Nadine Jensen / Qwest Janean Van Dusen / Qwest

Review Requested (Description of) Change: Kathy read out the description from the change request: Currently to order a new line with Qwest resale DSL, Eschelon needs to submit 2 LSRs. One LSR for the POTS line and a subsequent LSR for the DSL. When 2 LSRs are issued Qwest does not know that the POTS line will eventually become DSL so facilities to provide a DSL capable loop are not taken into consideration. If Qwest allowed Eschelon to issue 1 LSR for the 1FB POTS line and the DSL then Qwest could provision the loop with DSL capable facilities, if available. Eschelon asks Qwest to allow 1FB POTS and DSL on 1 LSR. There were no questions from Qwest.

Areas Impacted: Ordering, Provisioning

Products Impacted: Resale, UNE-P, Other (DSL)

Nadine is the owner of this CR. Nadine agreed she is the right person to provide the response to this CR, with the assistance of the other Qwest people on the call.

Identify/Confirm CLEC’s Expectation: - Qwest to allow Eschelon to submit one LSR for both the 1FB POTS and the Qwest resale DSL. - If Qwest accepts this CR, then Eschelon expects to see the resulting process documented and the appropriate level of training given to Qwest personnel.

Establish Action Plan: Eschelon may present this CR at the January CMP meeting (01/16/02). General Clarification by the entire CLEC community will take place at the February CMP meeting (02/20/02) and Qwest will provide a response at the March CMP meeting (03/20/02).


CenturyLink Response

February 27, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc. 720 2nd Avenue South, Suite 1200 Minneapolis, MN 55402

SUBJECT: Qwest’s Change Request Response - CR # PC122701-2 Qwest to allow 1FB POTS and DSL on one LSR

The original request from Echelon is that Qwest accept a single LSR for both the local service line (POTS) and DSL service at the same time.

Upon clarification, Eschelon is now requesting that Qwest: - Manually analyze the available facilities at the location - Choose a facility that supports DSL (if available) - Deploy local service (POTS) on a line that will support DSL

Qwest does not offer this type of pre-analysis of a facilities to its retail end-user subscribers. Qwest currently uses a mechanized system that qualifies a facilities based on certain metrics and the facility must already be in place in order to see if it is engineered to support DSL service.

In order for Qwest to do the requested analysis upfront, Qwest would need to remove the order from the automatic facility assignment flow and manually assign facilities to the local service line (POTS). Qwest has made extensive investments in the loop qualification tool and process. Qwest has made the business decision not to manually assign POTS facilities in order to allow the addition of DSL for retail end-user subscribers. This service is not a retail service and is not available for resale.

Sincerely,

Freddi Pennington Resale/PAL/UNE-P Group Manager Qwest

Cc: William Campbell, Director Structure & Loops, Qwest Jasmin Epsy, Senior Director Product Marketing, Qwest Teresa Taylor, Senior Vice President Product Management, Qwest


Open Product/Process CR PC122801-1 Detail

 
Title: Qwest to document, distribute and train an adhered to process to unlock numbers for 911.
CR Number Current Status
Date
Area Impacted Products Impacted

PC122801-1 Completed
4/17/2002
Ordering 911, LNP
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Dubose, Lorna
Director:
CR PM:

Description Of Change

When a number moves from Qwest to Eschelon, Eschelon sends a migration notice to Qwest's 911 data base administrator, Intrado. Intrado migrates the number from Qwest to Eschelon and then applies the new record. However, before Intrado can apply Eschelon's new record, Qwest must first unlock the number in the Intrado 911 data base. When Qwest fails to unlock the number, Intrado sends an error message 755, to Eschelon stating that Qwest has not unlocked the number and they can not apply the new record. Intrado will attempt to apply the new record each day for 14 days and will send the error message 755, to Eschelon each day unless Qwest unlocks the number. At the end of the 14 days, Intrado stops its attempts to apply the new record and sends an error message 760. This is time consumming for Eschelon to continually check the error messages. It is also time consumming if Eschelon has to resend the migration notice, which occurs if Qwest fails to unlock the number within the first 14 days from when Eschelon sent the first notice to Intrado. Another potentially dangerous problem could occur if Qwest fails to unlock the number and the new record is not applied. If the customer moves during the conversion, the 911 data base will have the incorrect information, which could cause an emergency vehicle dispatched to the incorrect location.

Eschelon asks Qwest to document, distribute and train an adhered to process to unlock numbers from the 911 data base so Intrado can apply the new records sent to them by Eschelon. If a current process exists, Eschelon asks to see the process and asks Qwest to improve the process or ensure adherence to the process.


Status History

12/28/01 - CR Submitted by Eschelon.

12/28/01 - CR acknowledged by P/P CMP Manager.

01/03/02 - Eschelon contacted to coordinate available times for clarification call.

01/09/02 - Clarification Meeting conducted with Eschelon.

01/11/02 - Issued Clarification Meeting Minutes to Eschelon.

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

03/06/02 - Issued Qwest's Draft Response dated March 6, 2002 to Eschelon.

03/20/02 - CMP Meeting - Qwest presented its Draft Response dated March 6, 2002. It was agreed that the CR could move to CLEC Test.

03/29/02- Formal response dated March 6, 2002 issued to CLECs. Notification CMPR.03.29.02.F.01246.Final_CR_Response.

04/17/02 - CMP Meeting - It was agreed that the CR could be closed.


Project Meetings

CLEC Change Request Clarification Meeting

Date: January 9, 2002, 12:00 (MT) Place: Conference Call Location: 877-564-8688 Subject: PC122801-1, Qwest to document, distribute and train an adhered to process to unlock numbers for 911

Attendees: Ric Martin, Qwest Lorna Dubose, Qwest Joan Wells, Qwest Kathy Stichter, Eschelon Amanda Owens, Eschelon

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

Review Requested (Description of) Change Eschelon reviewed the requirements of their CR. Lorna asked if Eschelon had any performance measurements on the percentage of 755 Errors and 760 Cancellations they were getting. Eschelon advised that they didn’t have any measurements. Amanda indicated that they would only receive one 755 Error message and it would remain until the number was unlocked or it went to 760. They do not get continuous 755 Error messages for the same number. Amanda indicated that they started with many error messages from 2 years ago. They have reduced that number. She has been working with Qwest'’ 911 database manager and that has worked a little. She indicated that she had a recent e-mail from Intrado including a new 760 report. Amanda will send report to Lorna Dubose. The report indicated that there were other carriers on the report other than Qwest. The group was unsure who was responsible for the other carriers. Qwest will look into this. Joan indicated that Qwest had a recent clarification call on the process and indicated that it was working for the other CLECs. She explained that per commission ruling, Qwest is required to hold the order until 11:59 the next business day. Amanda indicated that they send their records to Intrado 2 days before the Due Date. This would explain why Eschelon would receive 755 Error notices, which would remain for 4 days. Eschelon stated that they understood that Intrado issued the database, but they thought Qwest owned the database. Qwest will advise if they own the 911 database and what the control is. Joan advised that there is a current 911 process on the PCAT. There is a 911 LNP link in the process. Amanda indicated that she had the process. Kathy will review the process and advise whether they understand the requirements. Qwest will look into their action items and check with their 911 database manager on the process of the 911 database management. Eschelon will review the process.

Confirm Areas & Products Impacted The products listed on the CR referenced 911. Qwest advised that this was primarily LNP. Qwest will update the CMP database. . Confirm Right Personnel Involved Qwest had the appropriate SMEs involved. It was confirmed that Lorna Dubose would be the owner with Joan’s support.

Identify/Confirm CLEC’s Expectation Qwest confirmed that there was a process. Eschelon is to review and comment Qwest and Eschelon are to collectively review why the 760 numbers are not getting unlocked.

Identify any Dependent Systems Change Requests There is no corresponding System CR

Establish Action Plan (Resolution Time Frame) Qwest and Eschelon to review their action items and get back to discuss findings.


CenturyLink Response

March 6, 2002

Eschelon Communications Kathleen Stichler ILEC Relations Manager

SUBJECT: Qwest’s Change Request Response - CR # PC122801-1 Qwest Process to Unlock E911 Records

This letter is in response to your Change Request PC122801-1 requesting that Qwest document, distribute and train an adhered to process to unlock numbers for E911.

Eschelon and Qwest conducted a clarification meeting to review Qwest’s current process for unlocking E911 records. During this meeting, Qwest shared with Eschelon that the migrate unlock record should be issued to Intrado, on the customer due date, once the migrate as been completed at NPAC. If the migrate record is issued prior to the customer due date, a 755 or 760 error will be generated.

In addition to Qwest’s existing process, effective, February 25, 2002, Qwest moved forward with implementing the new NENA recommendations. These recommendations require the old provider to unlock the E911 record once a validation has been completed with the NPAC. Therefore, when the CLEC sends the migration record to Intrado, on the customer due date, the NPAC activation should be complete also. Qwest will perform a validation to the NPAC and unlock the customer record once the CLEC migration record is received at Intrado. Intrado will distribute a report to the CLEC identifying any discrepancies.

The E911 Product Catalog has been updated to reflect this enhancement, as well as the appropriate personnel trained.

Again, thank you for partnering with Qwest.

Sincerely,

Lorna Dubose LNP Product Manager Qwest


Open Product/Process CR 5322587 Detail

 
Title: Legacy CR Process for Ordering and Use of Universal Digital Channels (UDC).
CR Number Current Status
Date
Area Impacted Products Impacted

5322587 Completed
4/18/2001
Ordering Centrex, Resale, Unbundled Loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

Develop and distribute methods and procedures for ordering and use of Universal Digital Channels (UDC). Identify when loops meet the qualifications for use of UDCs and under what circumstances UDCs can be used. For example, identify when UDC is a suitable alternative for serving a customer whose order would otherwise go into held status because facilities are unavailable or the customer is currently being served using Integrated Digital Loop Carrier (IDLC). Develop and distribute methods and procedures for ensuring that the quality of service will not be adversely affected due to use of UDC and, if quality is adversely affected, restoring the customer's quality of service. If costs are associated with UDC, identify those costs and circumstances when they apply.


Status History

1/02/01 - New-To be validated

1/04/01 - Status changed to New-To be Reviewed and send to Lynne Powers and Judy Rixe

1/10/01 - Status changed to Reviewed - Under Consideration and updated CR sent to Lynne Powers and Judy Rixe

4/18/01 - Status changed to Complete as per the April CICMP Industry Forum

4/23/01 - Updated CR sent to Lynne Powers, Karen Clauson , Jessica Johnson of Eschelon

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR PC120301-2 Detail

 
Title: Develop, distribute and train an adhered to process to provide CLECs with final APOT information at least 15 days before RFS.
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-2 Denied
2/20/2002
Ordering, Maintenance/Repair, Provisioning Collocation
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Mohr, Bob
Director:
CR PM:

Description Of Change

Qwest does not provide a CLEC with final APOTs until on or after the collocation ready for service (RFS) date. On that date, CLEC is required to pay all remaining nonrecurring charges and begin paying recurring charges for the collocation space. Yet, the collocation space is not functional because the associated UNEs, transport services and CLEC to CLEC routing cannot be ordered with any certainty until after the final APOT information is made available to CLEC. While Qwest will allow CLECS to place orders based upon preliminary APOT information provided before the RFS date, this does not guarantee that CLEC can utilize its space on the RFS date. If Qwest determines that the final APOT is different from the preliminary APOT, CLEC is required to submit a supplement to its service order, thereby delaying delivery of UNEs, transport and CLEC to CLEC routing. Eschelon asks Qwest to develop, distribute and train an adhered to process to provide CLECs with final APOT information at least 15 days before RFS so that CLECs can place orders in a time frame that enables them to actually utilize their collocation space on the RFS date. Eschelon needs to obtain the Final APOT information as soon as possible, because as the example noted below indicates, receiving the Final APOT information is by no means a guarantee that the information is correct. Correcting APOT issues takes time and coordination, which, if handled in the early stages of the order, can be resolved without affecting the established RFS date generated by Qwest and expected by Eschelon/Eschelon customers. Example: On one of Eschelon's ICDF, Eschelon made Final Payment on 8/23/01 (Final APOT expected on/about 8/24/01). Eschelon received Final APOT on 9/14/01 (22 days after Wire Transfer). Before the 9/14/01 date, Qwest revised the APOT information for this specific ICDF twice before it sent the Final/Corrected APOT information.


Status History

11/30/01 - CR received from Eschelon.

12/03/01 - E-Mail Acknowledgement issued to Eschelon Telecommunications

12/04/01 - CR posted to Qwest Wholesale Markets CMP Web page

12/07/01 - Eschelon contacted to schedule clarification call.

12/12/01 - CMP Meeting - Eschelon presented CR to CLEC Community.

12/14/01 - Clarification call conducted with Eschelon. Meeting minutes transmitted to Eschelon.

01/16/02 - CMP Meeting - Qwest conducted CLEC community clarification discussion. Eschelon indicated the need for advanced final APOT information in order to provision customers in advance of the ready for service (RFS) date. Qwest indicated that provisioning can be performed with advance preliminary APOT information. CLEC community agreed to change CR Status to "Evaluation."

02/08/02 - Qwest "Draft" response (dated 02/08/02) transmitted to submitting CLEC and posted in CMP data base.

02/20/02 - CMP Meeting - Qwest presented the "Draft" response. CR status changed to "Denied." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

02/22/02 - Qwest "Formal" response (dated 02/08/02) posted in CMP data base.

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


Project Meetings

2:00 p.m. (MDT) / Friday 14th December 2001 Conference Call TEL: 877.564.8688 CODE: 6265401 PC120301-2 "Develop, distribute and train an adhered to process to provide CLECs with final APOT information at least 15 days before RFS" Clarification Meeting

Kathleen Stichter, Eschelon Renee Lernes, Eschelon Karen Kraas, Qwest Laurel Burke, Qwest Barry Orrel, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Eschelon presented the CR. Eschelon requested that Qwest provide final Alternate Point of Termination (APOT) 15 day prior to the collocation Ready for Service (RFS) date (additional detail in CR). This was requested in order to allow the CLEC to conduct provisioning on advance of the RFS date & provide customer service on the RFS date.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} “Collocation” confirmed as appropriate. “Physical” & “ICDF Collocation” boxes under “Collocation” identified during conference call.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} N/A Qwest & Eschelon confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to evaluate CR. During the January 2002 Monthly P&P CMP Meeting, a CLEC community clarification session will be conducted with Qwest providing potential options for addressing the CR.

6.0 Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} N/A PC120301-3.


CenturyLink Response

February 8, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc

SUBJECT: Qwest Change Request Response - CR PC 120301-02 Develop, distribute and train and adhered to process to provide CLECs with final APOT information at least 15 days before RFS

This letter responds to your CLEC Change Request Form, number PC120301-2 dated November 30, 2001 - Develop, distribute and train an adhered to process to provide CLECs with final APOT information at least 15 days before RFS. Eschelon requested this change so that "CLECs can place orders in a timeframe that enables them to actually utilize their collocation space on the RFS date." The change request provided one example of final APOT information being made available by Qwest days after the payment.

Qwest distributes the preliminary Alternate Point of Termination (APOT) fifteen (15) days prior to the Ready for Service (RFS) date. Final APOT is provided to the CLEC customer on the RFS date, provided the final 50% payment is received in full. The CLEC may then use the preliminary APOT to place service orders. The ordering process does not differ for a preliminary or a final APOT.

[Note: The order may not be turned up prior to the collocation RFS date, and receipt of final payment for the collocation must be received. When the orders are placed within the provisioning timeframe for the service, such service may be utilized and available to the CLEC on the date of the collocation RFS.]

During on-site completion of actual install work there may be changes to the engineering design work package or actual cables and blocks. Therefore, Qwest needs to continue to provide preliminary APOT 15 days prior to RFS with final APOT delivered on RFS and receipt of full payment.

Eschelon’s example dealt with an Interconnection Distribution Frame (ICDF) collocation. They noted their final APOT was provided several weeks following the final payment. During the walk-through with the State Interconnect Manager, discrepancies were noted that required engineering changes. Those changes were implemented and a revised final APOT provided to the customer at that time. However, the final payment was received prior to this implementation. Since work on the discrepancies was progressing, the final APOT was held until that work completed.

Sample data supports the decision not provide a final APOT 15 days prior to RFS. Forty (40) jobs were completed in 2001 for Eschelon. Seven and a half percent (7.5%) of APOT data were changed between the time of issuance of the preliminary APOT and tender of the final APOT. Also, 55% of the 40 jobs completed significantly ahead of the RFS date such that only a final APOT was issued enabling Eschelon to order services and provide their customers with service on or before the scheduled RFS date.

Sincerely,

Robert Mohr Product Manager Qwest

Cc: William Campbell, Qwest


Open Product/Process CR PC120301-3 Detail

 
Title: Implement an adhered to process to provide CLECs with accurate APOT information.
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-3 Completed
4/17/2002
Ordering, Maintenance/Repair Collocation
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Burke, Laurel
Director:
CR PM:

Description Of Change

Qwest provides inaccurate APOT information that prevents CLEC from providing service to its customers until the problems are resolved. This happens on approximately ten percent of Eschelon’s orders. Eschelon asks Qwest to implement a process and procedure for accurate APOT numbering so that CLECs can be assured that they will be able to provide service without delay to their customers. The process and procedure should include a requirement that Qwest personnel validate APOTs as they are entered into TIRKS.

Example #1 (Labeling of terminations in the CO(s) does not match the APOT information). A DS1 order could not be turned up due to incorrect labeling at the CLEC DS1 Spot Frame. APOT information indicated pairs 1-56 belonging to Eschelon, however, Qwest labeling at the Central Office indicated Pairs 1-28 + 33-60 belonging to Eschelon. Eschelon submitted the pending T1 order with APOT 29 and the order was accepted, indicating a labeling error at the Central Office. Errors such as this confuse the Eschelon Operations group and ultimately cause delays until the labeling issue is resolved/confirmed.

Example #2 (Information on Final APOT sheets sent to Eschelon does not match information loaded in TIRKS/IMA). Eschelon could not process DS0 orders due to incorrect information listed on the Final APOT sheet for a collocation. Eschelon submitted orders under one DS0 Cable name (as indicated on the Final APOT sheet). Qwest database was loaded with another DS0 Cable name. Consequently, Qwest was not recognizing orders issued with the DS0 Cable name identifier as the information did not exist in Qwest's systems. Eschelon helped to resolve the matter by sending its own technicians to the Central Office to verify the labeling of the DS0 Blocks. Eschelon discovered that Qwest labeled the APOT information on the Vertical Blocks differently then indicated on the APOT sheet. Qwest subsequently issued a corrected APOT sheet, two days after the problem was first discovered.

Example #3 (Information on Final APOT sheets sent to Eschelon does not match information loaded in TIRKS/IMA). Qwest rejected orders for an Eschelon Collocation due to what was perceived as an incorrect CLLI Code. Qwest informed the Eschelon Provisioning Group that the CLLI Code Eschelon used was incorrect. Qwest records indicated a different CLLI Code and would not process orders despite the fact that Eschelon used the CLLI Code identified on the Fianl APOT sheet on its orders. A service manager at Qwest helped resolve the issue and explained that the problem was due to internal miscommunication within Order Validation.


Status History

11/30/01 - CR received from Eschelon.

12/03/01 - E-Mail Acknowledgement issued to Eschelon Telecommunications

12/04/01 - CR posted to Qwest Wholesale Markets CMP Web page

12/07/01 - Eschelon contacted to schedule clarification call.

12/12/01 - CMP Meeting - Eschelon presented CR to CLEC Community.

12/14/01 - Clarification call conducted with Eschelon. Meeting minutes transmitted to Eschelon.

01/11/02 - Qwest draft response transmitted to Eschelon.

01/16/02 - CMP Meeting - Laurel Burke (SME) presented Qwest response. SME indicated that process improvements have been implemented since example provided by Eschelon occurred. Explanation provided regarding three (3) examples provided. CLEC community agreed to move CR Status to "CLEC Test." Michael Zulevic, COVAD provided list of potential issues to Qwest regarding CR via e-mail. Qwest to review.

02/11/02 - Qwest "Formal" response (dated 01/11/02) posted in CMP data base.

02/15/02 - Qwest "Formal" response (dated 01/11/02) transmitted to CLEC community.

02/20/02 - CMP Meeting - Eschelon internally waiting on any examples to conduct test of Qwest response. CR remains in "CLEC Test" status. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/20/02 - CMP Meeting - Eschelon requested that the CR remain in CLEC Test for another month.

04/17/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR could be closed.


Project Meetings

2:30 p.m. (MDT) / Friday 14th December 2001 Conference Call TEL: 877.564.8688 CODE: 6265401 PC120301-3 "Implement an adhered to process to provide CLECs with accurate APOT information" Clarification Meeting

Kathleen Stichter, Eschelon Renee Lernes, Eschelon Karen Kraas, Qwest Laurel Burke, Qwest Barry Orrel, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Eschelon presented the CR. Eschelon requested that Qwest provide accurate final Alternate Point of Termination (APOT) data to match TIRKS/IMA databases for correct provisioning of circuits (additional detail in CR). This was requested in order to allow the CLEC to conduct provisioning on advance of the RFS date & provide customer service on the RFS date.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} “Collocation” confirmed as appropriate. “Physical” & “ICDF Collocation” boxes under “Collocation” identified during conference call.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & Eschelon confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to evaluate CR. During the January 2002 Monthly P&P CMP Meeting, a CLEC community clarification session will be conducted with Qwest providing potential options for addressing the CR.

6.0 Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} N/A PC120301-2.


CenturyLink Response

January 11, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc

CC: Mary Retka, Qwest

This letter responds to your CLEC Change Request Form, number PC120301-3 dated November 30, 2001 – Implement an adhered to process to provde CLECs with accurate APOT information. Specifically, Eschelon asked Qwest to implement a process and procedure for accurate APOT numbering so that CLECs can be assured that they will be able to provide service without delay to their customers. The change request provided three examples of APOT information provided by Qwest and suggested that the process should include a requirement that Qwest personnel validate APOTs as they are entered into TIRKS.

Qwest previously committed and continues to commit to providing accurate Alternate Point of Termination (APOT) information. We also continue to commit to providing timely resolution of issues relating to information contained on the APOT. To this end, we revised and have implemented several internal processes to verify the accuracy of the APOT. Applicable process changes are addressed below in the context of the examples provided within the Change Request (CR).

- Example 1 describes a situation in which labeling of terminations in the Central Office did not match the APOT information. This job completed in April 2001 and the call to the APOT hotline occurred in November, seven months after the "Ready For Service" (RFS) date. Our investigation revealed that the State Interconnect Manager (SICM) and Eschelon representatives performed a walk through on this job; the APOT contained correct cable count pairs and matched the field cable count; the SICM identified where to connect their side of the terminations. The terminations were labeled correctly and TIRKS also reflects the correct cable count. However, the numbering associated with the jack locations did not match the locations identified on the APOT; for jobs other than ICDF collocations, the jack numbers do not appear on the APOT. Jack locations do not need to match the cable count numbers and in this case, the difference is apparently what caused confusion. This issue was resolved the business day after a call to the APOT hotline. In late June, early July 2001, CPMC personnel reevaluated their quality processes and implemented safeguards to ensure that correct information appears on the APOT; specifically, the state Project Manager is required to confirm that the APOT data matches TIRKS and that the DWP also matches the APOT. A process document (update issued 11/30/2001) reiterates that the Engineer must ensure that the actual installation is accurately reflected in both the APOT and the DWP. Additionally, Engineering revised its job aid on 8/28/2001 describing ICDF collocation engineering and its unique APOT in detail.

- Example 2 involved the inability of Eschelon to process DS0 orders based on incorrect TIRKS information. The APOT resulted from a job that completed in April but no call was made to the APOT hotline. There was a cable name error on the APOT; instead of an "s" the cable name contained a "d." The field and TIRKS correctly showed the "s," but there was a typographical error on the APOT. A revised final APOT was provided to Eschelon the morning of the second business day following the identification of the error to Collocation Project Management Center (CPMC) State Project Manager. Internal processes (updated 9/27/2001 and 11/30/2001) require the Engineer to verify the field installation information against the APOT, TIRKS, the design work package (DWP) as well as check any other affected engineering documents/systems for consistency. As changes are made and needs clarified (from sources such as the APOT hotline), engineering staff review and update the applicable job aids in addition to providing periodic training on issues, including APOT related ones, during monthly staff meetings. As indicated above, the CPMC State Project Manager is also required to manually check and validate that the APOT matches the parameters contained in the DWP. The CPMC audits compliance with this process on a monthly basis.

- Example 3 involved a rejection of orders because the CLLI code appeared to be incorrect on the final APOT. Upon notification of a building addition completion, Eschelon submitted an application for collocation space in the central office and was placed in the central office annex for which the addition had just been completed and for which a new CLLI had been assigned. The service center did not recognize the CLLI code associated with the collocation job (completed in April 2001) because it did not match the address or name of the central office on the order - a new name and physical address had been assigned to the building addition. However, the APOT, DWP and TIRKS were correct for the location of the collocation. The Account Service Manager was contacted and the situation explained sufficiently to allow the orders to process. Some unique situations will continue to arise and need to be addressed individually.

In summary, Qwest understands the concerns that result from order rejection, and has instituted the following measures to provide accurate APOT information:

- Internal process improvements (discussed above and) implemented by the Engineering, CPMC, and TIRKS organizations (effective July 2001);

- Qwest collocation engineering managers regularly provide training on and review of APOT job aids; and

- Continued operation of the "APOT Hotline" (refer to CR 5608156) to quickly and efficiently address any APOT discrepancies that may arise.

Qwest will continue to work with the CLEC community regarding APOT accuracy related issues.

Sincerely,

Laurel L. Burke Staff Advocate, Policy & Law Technical Regulatory Interconnection Planning


Open Product/Process CR PC120301-4 Detail

 
Title: Implement a process to insure Qwest adheres to ANSI Standard T1.102 and ANSI T1.104 for setting signal and loss level standards for DS3 cable length limitations.
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-4 Completed
4/17/2002
Ordering, Maintenance/Repair, Provisioning Collocation
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wycoff, William
Director:
CR PM:

Description Of Change

Qwest currently states that it will meet ANSI standards without defining how it will meet the standards. Qwest should commit to engineering a complete DS3 Circuit when the request for a CLEC to CLEC cross-connect is made through the Qwest ICDF. Eschelon asks that Qwest adhere to ANSI Standard T1.102 and ANSI T1.104 with the additional lineal footage, ICDF connections, connectors and DSX interfaces taken into consideration. Without such a standard, CLECs are not assured a clear DS3 signal. If it is discovered that a signal level of no less than -4.7 dBm is present on a single unbalanced coaxial line (20 Ga/26 Ga), Qwest will notify the CLEC that amplification is required and will appropriately amplify the signal to meet ANSI Standards (as identified in ANSI Standard T1.102 and ANSI T1.104). Additionally, Eschelon requires that the two-unbalanced coaxial cable paths are within ± .5 dBm of one another. Otherwise, corrective action is necessary to meet this requirement.

Example #1 (Qwest needs to engineer the entire path (CLEC to CLEC) when the cross-connect is made through the Qwest ICDF). A CLEC to CLEC cross-connect was made with a third party in a Central Office. When the entire lineal footage of the DS3 Circuit was taken into consideration, the DS3 signal was not within ANSI loss level standards. Qwest contends that it will engineer the DS3 cable/signal from the Qwest ICDF to each separate Co-Provider but that it is not responsible for the complete circuit, although all elements involved. (i.e. BNC connectors, ICDF Cross-connect points, and DSX interfaces) contribute significantly to overall signal loss. Since Qwest provisions all three segments of the circuit, Qwest must provision the complete circuit in such a way that meets the ANSI standard.


Status History

11/30/01 - CR received from Eschelon.

12/03/01 - E-Mail Acknowledgement issued to Eschelon Telecommunications

12/04/01 - CR posted to Qwest Wholesale Markets CMP Web page

12/07/01 - Eschelon contacted to schedule clarification call.

12/12/01 - CMP Meeting - Eschelon presented CR to CLEC Community.

12/14/01 - Clarification call conducted with Eschelon. Meeting minutes transmitted to Eschelon.

01/16/02 - CMP Meeting - Qwest conducted CLEC community clarification discussion. Eschelon requested that Qwest contact Paul Hauser, Eschelon to discuss additional technical issues regarding the CR. Eschelon asked that Michael Zulevic, COVAD be invited to the conference call. CLEC community agreed to change CR Status to "Evaluation."

01/18/02 - Follow-up clarification call conducted with Eschelon and Covad in attendance; minutes transmited to Eschelon and Covad.

02/08/02 - Qwest draft response (dated 02/06/02) posted in CMP database & transmitted to Eschelon.

02/20/02 - CMP Meeting - Qwest presented the "Draft" response. CR status changed to "CLCE Test." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

02/22/02 - Qwest "Formal" response (dated 02/06/02) posted in CMP data base.

03/20/02 - CMP Meeting - Eschelon requested that the CR remain in CLEC Test for another month until the have a chance to perform a test.

04/17/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed that the CR could be closed.


Project Meetings

8:00 p.m. (MDT) / Friday 18th January 2002 Conference Call TEL: 877.564.8688 CODE: 6265401 PC120301-4 "Implement a process to insure Qwest adheres to ANSI Standard T1.102 and ANSI T1.104 for setting signal and loss level standards for DS3 cable length limitations." [Follow-up]

Kathleen Stichter, Eschelon Paul Hanser, Eschelon Michael Zulevic, Covad Bill Wycoff, Qwest Jeff Ferra, Qwest Laurel Burke, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Clarification was obtained from Eschelon & Covad for the subject CR. The following items were discussed: 1) Paul Hanser, Eschelon identified two (2) types of CLEC to CLEC connections in Qwest CO facilities: 1) direct connection (i.e., no routing through Qwest ICDF; and 2) connection through Qwest ICDF(s). Direct connections, in general, exhibit fewer problems and mainly concern cable lengths and re-generation concerns. Connections routed through a Qwest ICDF(s) usually involve larger Qwest CO facilities that may involve multiple floors and require more detailed assessments of circuit cable lengths, regeneration, ICDF connection losses, and other connector losses (i.e., BNC). Eschelon expressed concern that proper engineering and testing of the end to end portion of the Qwest furnished curcuit (i.e., cabling, regeneration (if required), all related connections) need to be conducted properly prior to "throwing the cables over the fence into the co-location areas." 2) Michael Zulevic, Covad concurred with Eschelon and also requested cable continuity testing and documentation for the Qwest provided portion of the circuit at the conclusion of the construction phase; along with possible collaborative testing during the test & turn-up phase. 3) William Wycoff, Qwest asked Eschelon what signal levels are being transmitted and received from their co-location areas. Paul Hanser, Eschelon indicated that maximum transmit and minimum receive are indicative of signal levels.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} N/A. Discussed in previous clarification meeting.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} N/A. Discussed in previous clarification meeting.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to generate draft response for CMP Monthly Product & Process Meeting.

-

1:30 p.m. (MDT) / Friday 14th December 2001 Conference Call TEL: 877.564.8688 CODE: 6265401 PC120301-4 "Implement a process to insure Qwest adheres to ANSI Standard T1.102 and ANSI T1.104 for setting signal and loss level standards for DS3 cable length limitations" Clarification Meeting

Kathleen Stichter, Eschelon Renee Lernes, Eschelon Bill Kent, Eschelon Bill Wycoff, Qwest Jeff Ferra, Qwest Laurel Burke, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Eschelon presented the CR. Eschelon requested that the completed circuit provided by Qwest for CLEC to CLEC cross connect through a Qwest Interconnect Distribution Frame (ICDF) provide a signal level of no less than –4.7 dBm (additional detail in CR). Qwest is responsible for completing the cross connect circuit.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} “Collocation” confirmed as appropriate. “Physical” & “ICDF Collocation” boxes under “Collocation” identified during conference call.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & Eschelon confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to evaluate CR. During the January 2002 Monthly P&P CMP Meeting , a CLEC community clarification session will be conducted with Qwest providing potential options for addressing the CR.

6.0 Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} None.


CenturyLink Response

February 6, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc

SUBJECT: Qwest Change Request Response - Number PC120301-4 (December 3, 2001) – Implement a process to insure Qwest adheres to ANSI Standard T1.102 and ANSI T1.104 for setting signal and loss level standards for DS3 cable length limitations.

Qwest has responsibility to engineer network elements within its Central Offices (CO) in an efficient manner. Qwest has engineering criteria establishing DSX-N cross-connect fields that are in compliance with ANSI Standard T1.102 for setting signal and loss levels using cable length limitations, signal source level control, and signal regeneration. It is unclear how ANSI Standard T1.104 relates to the signal level question.

To minimize equipment, the ICDF is not engineered as a DSX-N level point. According to Technical Publication 77386 on Interconnection and Collocation, Chapters 5 and 15, the engineering requirement is to design through the ICDF to a DSX-N point when accessing unbundled offerings such as Unbundled Loops, Unbundled Dedicated Interoffice Transport, etc. This principle was established circa 1996 in FCC Docket 93-192.

The CLEC-to-CLEC Cross-Connection (COCC-X) offering is defined as the CLEC’s capability to order a cross-connection from its Collocation in a Qwest Premises to its non-ajacent Collocation space or to another CLEC’s Collocation within the same Qwest Premises at the Interconnection Distribution Frame (ICDF). This is accomplished by the use of the CLEC’s Connecting Facilty Assignment (CFA) terminations residing at the same ICDF and at the same service rate level.

Qwest is providing clarification for the following activities to address this request:

- CLEC ordering procedure for cross-connection; - Qwest engineering data exchange with the requesting CLEC(s) for the cross-connection; - CLEC to CLEC cross connection within the Qwest Central Office (CO); - ICDF connections, and regeneration installation; and - Verification testing.

CLEC Ordering Procedure

CLEC to CLEC cross-connections are ordered through the Qwest EXACT-PC system using the Access Service Request (ASR) form. This form is used for ordering Access and Local Network Interconnection Services. Qwest processes the ASR and determines a ready for service (RFS) date for the connection.

The requesting CLEC(s) is required to assess the need for signal regeneration prior to submittal of the completed ASR form. An engineering data exchange can be arranged through the Qwest Wholesale Collocation Project Manager (http://www.uswest.com/wholesale/clecs/escalations.html)

Qwest Engineering Data exchange with requesting CLEC(s)

The requesting CLEC(s) are required to know the cable types and lengths from their equipment to the ICDF(s) in order to assess the need for signal regeneration. The need for regeneration may arise when the distances between the CLEC’s collocation equipment exceeds twice the cable length limitation criteria (table) when connected through the ICDF. The total cable length limitation from signal source to sink, without a DSX-N point is nominally, two times the shown length.

Qwest will provide the requesting CLEC(s) the type and length of cable between their physical space and the ICDF. Each CLEC uses this information to design the span between their equipment. The design is done to determine any need for regeneration. Regeneration is typically at the ICDF.

[Table in Supplemental Information]

Given the probability of having cable lengths that total less than the maximums, it has been and is the CLEC’s responsibility to set any transmit attenuators in their equipment. Given the possibility that total cable lengths from the Collocation spaces through the ICDF are longer than the table allows, there is the opportunity for a CLEC to request regeneration by using a specific Network Channel Interface (NCI) code on their order. The NCI is chosen from Table 6-5 of Tech Pub 77386 using one that calls for regeneration. CLEC to CLEC cross connects occur between two CLECs within a Qwest CO and use jumper cables at the ICDF to complete the link. There is no assured DSX-N level point in the circuit.

Figure A below illustrates the situation where there is a single, ICDF cross-connect to complete a CLEC-to CLEC circuit that needs a regenerator. There is no DSX-N level point assured in this circuit.

[Figure A in Supplemental Information]

Figure A: Single ICDF Connection with Regeneration

ICDF connections and regeneration installation

Qwest, following receipt of the ASR will perform ICDF connections and regeneration functions. Equipment additions for regeneration (if no spares are available) will be initiated. Qwest completes these activities and conducts verification testing.

Verification testing

Verification testing of the cross-connection will be conducted to assure compliance with the ASR. Cooperative testing on circuits will be conducted with Qwest and requesting CLEC(s) technicians.

Qwest will coordinate with the requesting CLEC and schedule the testing of the completed cabling, ICDF connections and regeneration. CLEC(s) will be responsible to terminate cabling into their respective collocation equipment prior to the testing effort.

Although circuit testing is the responsibility of the CLECs, Qwest will provide technician support of CLEC to CLEC circuit testing efforts and provide trouble-shooting support, as necessary to successfully complete an ASR. Such testing shall confirm that ASR ordered circuits perform to service objectives in ANSI Standard T1.510, Network Performance Parameters for Dedicated Digital Services for Rates Up to and Including DS3. Clauses 8.2 and 8.3 describe DS1 and DS3 testing, respectively.

Sincerely,

William R. Wycoff Services Planning Qwest

CC: Bill Campbell, Qwest Barry Orrel, Qwest Gale Perko, Qwest Mary Retka, Qwest


Open Product/Process CR PC120301-5 Detail

 
Title: Process where once an escalation ticket is opened and accepted that the issue stays with the CSIE group until the escalation is completed.
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-5 Completed
3/20/2002
Provisioning LNP, Resale, Unbundled Loop, UNE
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Thacker, Michelle
Director:
CR PM:

Description Of Change

Eschelon asks Qwest to develop and implement a process that once an escalation ticket is opened and accepted that it is not closed and stays with the CSIE group until the escalation issue is completed even if the Qwest Service Order completes during the course of the escalation. Eschelon experienced a customer who was out of service at 2pm on the DD of an order. Eschelon escalated and Qwest CSIE group opened and accepted the escalation. The Qwest CSIE group worked the ticket without resolution until the Service Order was completed. Qwest then closed the ticket without resolution and called Eschelon advising us to call the LNP repair desk.


Status History

11/30/01 - CR received from Eschelon.

12/03/01 - E-Mail Acknowledgement issued to Eschelon Telecommunications

12/04/01 - CR posted to Qwest Wholesale Markets CMP Web page

12/07/01 - Eschelon contacted to schedule clarification call.

12/10/01 - Clarification call scheduled for 18-Dec-01 due to conflicts with monthly Product & Process and Systems meetings (i.e., 12- & 13-Dec-01) & availablity of supporting technical staff to attend conference call.

12/12/01 - CMP Meeting - Eschelon presented CR to CLEC Community.

12/18/01 - Clarification Meeting conducted with Eschelon.

12/19/01 - Clarification Meeting Minutes transmitted to Eschelon.

01/08/02 - Qwest draft response (dated 01/04/02) posted in CMP database & transmitted to Eschelon.

01/16/02 - CMP Meeting - Michelle Thacker (SME) presented Qwest response. SME indicated that the example Eschelon provided was a one-time occurence and that training has been conducted with the CSIE group to properly handle escalation tickets through completion. CLEC community agreed to change CR Status to "CLEC Test." CLEC community requested modification to PCAT language to be consistent with Qwest response. PCAT language modification is being persued by Qwest.

02/14/02 - Qwest "Formal" response (dated 01/04/02) posted in CMP data base.

02/15/02 - Qwest "Formal" response (dated 01/04/02) transmitted to CLEC community.

02/20/02 - CMP Meeting - Qwest provided status update. CR remains in "CLEC Test." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

02/28/02 - PCAT updated with language that is consistent with this CR response URL: http://www.qwest.com/wholesale/clecs/maintenance.html

03/20/02 - March CMP Meeting: CLECs agreed to close CR. CR Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

02/28/02 - PCAT updated with language that is consistent with this CR response URL: http://www.qwest.com/wholesale/clecs/maintenance.html

Recent Service Request Activity If your service request was completed within the past 72 business hours contact Qwest's Interconnect Service Center (ISC) at 888-796-9087 for assistance. After researching the issue, the Customer Service Inquiry and Education Center (CSIE) will contact you regarding resolution of your issue.

3:30 p.m. (MDT) / Tuesday 18th December 2001 Conference Call TEL: 877.554.8688 CODE: 3269208 PC120301-5 “Process where once an escalation ticket is open and accepted that the issue stays with the CSIE group until the escalation is completed.” Name/Company:

Kathleen Stichter, Eschelon Bonnie Johnson, Eschelon Michelle Thacker, Qwest Peter Wirth, Qwest

1.0 Introduction of Attendees Attendees introduced.

2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Eschelon presented the CR. Eschelon requested that the process be confirmed as to handling of escalation tickets by CSIE. Eschelon expressed concern that once a trouble ticket is open, either the CSIE or repair group should handle through completion. Qwest confirmed with Eschelon that the ticket issue was a one-time occurrence.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Appropriate products & areas identified in CR.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Qwest & Eschelon confirmed appropriate personnel were in attendance.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measureable terms ie provide a documented process, change a process to include training etc)} Qwest to evaluate CR. During the January 2002 Monthly P&P CMP Meeting, Qwest will provide an explanation of the escalation ticket occurrence; and provide clarification to the procedure to be followed by Qwest CSIE and Repair, as required.


CenturyLink Response

January 4, 2002

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc.

CC: Peter Wirth, Chris Siewert

This letter is in response to your CLEC Change Request Form, number PC120301-5 dated 11/30/01 - Process where once an escalation ticket is opened and accepted that the issue stays with the Customer Service Inquiry and Education (CSIE) group until the escalation is completed.

Qwest currently has a repair referral process in place, which provides for CSIE responsibility of a CLEC issue until resolution. The process provides procedures for handling an out of service condition when service order activity is involved. Your experience with the Qwest CSIE team was an isolated incident

The repair referral process addresses: review of the service order; matching service order entries against the CLEC issued LSR; issuing a service order to correct inaccurate entries on the service order if found; contacting internal departments for assistance; and follow up to ensure end user customer receives service, etc. The Qwest Service Delivery Coordinator (SDC) utilizes this process in processing escalation tickets.

I have confirmed with Chris Siewert - Team Leader Minneapolis CSIE, that process retraining occurred shortly after this incident for the entire CSIE team.

Sincerely,

Michelle Thacker Process Specialist


Open Product/Process CR 5608156 Detail

 
Title: Process and Procedures for consistent APOT numbering
CR Number Current Status
Date
Area Impacted Products Impacted

5608156 Denied
9/19/2001
Ordering Unbundled Loop
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Nelson, Steve
Director:
CR PM:

Description Of Change

Please provide a process and procedures for consistent APOT numbering. Qwest apparently uses different conventions in different central offices (“COs”) for numbering APOTs. This leads to problems when, for example, a typist at Qwest copies and pastes information for one CO and uses it for another. Also, there appears to be a discrepancy between physical numbering and the information reflected in TIRKs. To the extent that inconsistencies exist today, please develop and distribute a process for correcting those inconsistencies. The inconsistencies create serious problems for CLECs. For example: In one situation, the augment was labeled at the ICDF as starting with number 1. But, the collocation term sheets and IMA (TIRKS) indicated that the augmented APOT starts at a higher number. Therefore, pending orders could not be completed to the APOT on which they were ordered.


Status History

06/13/01 – CR received from Lynne Powers of Eschelon 6/18/01 – Status changed to New – to be Evaluated

07/09/01 – Status changed to Reviewed – Under Consideration

07/13/01 – Drafted response sent to CICMP team via email (MR)

08/06/01 – Conference call with Steve Nelson and Lynne Powers of Eschelon held to discuss proposed CR response. Additional action taken by Qwest to resolve and respond to this issue.

08/15/01 – CLEC CMP Meeting Product & Process. Qwest advised that additional action items were taken by Steve Nelson and response will be revised and re-released.

08/27/01 - Qwest sent draft response to Eschelon.

08/27/01 - Teleconference held with Eschelon to review response. Eschelon is to obtain their SME's comments.

08/29/01 - Received Eschelon's SME's comments.

08/30/01- Revised draft response issued to Eschelon.

09/19/01 - CMP Meeting - Qwest reviewed its response and advised that they had to deny the request. Eschelon will evaluate whether to escalate .

09/21/01 - Qwest response issued to CLEC Community

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


Project Meetings

08/27/01 E-mail Stichter, Kathleen L. wrote:

Kate, Here is Gerry's reply. Gerry is director of our switch operations. Please send this on to whoever needs to see it. Thanks Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com Kathy: When we assign a APOT/CFA we hard wire directly to the ICDF from our UE9000's. By having the APOT's in numerical sequence it allows for our LENS and the PM Terminal/Node Number(which is the APOT/CFA) to match up one to one. Example ...If I have an APOT of PST05 pair 12 for the Orchard CO it matches directly to LEN ORCH 0 00 1 12. By reusing the same numbering, i.e. ALT02 1-300 and PST05 1-300 the PM Terminal/Node Number will not match up with the LEN assignment. Thanks Gerry P.S. I can print out examples at a later date. Gerry


CenturyLink Response

August 28, 2001 Wholesale Product Marketing Ms. Lynne Powers Vice President, Eschelon Telecom

Dear Ms. Powers:

I conducted a conference call with Eschelon on August 6th, 2001 at which time Qwest reviewed and responded to the letter written by myself, dated July 13, 2001. Eschelon clarified their request as, “Can they have sequential DS0 cable counts when they submit an augment for additional 100 DS0 cables.” They do not want 2 different naming conventions that have the same numbering system. Eschelon wants each new cable name to have its own associated cable counts.

According to Gerry Boeke from Eschelon, when they assign an APOT/CFA, they hard wire directly to the ICDF from their UE9000's. By having the APOT's in numerical sequence it allows for their LENS and the PM Terminal/Node Number, which is the APOT/CFA, to match up one to one (i.e...If you have an APOT of PST05 pair 12 for the Orchard CO it matches directly to LEN ORCH 0 00 1 12). By reusing the same numbering (i.e. ALT02 1-300 and PST05 1-300), the PM Terminal/Node Number will not match up with the LEN assignment.

Qwest does not believe it is a realistic expectation that cable counts always match exactly with LENS and Cable Counts. It will not and does not need to do so. Although administration would be easier for Eschelon, this is not practical on the part of Qwest. Existing working circuits are currently operating with different cable counts.

I have worked with John Waltrip, IOF EPOC methods manager, regarding this clarification. John’s response is as follows: “This issue is a scenario where a CLEC places an augment order to supplement facilities already in a given Central Office. The original facilities may have been built based on a cable naming convention that is now superseded (e.g. an original DS0 cable may have been called/counted as ALT02, 1-300); the new convention would carry a name like PDT05, 1-400 (for an additional 400 - or a total of 700). As a result, his response was that our practice is to not attempt a continuous count of old to new cable names for the same comparable circuit, (e.g. establishing the PDT05 with a count of 301-700) for the following reasons:

Our system has been in place for over a year and changes would mess-up live circuits. All CLECs are using this same system, so they rely on it as well. Other interfaces rely on this such as TIRKS, LFACS, etc. Sequence number is not critical when they place orders. The 1-300 gap in the PDT05 cable becomes an administrative fail point, not knowing that a PDT05, 1-300 count does not exist would cause the types of data base administration, as well as engineering and Service Delivery, problems that we have been cleaning up for the past 2 years. It is also possible that different types of DS0 cables go to different types of frame locations like line sharing. Different databases are also involved like LFACS for line sharing. If a customer has DS1 service it could be a UNE or Finished Service and can be configured with or without regeneration, all of these are now uniquely identified through our new naming convention. This in turn is desired to eliminate potential wiring errors and customer effecting trouble. Future mergers and acquisitions are causing conflicting databases also. The current new naming convention addresses and eliminates this problem. When two CLECs merge, each will have different cable counts. The TIRKS data base is universal in nature and tracks and monitors all circuits.

In summary, we acknowledge the needed additional work on behalf of individual CLECs to ensure accurate CFA is submitted on provisioning orders. We also acknowledge Qwest is committed to furnishing accurate information and timely resolution of issues as they occur in the provisioning and maintenance process relating to APOT information. For all the above mentioned reasons, we respectfully deny your request.

Sincerely

Stephen C. Nelson Collocation Group Product Manager

July 13, 2001

Ms. Lynne Powers Vice President, Eschelon Telecom

Dear Ms. Powers:

This letter is in response to your CLEC Change Request form number 5608156 dated June 13, 2001.

“Please provide a process and procedures for consistent APOT numbering. Qwest apparently uses different central offices (CO’s) for numbering APOT’s. This leads to problems when, for example, a typist at Qwest copies and pastes information for one CO and uses it for another. Also, there appears to be a discrepancy between physical number and the information reflected in TIRKS. To the extent that inconsistencies exist today, please develop and distribute a process for correcting those inconsistencies. The inconsistencies create serious problems for CLEC’s. For example: In one situation, the augment was labeled at the ICDF as starting with number1. But, the collocation term sheets and IMA (TIRKS) indicated that the augmented APOT starts at a higher number. Therefore, pending orders could not be completed to the APOT on which they were ordered.” Response: Our cable naming convention has undergone evolution over the last six years. When cable names were first assigned to the CLEC cables, the same cable names, e.g. ALT01, were often assigned to multiple CLEC’s. Despite that convention, their corresponding circuits could still be built and turned up since the unique cables were built in TIRKS with the CLEC’s unique CLLI code, e.g. HG5. CLLI codes are assigned by CLONES in order as CLEC’s come into an office, e.g. if a CLEC is the first physical in office A they would typically be assigned HG1, if they were the 8th CLEC they would be assigned HG8., etc. The current naming convention does assign unique cable names to CLEC cables in a given office. The unique name is established based on factors such as the type of collocation, type of circuit, and the 11 character of the unique CLLI codes assigned to the CLEC. (Attachment A is our current Cable Naming Convention) Cable names assigned using the old convention are not incorrect. They are simply not as descriptive as the current naming convention. Qwest explored the cost of converting the millions of cable names over to the new convention in place currently. The estimated cost was in the millions of dollars. Word documents would have to be cut along with new APOT’s etc. Therefore the decision was made to do several things on a going forward basis. One, through attrition the old cable names over time as changes occurred. Two, we would formalize our methods and train all personnel on the new cable naming configuration. Three, we would establish a “Hot Line” for CLEC’s to resolve immediate discrepancies through their Account Representative. Fourth, we would do a major data base reconciliation of all major cities. Fifth, each augment of a site would require a new APOT in its entirely including existing cable names. Qwest has a process for handling discrepancies in provisioning or repair traced to APOT forms. We have established an interval Hot Line to ensure items referred by CLEC customers to their Account Service Manager are responded to within 5 hours by an engineer for resolution. The engineer will identify and work to eliminate and resolve the issue. The engineer will report back to the account representative within 24 hours on the resolution or estimated resolution of the problem. All of these action items have associated methods and procedures which Qwest employees have been trained on. Attachment C and D of the Configuration Options Policy in the PCAT identifies our cable naming convention and samples of APOT’s by type of collocation. (I have attached sample copies of APOT’s )

In summary, although it is more difficult for Qwest and CLEC’s to administer cable names based on the different naming configurations, we do not plan to “convert” all past APOT’s. All existing APOT’s have correct information for submittal or provisioning and repair requests. The Hot Line will assist where discrepancies occur. Our methods have been standardized. We will work with any specific CLEC to resolve any items of concern regarding particular CLEC site APOT’s through your Service Manager.

Sincerely Stephen C. Nelson Collocation Group Product Manager


Open Product/Process CR 5608163 Detail

 
Title: Process for resolving incorrect CSR information
CR Number Current Status
Date
Area Impacted Products Impacted

5608163 Completed
9/19/2001
Ordering Other
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Hoag, Nancy
Director:
CR PM:

Description Of Change

Please provide a process for resolving incorrect CSR information (on either a Qwest or another co-provider’s CSR). Before converting an account, errors in the CSR are sometimes detected. For example, a customer’s CSR shows only 4 lines even though the customer confirms that it added a 5th line six months ago. For some reason, the 5th line has not posted yet. Because the CLEC is ordering “conversion as specified” (and not new), because the customer already has the 5th line in place, the order does not get through the up-front edits. This is particularly true with Release 7.0. Another example is the situation in which the customer has changed addresses but the CSR still shows the old address. The CLEC is unable to submit a conversion. If the CLEC attempts to process the order, the customer’s lines may get moved back to the old address, or the customer may get back-billed. There is no process to follow when this happens.


Status History

06/13/01 – CR received from Lynne Powers of Eschelon 6/18/01 – Status changed to New – to be Evaluated

07/09/01 – Status changed to Reviewed – Under Consideration

07/13/01 – Drafted Response sent to CICMP Team via email (MR)

07/13/01 - MCC issued by Qwest

08/06/01 – Nancy Hoag of Qwest to address and close with Kathy Stichter of Eschelon

08/15/01 – CLEC CMP Meeting Product & Process Qwest response dated 07/13/01 presented, Qwest advised that an MCC would be issued.

08/24/01 - Qwest redistributed MCC to center coaches

08/24/01 - Qwest issued draft response to Eschelon

08/29/01 - Sent draft Qwest Response and MCC for Eschelon feedback.

08/30/01 - Received confirmation from Kathy Stichter from Eschelon that the draft response answered their CR and we could consider the CR Closed.

09/19/01 - CMP Meeting it was agreed that the CR could be closed.


Project Meetings

Stichter, Kathleen L. on 08/30/2001 07:52:07 AM

To: jlbroo2@qwest.com Subject: FW: Draft response to CR 5608163

Jerri, Thanks. This does answer our CR 5608163. We can consider this CR closed.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

From: Jerri Brooks [SMTP:jlbroo2@qwest.com] Sent: Wednesday, August 29, 2001 10:16 AM To: klstichter@eschelon.com Cc: Richard H Martin; Lynn Stecklein; Nancy J Hoag Subject: Draft response to CR 5608163

Hello Kathy,

Please see the attached draft response from Nancy Hoag concerning CR 5608163. Please confirm via e-mail if this response meets your needs or if we need to set up a walk through meeting to discuss the issue further. I am also forwarding you a copy of an e-mail MCC sent out on 7/13/01, it contains the process to be followed for CSR's. Thanks, Jerri Brooks (303) 294-1290

(See attached file: 1Eschelon Response CSR Information-update.doc)


CenturyLink Response

August 23, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom, Inc

CC: Mallory Paxton Matthew Rossi

This letter has been updated from the original July 13, 2001 written response to your CLEC Change Request Form #5608163 dated June 13, 2001.

Provide a process for resolving incorrect CSR information on either a Qwest or another co-provider’s CSR.

Response: Two options are available when the CSR is incorrect.

The CLEC can Check Manual Handling "Y" and explain in Remarks, for example, "Convert As Is. End User added fifth line 612-253-1234 6/29—CSR shows only four lines."

Open an escalation ticket with the Call Center. If this is the option selected, the CLEC should recognize that the ticket may still result in a manually-handled request, since Qwest may not be able to provide a current CSR in time to meet the CLEC’s needs.

These processes are in place today. They have been documented in the Internal Service Delivery M&Ps for the centers and have been communicated to all Qwest Center personnel. To ensure process compliance in all Qwest centers; a Multi-Channel Communicator (MCC) was released on July 13, 2001. The MCC reiterated the existing options as described above, to resolve incorrect CSR information. To further enforce this process, the MCC was redistributed to the Center Coaches on August 24, 2001

Sincerely,

Nancy J. Hoag Wholesale Product Manager

July 13, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom, Inc

CC:Mallory Paxton Matthew Rossi

This letter is in response to your CLEC Change Request Form #5608163 dated June 13, 2001

Provide a process for resolving incorrect CSR information on either a Qwest or another co-provider’s CSR.

Response: Two options are available when the CSR is incorrect.

1. The CLEC can Check Manual Handling “Y” and explain in Remarks, for example, “Convert As Is. End User added fifth line 612-253-1234 6/29—CSR shows only four lines.”

2. Open an escalation ticket with the Call Center. If this is the option selected, the CLEC should recognize that the ticket may still result in a manually-handled request, since Qwest may not be able to provide a current CSR in time to meet the CLEC’s needs.

These processes are in place today, they have been documented in the Internal Service Delivery M&Ps for the centers, and have been communicated to all Qwest Center personnel.

Sincerely, Nancy J. Hoag Wholesale Product Manager


Open Product/Process CR 5608171 Detail

 
Title: Process for allowing Qwest testers and repair personnel access to IMA GUI
CR Number Current Status
Date
Area Impacted Products Impacted

5608171 Completed
10/17/2001
Ordering Other
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Paxton, Mallory
Director:
CR PM:

Description Of Change

Please develop a process and put procedures in place to provide Qwest testers (particularly in Omaha) and Qwest repair personnel access to IMA-GUI. In addition, please train these individuals to access IMA-GUI. They need the ability to view the same information that the CLEC is looking at when they are discussing and attempting to resolve issues.

8-29-01 Scope of request changed from UnBundled Loop to Resell (non design) features.


Status History

06/13/01 - CR received from Lynne Powers

06/18/01 - Status changed to New – to be Evaluated

07/09/01 - Status changed to Reviewed – Under Consideration

08/29/01 - Clarification Meeting with Eschelon and unbundled Loop

08/30/01- Clarification Meeting with Eschelon and Resale

08/31/01- Sent Draft Qwest response to Eschelon.

09/19/01 - CMP Meeting - Eschelon advised that they required additional time to evaluate and requested that all the CLEC's review the response. Qwest will issue draft response.

09/25/01 - Qwest's response issued to CLEC Community.

10/17/01 - CMP Meeting: It was agreed the CR can be "Closed."


Project Meetings

8-30-01 Conference call with Eschelon (Kathy Stichter) Qwest Resale SME: Mallory Paxton, Change Management: Ric Martin, Lyman McKee

Mallory talked with Coach at 1-800-223-7811. Not aware of problem Where Eschelon and Qwest resources not being able to view the same information.

Eschelon views IMA-GUI, Qwest views RCE-GUI (LMOS)

Agreement reached to have Eschelon provide trouble ticket data to Mallory when Eschelon/Qwest views are not the same. Problem is infrequent.

Monitor windows established to be August 31 to October 1st. If nothing is reported CR is subject to be closed.

Mallory to prepare Qwest response position paper to Matt Rossi target 8-31-01.

8-29-01 Conference call with Eschelon (Kathy Stichter); Qwest Unbundled Loop SME’s: Linda Hendricks, Catherine Garcia, Chris Henderson, Deni Toye, Russ Urevig Change Management: Richard Martin, Lyman McKee

Kathy Stichter reviewed CR request situation. Results: Determine CR was not addressing Unbundled Loop, Eschelon is satisfied with QCCC process. Problems are with Resale (Non –design) features. Request as written indicated problem was Un-bundled Loop. Kathy provided calls placed to 1-800-223-7811 option 1 are where the problem existed.

Identified Mallory Paxton and JoAnn Garromone as Qwest SME.


CenturyLink Response

August 31, 2001

Kathy Stichter Eschelon Telecom Inc CC : Matt Rossi This memo is a response to the CLEC Change Request CR 5608171 regarding discrepancies between the information available to Qwest repair personnel and that viewed by a CLEC in IMA. The CR was opened by Eschelon. In fact-finding sessions with Eschelon, it was determined that the problem is confined to calls to the AMSC at 1-800-223-7811, Option 1. The AMSC has reviewed the data visible to their repair personnel, who are looking at an RCE GUI which interfaces with LMOS (the Classic US West repair system). The information on the RCE GUI has been compared to the IMA information viewed by a CLEC calling the center and found to be the same, although the two systems are cosmetically different. Eschelon has no current examples of problems encountered when their employees called the AMSC and the AMSC could not see the same information as Eschelon was seeing. Eschelon has agreed to refer any such problems which occur in the next month to me so that I can research them with the AMSC and at the end of September to consider closing this CR if the problems are no longer occurring or have been resolved to their satisfaction.

Mallory Paxton Resale Process Specialist Email: mpaxton@qwest.com Phone: 206-345-3384


Open Product/Process CR 5608177 Detail

 
Title: Process Improved process for CLEC to CLEC re use facilities process and ensure nondiscrimination
CR Number Current Status
Date
Area Impacted Products Impacted

5608177 Completed
8/15/2001
Ordering Other
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Hoag, Nancy
Director:
CR PM:

Description Of Change

Please improve the CLEC-to-CLEC re-use of facilities process and ensure nondiscrimination. Attached to this CR are Eschelon’s CR# 5263137 and 5263569, which Eschelon asks Qwest to re-open. The re-use of facilities process is not working as described. While CLECs are experiencing problems, Qwest retail is able to re-use facilities without difficulty. Four examples of this have been provided to the CICMP managers. The first two examples are Local Service Requests received from Qwest. In the Remarks section, one states: “Unbundled loop returning to Qwest to provide end user local service.” The other LSR states in the Remarks section: “Loops will be returned to Qwest.” These show that Qwest is able to re-use the facilities for its retail customers (without problems or requesting circuit id information from Eschelon). The other two examples are reject notices. Both contain the following reject message: “records indicate this circuit and slot not working unable to disc.” These examples show that Eschelon is unable to disconnect because Qwest is reclaiming the loop, without prior notice to Eschelon. Eschelon previously submitted CR 5263569 relating to loop reclamation. Attached to that CR is an example of an error message that states: “ the circuit requested to be disconnected is currently in the loop reclamation process and is scheduled for disconnect.” Qwest appears to have simply changed the wording of the reject message to remove the reference to the reclamation process, while continuing its practice of reclaiming loops to re-use them for Qwest retail. A nondiscriminatory process is needed to allow CLECs to re-use facilities as well. The current process is either flawed or Qwest’s representatives have not been trained adequately.


Status History

6/13/01 - CR received from Lynne Powers of Eschelon 6/18/01 – Status changed to New – to be Evaluated

6/20/01 - Process implementation for enhanced Circuit ID Process to be verified and presented in interim meeting to be scheduled by Qwest prior to the July CICMP Meeting. (MR)

6/25/01 - Status changed to Reviewed – Under Consideration

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

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

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

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

8/15/01 - CLEC CMP Meeting Product & Process CR 5608177. It was agreed that the CR was closed due to successful processing of LSRs with revised procedure for CKTIDs.


Project Meetings

Subject: CR-5608177 Date: Sun, 26 Aug 2001 19:40:15 -0500 From: "Stichter, Kathleen L." To: rhmart2@qwest.com

Ric, Sorry about forgetting. Yes you were correct we did close this CR.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com


CenturyLink Response

August 7, 2001

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

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

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

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

Sincerely

Nancy J. Hoag Qwest Wholesale Product Team


Open Product/Process CR 5371475 Detail

 
Title: Allow non design affecting due date changes for unbundled loop orders
CR Number Current Status
Date
Area Impacted Products Impacted

5371475 Denied
10/17/2001
Ordering Unbundled Loop
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Hoag, Nancy
Director:
CR PM:

Description Of Change

At present, for unbundled loop orders, Qwest imposes a 5-day interval for a supplemental order, even if the only change is to move out the due date. For example, a CLEC's customer may have scheduled an appointment for a Friday. On Thursday, the end-user customer notifies the CLEC that Friday will no longer work, and the end-user customer asks to change the date to Monday instead. Under Qwest's current policy, the CLEC must deny the customer's request, because Qwest will impose a 5-day interval. With that interval, the earliest date available to the end-user customer will be the following Thursday. This is true even though the change does not affect design, and the date is pushed out (not moved up).

For POTs resale and on the design side for DSOs, the due date can be changed in less than 5 days, provided that the change is not design-affecting. Qwest should change its process to similarly allow due date changes in less than 5 days (when not design-affecting) for unbundled loop orders.


Status History

02/01/01 - Submitted 2/01/01 New to be validated

02/01/01 - New to be reviewed

02/05/01 - Reviewed under consideration

02/05/01 - Discussed during Qwest CR review. Will be discussed in the February CICMP Meeting (CB)

02/08/01 - Qwest is currently reviewing and formulating a solution which will be discussed in the March CICMP Meeting (CB)

02/21/01 - CR Transitioned to Systems CICMP for resolution 3/7/01 - CR transitioned to Product/Process

03/21/01 - CR Transitioned back to Product/Process (MR)

04/06/01 - Interval for non design-affecting due date changes for unbundled loop orders has been reduced to 3 days. Process will be discussed during the April CICMP Industry Team Meeting (DS – MR)

04/18/01 - Written documentation around the stated 3-day interval required from Qwest in order to complete this CR (MR)

05/15/01 - Qwest will now accept a version or a SUP of a LSR for a non- design effecting change with a 3-day interval. Release documentation illustrating this reduces standard interval is currently being drafted by Qwest and will tentatively be communicated by 6/01/01. (RU)

06/12/01 - Qwest issued release notice PDRN 061901-1, FCC ISP Order.

06/18/01 - Qwest is unable to reduce the standard interval for non-design effecting due date changes for unbundled loop orders to less than 3 days due to required 48 hour advance work scheduling restriction of Qwest central office and outside technicians and coordinator/implimentor.

07/13/01 -Qwest process personnel looking at alternative options to satisfy this request – update will be given during the July 18th monthly CICMP Meeting. (MR) Nancy Hoag to draft response by 8/9/01 to discuss at CICMP

08/09/01 - CR Response sent to the CIMCP team via email for discussion during the August CICMP Industry Team Meeting. (MR)

08/15/01 - CLEC CMP Meeting Product & Process CR 5371475. Qwest presented its response dated 08/13/01. Eschelon to review to determine whether to escalate. Qwest to provide documentation on escalation procedures.

09/04/01 - Qwest issued draft revised response

09/06/01 - Comments received by Eschelon - review meeting to be scheduled

09/07/01 - Qwest provided feedback to Eschelon's comments

09/14/01 - Qwest response issued to Eschelon

09/14/01 - Qwest conducted a Walk-through on Qwest's 09/04/01 response with Eschelon. Eschelon agreed to accept Qwest's 09/04/01 response. Qwest to issue meeting minute.

09/19/01 - CMP Meeting - Qwest reviewed its draft response. Eschelon advised that they felt Qwest denied the CR and wanted to defer the CR.

10/17/01 - CR "Denied" based on discussion during October 2001 CMP Monthly Meeting

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


Project Meetings

Friday 14th September 2001 Introduction of Attendees Kathy Stichter, Eschelon Bonnie Johnson, Eschelon Chris Siewert, Qwest Jerri Brooks, Qwest Ric Martin, Qwest Pat Levene, Qwest Nancy Hoag, Qwest

Introduction of participants on the Conference Call was made. The purpose of the call was to discuss Qwest’s draft response dated September 4, 2001 and Eschelon’s e-mail comments. Review of Response N Hoag reviewed the Change from 5 days to 3 days. B Johnson indicated that there would be a rare occasion where they might need less than 3 days. She provided the example of when a customer was moving lines and they couldn’t make Friday due to equipment, or other issues. She would like Qwest to work with them to improve the date from the improved 3 days. Bonnie indicated that a VP expedite could be difficult to obtain. N Hoag explained that the primary reason that Qwest could not commit to improve on the days was due to CO and Technician resource were typically committed between those days. C Siewert advised that, in these situations, Eschelon could look into switching out an existing order. If that can’t be done, then they would have to move to VP Escalation. Eschelon asked how DS0 orders were handled. C Siewert advised that they would call in for available time and if none were available, they would move to VP Escalation. B Johnson indicated that the VP Escalations have improved. They will play the new process by ear and attempt to get times improved as required. Eschelon asked if, on POP Orders, the customer was willing to pay for overtime, could Qwest accommodate the request. C Siewert advised that Saturday is a normal workday and didn’t believe OT could be accommodated. C Siewert asked B Johnson to provide the Order No. they were looking to have Monday and she will investigate. B Johnson advised that they will go through the escalation process and we could close this CR. K Stichter agreed. N Hoag will issue the draft response formally to M Rossi for issuance to Eschelon.

09/07/2001 08:56:12 AM Nancy Hoag on

To: klstichter@eschelon.com cc: lsteckl@qwest.com

Subject: CR 5371475

Kathy,

Please review the attached letter. Under the "Qwest Response" bullet, you will see that the processes for Retail and Complex Resale DSO's were included:

These are the same Methods & Procedures used by Qwest Service Delivery for all Designed Services, including Wholesale DSO. For due date changes on Qwest Wholesale POTS as well as Qwest Resale and Retail Non Designed Services, Appointment Scheduler is used to determine the next available appointment time.

As for the second issue, I plan on meeting with Steve Sheahan, Toni Dubuque and Bonnie Johnson to discuss how Qwest can best accommodate Eschelon's needs with respect to critical ICB escalations. I consider this issue as an action item, separate from the CR that was submitted. If you could provide me Bonnie's email address, I will forward the information once the meeting has been scheduled.

Nancy J. Hoag Wholesale Products/Unbundled Loop

-- 9/6 e-mail from K Stichter

Lynn, We understand the Response. What we are looking for are 2 items that Eschelon previously requested and we thought were agreed to by Nancy Hoag. They are: 1. Documentation stating the Retail DSO and Complex Resale DSO process for DD changes that do not affect the design. 2. Notice of communication with Toni Dubuque on how Eschelon would escalate any critical ICB issues. We look forward to seeing this documentation. Thanks.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

From: Lynn Stecklein [SMTP:lsteckl@qwest.com] Sent: Tuesday, September 04, 2001 3:41 PM To: Stichter, Kathleen L. Cc: rhmart2@qwest.com; Jerri Brooks; Joann Garramone Subject: CR5371475 - Allow non design affecting due date changes for unbundled loop orders

Hello Kathy, Attached you will find the Qwest Response for the above Change Request. Please confirm via E-Mail if this response meets your needs or if we need to set up a walk through to discuss the issue further. Thanks, Lynn 303 294-1664


CenturyLink Response

September 4, 2001 Wholesale Product Marketing Lynne Powers Eschelon Telecom Vice President, Customer Operations

CC: Russ Urevig Matthew Rossi

This letter is in response to your CLEC Change Request Form #5371475 dated February 1, 2001.

Change Request: Allow non design-affecting due date changes for unbundled loop orders. At present, for unbundled loop orders, Qwest imposes a 5-day interval for a supplemental order, even if the only change is to move out the due date. For example, a CLEC’s customer may have scheduled an appointment for a Friday. On Thursday, the end-user customer notifies the CLEC that Friday will no longer work, and the end-user customer asks to change the date to Monday instead. Under Qwest’s current policy, the CLEC must deny the customer’s request, because Qwest will impose a 5-day interval. With that interval, the earliest date available to the end-user customer will be the following Thursday. This is true even thought the change does not affect design, and the date is pushed out (not moved up). For POTs resale and on the design side for DSOs, the due date can be changed in less than 5 days, provided that the change is not design-affecting. Qwest should change its process to similarly allow due date changes in less than 5 days (when not design-affecting) for unbundled loop orders.

Qwest Response:

Per the Wholesale Unbundled Loop Methods & Procedures for Qwest Service Delivery, due date changes have a minimum 3-day interval. If a shorter than 3-day interval is required by a CLEC, they must follow the attached escalation guidelines as provided by your Service Manager.

This change was submitted via the Qwest Release Notification process, Log # PCRN061901-1, on June 19, 2001 by Russ Urevig

These are the same Methods & Procedures used by Qwest Service Delivery for all Designed Services, including Wholesale DSO. For due date changes on Qwest Wholesale POTS as well as Qwest Resale and Retail Non-Designed Services, Appointment Scheduler is used to determine the next available appointment time.

Qwest is unable to further reduce the due date change intervals for the Unbundled Loop Product, due to Central Office and Field Technician load and resource constraints on Designed Service orders.

Sincerely,

Nancy J. Hoag Wholesale Product Team

August 13, 2001

Wholesale Product Marketing

Lynne Powers Eschelon Telecom Vice President, Customer Operations

CC: Russ Urevig Matthew Rossi

This letter is in response to your CLEC Change Request Form #5371475 dated February 1, 2001.

Change Request: “Allow non design-affecting due date changes for unbundled loop orders. At present, for unbundled loop orders, Qwest imposes a 5-day interval for a supplemental order, even if the only change is to move out the due date. For example, a CLEC’s customer may have scheduled an appointment for a Friday. On Thursday, the end-user customer notifies the CLEC that Friday will no longer work, and the end-user customer asks to change the date to Monday instead. Under Qwest’s current policy, the CLEC must deny the customer’s request, because Qwest will impose a 5-day interval. With that interval, the earliest date available to the end-user customer will be the following Thursday. This is true even thought the change does not affect design, and the date is pushed out (not moved up). For POTs resale and on the design side for DSOs, the due date can be changed in less than 5 days, provided that the change is not design-affecting. Qwest should change its process to similarly allow due date changes in less than 5 days (when not design-affecting) for unbundled loop orders.”

Qwest Response:

Per the Wholesale Unbundled Loop Methods & Procedures for Qwest Service Delivery, due date changes have a minimum 3-day interval. If a shorter than 3 day interval is required by a CLEC, they must follow the escalation guidelines.

This change was submitted via the Qwest Release Notification process, Log # PCRN061901-1, on June 19, 2001 by Russ Urevig

These are the same Methods & Procedures used by Qwest Service Delivery for all Designed Services, including Wholesale DSO. For due date changes on Qwest Wholesale POTS as well as Qwest Resale and Retail Non-Designed Services, Appointment Scheduler is used to determine the next available appointment time.

Qwest is unable to further reduce the due date change intervals for the Unbundled Loop Product, due to Central Office and Field Technician load and resource constraints on Designed Service orders.

Sincerely,

Nancy J. Hoag Wholesale Product Team


Open Product/Process CR 5432820 Detail

 
Title: Update SAG records to match LEC records
CR Number Current Status
Date
Area Impacted Products Impacted

5432820 Completed
9/19/2001
Pre-Ordering Centrex, Unbundled Loop
Originator: Sprague, Michelle
Originator Company Name: Eschelon
Owner: Thompson, Jeff
Director:
CR PM: Esquibel-Reed, Peggy

Description Of Change

Not getting an appropriate match in SAG, during the address validation process. The LEC record address is being used in the attempt to validate against SAG, but the SAG records do not match the LEC records. Requesting that Qwest performs a mass update on the SAG files to correspond with the LEC records, or that the LEC records are revised to match the SAG address files.


Status History

3/05/01 – Received CR from Mark Routh – CICMP Manager – Systems

3/07/01 – Status changed to New – To be Reviewed

3/07/01 – Status changed to Reviewed – Under Consideration 3/07/01 – Discussed in March CR review meeting

3/07/01 – Qwest is not able to modify the SAG and will not change the LEC. (JT)

3/21/01 – Unable to close due to McLeod’s absence at the March CICMP meeting. (MR)

4/16/01 – Unable to cancel CR due to Michelle Sprague’s absence from the April CICMP Industry Forum. (MR)

5/18/01 - Unable to cancel CR due to Michelle Sprague’s absence from the April CICMP Industry Forum. (MR)

6/20/01 - Unable to cancel CR due to Michelle Sprague’s absence from the April CICMP Industry Forum. (MR)

7/11/01 – Email sent to Michelle Sprague to close CR – Clarification on response requested.

08/28/01 - Response emailed to Michelle Sprague at McLeod USA

08/28/01 - Walk through meeting held

08/29/01 - Michelle Sprague closed CR via email to Qwest

09/19/01 - Response Accepted at the 09/19/2001 CMP Forum

09/19/01 - CR Closed at the 09/19/2001 CMP Forum


Project Meetings

Email from Michelle Sprague, McLeod USA August 29, 2001 Concurs with the closing of CR5432820.

Tuesday, August 28, 2001, Walk through Meeting Attendees: Michelle Spraque - McLeod, Peggy Esquibel-Reed, Todd Mead, and Irene Haskins/Qwest CLEC Expectations: McLeod would like Qwest to perform a mass update on the SAG files to correspond with the LEC records, or that the LEC records are revised to match the SAG address files. Mcleod agreed to close the CR and open another to address the following questions: During the address validation process via EDI, when performs an AVQ Hit, SAG address is returned. When performs a CSRQ Hit, the address from the CSR is returned. When the ISC gets an order from a CLEC, does the ISC use the address from the SAG or from the CSR? Which is the correct data source to use? Can the CLEC use just one of these data sources instead of both? Does the ISC use the SAG or the MSAG (911 address)? Which should be used?

Wednesday, August 15, 2001, CLEC CMP Meeting Product & Process. Lynne Powers questioned how SAG records get updated. Jeff Thompson advised that he wasn't sure how Telcordia issues updates, but Qwest can't get Telcordia to utilize Qwest's database. Jeff indicated that he would do some research on finding out how to get updates to Telcordia for their database. Mcleod provided Michelle Sprague as their contact at 319-790-7402.


CenturyLink Response

August 27, 2001

Michelle Sprague OSS Manager, McLeod USA

This letter is in response to the following CLEC Product & Process Change Request Form #5432820.

Request:

Not getting an appropriate match in SAG, during the address validation process. The LEC record address is being used in the attempt to validate against SAG, but the SAG records do not match the LEC records. Requesting that Qwest performs a mass update on the SAG files to correspond with the LEC records, or that the LEC records are revised to match the SAG address files.

Qwest agreed to investigate and report on what the process was for updating the SAG.

Qwest Response: * SAG is a Telecordia product. * Qwest is not able to modify the SAG and will not change the LEC. * The CLEC SAG book is a hybrid, it’s a Telecordia product and is an extract of the PREMIS database. It is created monthly. The CLEC SAG takes the QWEST SAG and additional information is extracted from the database and concatenates the two. Items not appropriate are not extracted and an item such as an NPA wire center that isn’t in the regular SAG book is added. * Qwest process for updating the SAG: - The Address Management Center’s are responsible for the data in PREMIS. Any service order fall-out or addresses that need to be updated, they are the group that does the work. - Should the CLEC find an address range that is incorrect, the CLEC calls interconnect and give’s them that information. - Interconnect contacts the AMC. - The AMC verifies with the appropriate county to make sure is valid and if it is, they update the database. - The following months extract will contain the new information. - Data is only extracted or updated once a month.

Jeffery L. Thompson Director, Information Technologies


Open Product/Process CR PC032801-2 Detail

 
Title: Process regarding circuit identification for CLEC to CLEC carrier changes
CR Number Current Status
Date
Area Impacted Products Impacted

PC032801-2 Completed
8/15/2001
Ordering Centrex, Resale, Unbundled loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Urevig, Russell
Director:
CR PM:

Description Of Change

Qwest recently announced a process regarding CLEC-to-CLEC carrier changes that required the CLEC acquiring the customer to obtain the circuit identification (“i.d.”) from the donor CLEC. (At the previous CICMP meeting, Qwest indicated that its retail group should be following the same process and should not be using loop reclamation for this purpose. Qwest’s use of the loop reclamation process to date, however, demonstrates that Qwest does have access through its own record to accurate circuit i.d. information.) A problem arises when Qwest changes the circuit i.d. after assigning it to a CLEC but without notification to the CLEC. The donor CLEC will provide the old circuit i.d. information to the acquiring CLEC, because the donor CLEC is unaware that Qwest has changed the circuit i.d. Then, the acquiring CLEC will encounter problems in the CLEC-to-CLEC exchange because the circuit i.d. information is inaccurate. Qwest should develop a procedure to ensure that circuit i.d. information is correct and for dealing with and escalating problems when they arise. Inaccurate circuit i.d. information should not delay CLEC orders and customers.


Status History

3/26/01 – CR Received from Karen Clauson of Eschelon

3/28/01 – CR Logged and status changed to New – To be Evaluated

4/06/01 – Status changed to Reviewed – Under Consideration 4/06/01 – Discussed in April CR Review Meeting.

4/16/01 – Qwest will address this during the April CICMP Industry Team Meeting (LW)

4/18/01 – “Patch” for obtaining circuit ID from OLSP to accept LSRs required to complete this CR (MR)

4/20/01 – “Patch was put in place to allow request on an action code of “C” with no required Circuit ID.

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

7/10/01 – Interim conference call conducted to discuss Advanced Notification of CKID changes – meeting minutes sent to the CICMP team on 7/12/01 (MR)

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

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

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

8/15/01 – CLEC CMP Meeting Product & Process CR PCCR032801-2. It was agreed that the CR was closed due to successful processing of LSRs with revised procedure for CKTIDs. Closed

3/28/02 Qwest response posted to CMP database. Response had been posted to the Web as a stand alone document within the Change Request Archive.


Project Meetings


CenturyLink Response

July 10, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom, Inc

CC: Russ Urevig Matthew Rossi

This letter is in response to your CLEC Change Request Forms, numbers PCCR032801-2 and PCCR032801-3 dated March 26, 2001.

* "Advance notice of circuit identification changes. A problem arises when Qwest changes the circuit id after assigning it to a CLEC but without notification to the CLEC. Qwest should develop a process for notifying other carriers when circuit id information is changed. Inaccurate circuit information should not delay CLEC orders and cutovers."

* Response: The existing process used in centers today states: "Anytime a change is made to a CLEC request, including changing the circuit ID (identifier), SBN (subscriber billing number), due date or specified appointment time, and the changes are NOT requested by the CLEC, a "new" FOC must be issued and the changes identified in the remarks of the new FOC."

To ensure process compliance, a MCC (Multi Channel Communicator) was re-distributed on July 2, 2001, to all centers in AZ, CO, IA, ID-N, ID-S, MN, MT, ND, NM, OR, Outside 14 State Region, SD, UT, WA, and WY.

Sincerely,

Nancy J. Hoag Wholesale Product Manager


Open Product/Process CR PC032801-3 Detail

 
Title: Advance notice of circuit identification changes
CR Number Current Status
Date
Area Impacted Products Impacted

PC032801-3 Completed
7/18/2001
Ordering Centrex, Resale, Unbundled loop, UNE-P
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Urevig, Russell
Director:
CR PM:

Description Of Change

A problem arises when Qwest changes the circuit i.d. after assigning it to a CLEC but without notification to the CLEC. Qwest should develop a process for notifying other carriers when circuit i.d. information is changed. Inaccurate circuit i.d. information should not delay CLEC orders and cut overs.


Status History

3/26/01 CR Rec. from K. Clauson of Eschelon 3/28/01 CR Logged and status changed to New To be Evaluated 4/06/01 Status chg. to New To be Clarified 4/06/01 – Discussed in April CR Review Meeting

4/06/01 – Clarification needed by Eschelon, request sent via email to Lynne Powers, Karen Clauson and Jessica Johnson (MR)

5/14/01 – Sited examples faxed by Jessica Johnson of Eschelon and currently being investigated by Qwest (MR) 5/14/01 Status chg. to New - To be Evaluated 5/16/01 Status changed to reviewed - under consideration

6/15/01 – Russ Urevig to speak with Jessica Johnson on sighted examples. Will be discussed at the 6/20 CIMCP meeting. (RU-MR)

6/20/01 – Process of Advanced Notification to be discussed in interim CLEC meeting prior to July CICMP meeting (MR)

7/10/01 – Interim conference call conducted to discuss Advanced Notification of CKID changes – meeting minutes sent to the CICMP team on 7/12/01 (MR)

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

07/18/01 - CMP Meeting - It was agreed that the CR could be closed.


Project Meetings


CenturyLink Response

July 10, 2001

Lynne Powers Vice President, Customer Operations Eschelon Telecom, Inc CC:Russ Urevig Matthew Rossi

This letter is in response to your CLEC Change Request Forms, numbers PCCR032801-2 and PCCR032801-3 dated March 26, 2001.

“Advance notice of circuit identification changes. A problem arises when Qwest changes the circuit id after assigning it to a CLEC but without notification to the CLEC. Qwest should develop a process for notifying other carriers when circuit id information is changed. Inaccurate circuit information should not delay CLEC orders and cutovers.”

Response: The existing process used in centers today states: “Anytime a change is made to a CLEC request, including changing the circuit ID (identifier), SBN (subscriber billing number), due date or specified appointment time, and the changes are NOT requested by the CLEC, a “new” FOC must be issued and the changes identified in the remarks of the new FOC.”

To ensure process compliance, a MCC (Multi Channel Communicator) was re-distributed on July 2, 2001, to all centers in AZ, CO, IA, ID-N, ID-S, MN, MT, ND, NM, OR, Outside 14 State Region, SD, UT, WA, and WY.

Sincerely, Nancy J. Hoag Wholesale Product Manager


Open Product/Process CR PC032801-4ES Detail

 
Title: Advance notice of profile and rate changes
CR Number Current Status
Date
Area Impacted Products Impacted

PC032801-4ES Denied
12/12/2001
Ordering Other
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner: Burson, Sue
Director:
CR PM: Thomte, Kit

Description Of Change

Qwest requires CLECs to complete customer questionnaires/profiles, in addition to entering into interconnection agreements with Qwest, when CLECs enter a Qwest state. Periodically, the questionnaires/profiles are updated, agreements are amended, or rates change. When these documents are completed or rates change, Qwest generally makes changes in its systems to reflect such changes. For example, if a CLEC signs an amendment to its interconnection agreement that contains new rates, Qwest may load additional USOCs with those rates into a table that is specific to that CLEC in that state. Before the USOCs and rates are loaded, Qwest’s systems reject orders for items associated with those USOCs. After they are loaded, the systems will process the orders. While some of these changes may be apparent to the CLEC because they coincide with execution of such documents, sometimes Qwest makes unanticipated changes to the system or the codes. For example, Eschelon has been ordering coordinated cutovers in Minnesota for some time. Suddenly, without notice to Eschelon, Qwest’s systems began to reject those orders. Upon inquiry, Qwest’s representatives indicated that Qwest had performed a “scrub on interconnect contracts” pursuant to which Qwest unilaterally determined that Eschelon could not order coordinated cutovers in Minnesota because Eschelon had not signed a contract amendment proposed by Qwest. Only after Eschelon demonstrated that its existing contract, without amendment, provides for coordinated cutovers did Qwest restore Eschelon’s ability to use the functionality of IMA to order coordinated cutovers. In the meantime, Eschelon’s orders were disrupted. If Qwest had notified Eschelon sufficiently in advance of its “scrub” of Qwest’s plans, Eschelon could have addressed the issue at that time and avoided the disruption to its ordering and provisioning processes. Qwest should implement a process to provide advance notice to CLECs before changes are made to the CLEC’s profile and rates in Qwest’s systems. The notice should be sufficiently detailed to allow the CLEC to understand the implications of the change and should be provided sufficiently in advance of any change to allow the CLEC to object, if necessary. A process should be put in place to handle objections to changes before the changes are made.


Status History

03/26/01 - CR Received from K. Clauson of Eschelon

03/28/01 - CR Logged and status changed to New – To be Evaluated

04/06/01 - Status changed to Reviewed – Under Consideration

04/06/01 - Discussed in April CR Review Meeting

04/16/01 - Qwest will address this during the April CICMP Industry Team Meeting (TK - SC)

04/18/01 - Qwest is currently working this issue (AZ)

05/14/01 - Qwest has identified 3 circumstances (1) Contract amendment or new contract in which the Qwest Service manager will provide notification, (2) Cost Dockets or state PUC rulings in which letters are mailed to effected CLECs, (3) Internal maintenance required in which a process is currently being developed in which the Qwest Service managers will provide notification to the CLEC. Written documentation will be prepared by Qwest and communicated externally, tentative time frame for notification TBD. (AZ)

08/09/01 - CR Response sent to the CICMP team via email and included in the August CICMP Distribution Package. (MR)

08/15/01 - CLEC CMP Meeting Product & Process Qwest's response dated 08/03/01 was presented

09/19/01 - CMP Meeting -Qwest provided status update.

09/27/01 - Qwest's draft response posted to database.

10/17/01 - CMP Meeting: Qwest presented draft response. Qwest to revisit response and address "Clarification on how CLEC gets notification on rate and USOG changes." No "Current Status" change.

11/09/01 - Revised Draft Response dated 11/09/01sent to Eschelon and posted in dBase.

11/14/01 - CMP Meeting - Qwest presented its revised response. CLECs expressed concern over changes to rate table without advance notifications. Qwest requested that this subject be reviewed off-line. It was agreed that this would be an agenda item for next month's CMP meeting.

12/12/01 - CMP Meeting - Alan Zimmerman, Qwest presented an update to the current Qwest response regarding advance notice of profile and rate table changes. A written summary of this update has been posted in the CMP database. Qwest indicated that an internal validation (scrub) of the profile and rate tables is currently in progress for all CLECs. This validation addresses USOCs and SGAT rates, and should be completed this year. The CLEC community requested a redline of the validation changes prior to incorporation into billing. Qwest indicated that no feasible mechanism is available to provide advance notification for the validation exercise. However, Qwest will provide final USOG and SGAT rates for all CLECS when the validation effort is completed. Eschelon requested that the current validation effort by Qwest be stopped until an advanced notice procedure is in place. Discussions resulted in Qwest committing to re-look ways to provide advance notice for the validation exercise. Qwest committed to instituting a new process by March 1, 2002 to provide advance notice to the CLECs for the following rate change catalysts: (1) future rate validation efforts, (2) cost dockets, (3) new/existing interconnect agreements, (4) bill errors/disputes, and (5) new product implementation and product price changes. "Current Status" of CR remains in "Presented" status.

01/03/02 - Formal escalation received from Eschelon.

01/04/02 - Qwest transmitted acknowledgement of receipt to Eschelon. Escalation posted in Qwest Wholesale WEB page [http://www.qwest.com/wholesale/cmp/escalations.html].

01/07/02 - Allegiance, Covad, Integra and Worldcom notified Qwest of participation in formal escalation submitted by Eschelon (01/03/02).

01/08/02 - AT&T notified Qwest of participation in formal escalation submitted by Eschelon (01/03/02).

01/11/02 - Qwest formal escalation response transmitted to Eschelon and associated participating CLECs; and posted in Qwest Wholesale WEB page [http://www.qwest.com/wholesale/cmp/escalations.html].

01/16/02 - CMP Meeting - Susan Burson, Qwest provided update and overview of Qwest response (01/11/02) to the formal escalation submitted by Eschelon.

01/25/02 - Qwest formal escalation revised response transmitted to Eschelon and associated participating CLECs; and posted in Qwest Wholesale WEB page [http://www.qwest.com/wholesale/cmp/escalations.html].

01/31/02 - Eschelon submitted response to Qwest formal escalation revised response [http://www.qwest.com/wholesale/cmp/escalations.html].

02/08/02 - Qwest responsed to Eschelon response (dated 01/31/02) [http://www.qwest.com/wholesale/cmp/escalations.html].

02/12/02 - Eschelon responsed to Qwest response (dated 02/08/02) [http://www.qwest.com/wholesale/cmp/escalations.html].

02/20/02 - CMP Meeting - Susan Burson, Qwest provided update on the formal escalation submitted by Eschelon. Qwest will provide a response to the most recent Eschelon escalation communication (dated 02/12/02). CR remains in "Escalated" status. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

02/21/02 - Qwest responsed to Eschelon response (dated 02/12/02).

02/22/02 - Qwest response to Eschelon posted in Wholesale WEB page [http://www.qwest.com/wholesale/cmp/escalations.html].

03/20/02 - March CMP Meeting: Status update was presented. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/17/02 - April CMP Meeting: Qwest provided a status update. CR status remains "Escalated." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

05/15/02 - May CMP Meeting: CR status remains "Escalated." Qwest deferred discussion to the presentation that occurred later in the meeting

07/08/02 - Per the agreement reached with the CLECs in the June Product and Process CMP meeting regarding escalated status this CR will carry the appropriate status prior to the escalation


Project Meetings


CenturyLink Response

CLEC Rate Notification Process (Submitted by Alan Zimmerman, Qwest & presented in the December 12, 2001 Product & Process Monthly CMP Meeting)

Document Overview

The purpose of this document is to describe the different factors that drive rate changes, as well as outline the process by which Qwest will notify CLECs of these changes. It is important to note that contractual obligations may supersede the guidelines outlined below.

Rate Change Catalysts and Notification Processes

Qwest has identified five main categories of items that drive rate changes – validation efforts, cost docket changes, interconnect agreements and amendments, bill errors/disputes, and new products/product pricing changes. Brief descriptions of these categories and the process by which the CLECs are notified are found below:

? Rate Validation Efforts

Qwest recently carried out a rate validation effort, to verify that bills properly reflect the rates ordered by the State Commission and/or the rates modified as a result of contract negotiations. Following the completion of the Rate Validation efforts, profiles will be available for each CLEC by state, by product which will detail the rates they are currently being charged.

Qwest will develop a process by March 1, 2002 so that if Qwest undertakes comprehensive validation efforts in the future, notification of any corrections will be provided to the CLECs at least 10 days before changes are made to the billing systems. Notification will include the product affected, the currently billed and the new rate, the effective date of the rate change, and the rate implementation date.

? Cost Dockets

Cost dockets are state-mandated rates, determined by the Public Utilities Commission (PUC) for each state. Generally, state governments do not mandate notification timeframes for cost docket rate changes, however, Qwest will be implementing a new process in which CLECs will receive two notifications.

The first notification to the CLEC occurs when an interconnect agreement is updated in Qwest’s interconnect agreement repository. At this point, the CLEC can request a copy of the updated interconnect agreement from their service manager. By March 1, 2002 Qwest will develop a process for a second notification to occur at least 10 days prior to the implementation of the new interconnection agreement rates in the billing system. The notices will contain information regarding the product that is changing, the new rate, the effective date of the change, and in the case of the second notice, the planned implementation date.

? New/Existing Interconnect Agreements

The purpose of a new interconnect agreement is to establish billing for all products included in the agreement. Each product is assigned a negotiated or a state-mandated rate. Amendments are used to either add a new product to an interconnect agreement, or change the rate of an existing product. CLEC Rate Notification Process

The CLEC is notified when an interconnect agreement is received by the contract implementation specialist. A second notification, that identifies CLEC ordering can occur, is initiated by the Service Manager when the agreement is finalized. Note: The PUC will send Qwest & the CLEC notification when they accept or reject an interconnect agreement.

? Bill Errors/Disputes

When a CLEC reports a rate discrepancy, the Billing SDC will fix the bill to reflect the correct In addition the SDC will notify a Contract Implementation Specialist to initiate a system rate change so that the rate can be fixed going forward.

If a Billing SDC notices that a CLEC is being charged the wrong rate they will fix the bill to reflect the correct rate and call the CLEC to notify them of the change to their bill. In addition the SDC will notify a Contract Implementation Specialist to initiate a system rate change so that the rate can be fixed going forward. ? New Product Implementation and Product Price Changes

CLECs will be made aware of the availability of new products through the CMP process. On an individual CLEC basis, interconnect agreements can then be amended to include the new product. Please refer to the New/Existing Interconnect Agreements section above.

Occasionally, Qwest product managers initiate product rate changes (for non-cost docketed products) as a result of a costing analysis. These new rates are loaded into the SGAT and available to new CLECs through the creation of interconnect agreements, and to existing CLECs through the interconnect agreement re-negotiation/amendment process.

? General

If at any time a CLEC has a question about a specific product or rate, Qwest Billing Representatives are available to handle such inquiries. To request a profile of all rates by state, by product, a CLEC should contact their Service Manager.

Wholesale Product Marketing

November 9, 2001

Lynn Powers Vice President, Eschelon Telecom, Inc.

CC: Matthew Rossi

This letter in response to your CLEC Product & Process Change Request Form number PCCR032801-4. ? Request - Qwest should implement a process to provide advance notice to CLECs before changes are made to the CLEC’s profile and rates in Qwest’s systems. The notice should be sufficiently detailed to allow the CLEC to understand the implications of the change and should be provided sufficiently in advance of any change to allow the CLEC to object, if necessary. A process should be put in place to handle objections to changes before the changes are made. ? Response – The profile problems Eschelon was experiencing are based on two different root causes and Qwest is committed to improving the overall process. Listed below are the root causes of the recent problems and our process improvements and recommendations: 1. Qwest performed a scrub of the database and made changes without customer notification or input based on the output of the scrub. Effective 7/18, Qwest implemented a process to notify Co-providers when USOCs available to them are deleted from the ordering systems for normal maintenance purposes. This notification will happen at least 10 days in advance of the actual deletion, and would be provided through the Service Manager or via a direct letter. In the case of a USOC being deleted for all Co-providers, a common letter will be sent to all. In the case of individual Co-provider effects, the Service Manager will provide this notification directly to the affected Co-provider. An exception to this advance notification might be made in the case of system outages or other extreme events, however these should be very rare. As a normal course of business, ten days advanced notification would be provided. 2. Recently Eschelon experienced a problem with placing orders for Coordinated Loop cuts in Colorado. This is where Eschelon turned up their switch for the first time and began attempting to place orders. The root cause of this problem was based on recent agreements between the companies and the uncertainty of which rates needed to be loaded into our systems for this work. As soon as we discovered the system needed a rate in order to process the orders, we immediately escalated internally. Based on your experience, Qwest wants to take an additional look at our internal processes to determine if cross-functional resources and additional processes are required.

? In the August CMP meeting, Eschelon asked how to obtain a current copy of a CLEC’s valid USOCs to be used for verification. This is done on a state by state basis via the Service Manager, who can have a report pulled from the CPS (formerly known as CPPD) system with all USOCs loaded for that CLEC by state. This report would contain all USOCs that the CLEC can order in that state. This would enable a CLEC to proactively identify circumstances that cause problems like those in paragraph number 2 above.

? At the October meeting, Eschelon asked for further clarification on the process of notifications for cost docket and contract/amendment implementations. As discussed in the May and August CMP meetings, there are processes already in place for these situations. In the case of rate case or cost docket implementations that affect multiple CLECs, Qwest sends a letter to each CLEC affected informing the CLECs of the implementation. This notification is generally at least 10 days before the implementation. In the case of individual contracts or amendments that are implemented for a specific CLEC, that CLEC’s service manager will notify the CLEC of the implementation date, and the particular products being implemented. This notification will be done when the implementation date is determined. ? For new product introductions, current practice is that a product announcement is sent to all CLECs advising of the availability date for that product at least 30 days prior to the availability. This is currently being discussed in the CMP Redesign meetings. ? As communicated in a November 1st notification, Qwest is currently undertaking a major validation of rates for all CLECs in all states. To the extent rate discrepancies are discovered, Qwest will make the necessary changes to the rate tables in order to put those rates in sync with the current contracts and cost docket rulings. At the conclusion of that effort, targeted for early December, Qwest will send a USOC report to each affected CLEC so that the CLEC can validate the rates loaded for their USOCs.

I believe this addresses all the issues raised by this CR. If you would like to discuss the response in detail. I can be reached at (303)896-8346 or azimmer@qwest.com. Have a good day!

Alan Zimmerman Qwest Wholesale Process Manager

-- August 3, 2001

Lynn Powers Vice President, Eschelon Telecom, Inc. CC:Matthew Rossi

This letter in response to your CLEC Product & Process Change Request Form number PCCR032801-4. Request: Qwest should implement a process to provide advance notice to CLECs before changes are made to the CLEC’s profile and rates in Qwest’s systems. The notice should be sufficiently detailed to allow the CLEC to understand the implications of the change and should be provided sufficiently in advance of any change to allow the CLEC to object, if necessary. A process should be put in place to handle objections to changes before the changes are made. Response: As discussed at the 5/14 CICMP meeting, processes already exist within Qwest for notifying Co-providers of changes when rate cases or other regulatory activity has occurred. There are also existing processes enabling service managers to advise Co-providers of changes due to contract implementations or changes. There is no process for notifying Co-providers when USOCs are changed as a course of maintenance within Qwest systems.

Effective 7/18, Qwest implemented a process to notify Co-providers when USOCs available to them are deleted from the ordering systems for normal maintenance purposes. This notification will happen at least 10 days in advance of the actual deletion, and would be provided through the Service Manager or via a direct letter. In the case of a USOC being deleted for all Co-providers, a common letter will be sent to all. In the case of individual Co-provider effects, the Service Manager will provide this notification directly to the affected Co-provider. An exception to this advance notification might be made in the case of system outages or other extreme events, however these should be very rare. As a normal course of business, ten days advanced notification would be provided.

If you have any questions or comments about this policy, feel free to contact Alan Zimmerman at (303)896-8346 or azimmer@qwest.com. Have a good day!

Alan Zimmerman Qwest Wholesale Process Manager


Open Product/Process CR PC092801-1 Detail

 
Title: Process to improve cut over and ensure completion of incoming calls to CLEC customer, including step requiring Qwest technician to call from the Donor switch immediately after acceptance of the local loop by the CLEC for cut overs.
CR Number Current Status
Date
Area Impacted Products Impacted

PC092801-1 Denied
12/12/2001
Repair LNP, Unbundled Loop
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Diebel, Diane
Director:
CR PM:

Description Of Change

When a customer moves from Qwest to a CLEC, there are times when Qwest does not remove the customer’s telephone numbers from the Qwest switch at the appropriate time. This causes incoming calls to the CLEC customer to fail. This directly impacts the end-user customer, which can not receive those calls. When a customer leaves Qwest, ports its numbers to a CLEC, and the CLEC builds the numbers in its switch, some incoming calls will not complete to the customer because Qwest has not removed the numbers from the Qwest Donor Switch. Eschelon asks Qwest to change its process to ensure that the cut-over is successful and all calls are properly completed to the CLEC’s end users. Eschelon asks Qwest to add a step to its process at the time of test and turn-up of the CLEC loop acceptance. That step would require Qwest technicians to make a call from the Donor Switch to the customer’s numbers that were ported to ensure that Qwest has removed the numbers from its switch. Eschelon believes this process change would avoid the problem described. If additional steps are also needed to ensure a proper cut-over and completion of the incoming calls, Eschelon asks Qwest to identify those steps and ensure the proper result.


Status History

09/28/01 - CR Received from Kathy Stichter of Eschelon

09/28/01 - Status changed to Submitted

09/28/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

10/11/01 - Held Clarification Meeting

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

10/26/01 - Internal meeting to be held with Ken Olson for more clarification.

11/01/01 - Forwarded draft response, dated 10/26/01, to Eschelon

11/09/01 - Issued revised draft response dated 11/09/01 to Eschelon and posted to dBase.

11/14/01 - CMP Meeting: Eschelon moved this to CLEC Test.

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

12/12/01 - CMP Meeting - there were no other issues with the CR. Eschelon indicated that the CR response was a denial. Status to be revised to Denied.

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


Project Meetings

Alignment/Clarification Meeting October 11th, 2001/11:00 p.m. (MDT) / Thursday, Conference Call 1-877-542-1728 PC7712487 # PCCR092801-1

Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Chris Frederickson, Eschelon Telecom Tina Schiller, Eschelon Telecom Deni Toye, dtoye@qwest.com, Qwest Diane Diebel, dlbail3@qwest.com, Qwest Steve Hilleary, shillea@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

Introduction of Attendees Kathy, Chris, Tina, Deni, Diane, Steve, and Kate Review Requested (Description of) Change Process to improve cut-over and ensure completion of incoming calls to CLEC customer, including step requiring Qwest technician to call from the Donor switch immediately after acceptance of the local loop by the CLEC for cut-overs. Confirm Areas & Products Impacted Areas: Repair Products: Unbundled Loop Confirm Right Personnel Involved Diane is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Deb Heckart is also available for questioning. Deni and Steve are available to answer systems questions regarding Unbundled Loop. They will also compare notes with Joan Wells. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Identify/Confirm CLEC’s Expectation When a customer moves from Qwest to a CLEC, there are times when Qwest does not remove the customer’s telephone numbers from the Qwest switch at the appropriate time. This causes incoming calls to the CLEC customer to fail. This directly impacts the end-user customer, which can not receive those calls. When a customer leaves Qwest, ports its numbers to a CLEC, and the CLEC builds the numbers in its switch, some incoming calls will not complete to the customer because Qwest has not removed the numbers from the Qwest Donor Switch. Eschelon asks Qwest to change its process to ensure that the cut-over is successful and all calls are properly completed to the CLEC’s end users. Eschelon asks Qwest to add a step to its process at the time of test and turn-up of the CLEC loop acceptance. That step would require Qwest technicians to make a call from the Donor Switch to the customer’s numbers that were ported to ensure that Qwest has removed the numbers from its switch. Eschelon believes this process change would avoid the problem described. If additional steps are also needed to ensure a proper cut-over and completion of the incoming calls, Eschelon asks Qwest to identify those steps and ensure the proper result. require special handling. If the orders are not written correctly significant service affecting. Identify any Dependent Systems Change Requests No related system CR’s were identified, however Joan Wells may be working on this subject matter as well. Establish Action Plan (Resolution Time Frame) Diane will speak with Joan Wells to ensure we are not duplicating efforts. Diane will also clarify this process and give a response at the next CMP meeting on October 17th, 2001. At that time she will gather feedback and create a formal response to be reviewed at the November CMP meeting. This document will be forwarded to Kate Spry for processing. Kate will forward all examples from Kathy to team for investigation. After the formal response is created, Kate will review and forward this information to Mike Keegan to store in the CR database. This information can then be reviewed and discussed by the CLEC Community at the December CMP Meeting if needed. Deni and Steve will investigate examples and will bring feedback to meeting on Tuesday, October 16th. Kathy, Chris, and Tina can attend the October 17th, 2001 CMP meeting to review verbal response. Additional clarifications can be made at that time.


CenturyLink Response

November 9th, 2001 FINAL RESPONSE

Kathy Stichter ILEC Relations Manager Eschelon

CC: Deb Heckart Kate Spry Deni Toye Steve Hilleary Fred Aesquivel Joan Wells Russ Urevig Barry Orrel

This letter is in response to your CLEC Change Request Form, number PC092801-1 dated 9-28-01 – CR Title: Improve Cut-Over Process

The situation identified advises that when a customer moves from Qwest to a CLEC on UNE services, there are times when Qwest does not remove the customer’s telephone numbers from the Qwest switch at the appropriate time. This causes incoming calls to the CLEC customer to fail.

Eschelon has asked that Qwest add a step to its process at the time of test and turn-up of the CLEC loop acceptance. The request is to have Qwest technicians make a call from the Donor Switch to the customer’s numbers that were ported to ensure that they were removed from the Qwest switch.

Eschelon provide Qwest research indicates that this LSR request received from Eschelon was for a straight LNP order, not for UNE service.

The LSR requested disconnect of 3 numbers, the porting and disconnect of 651-735-4000 and the change of the BTN. When the Market Unit Service Deliver Coordinator (SDC) wrote the orders, the SDC failed to issue the order with the porting and disconnect of 651-735-4000. Thus the request was not sent to down stream systems to be worked. All work that was on the Qwest issued order was completed according to process by Network. SDC processes have been reviewed to ensure that these types of errors are addressed.

The requested PCCR was directed at UNE type orders. The example provided by Eschelon does not reflect this issue. UNE orders with LNP do have processes in place that ensures orders are ported prior to completing with the CLEC. Qwest processes do have steps in place to ensure that the line translations are completed in the Switch prior to advising the CLEC that the work has been completed.

Therefore, Qwest does not feel that a change to the current process is necessary at this time based on the results of the research. If the order was issued correctly, all work would have been completed accurately. Implementation of the proposed change would not have ensured this line was ported.

If Eschelon has examples of UNE services with LNP that illustrate problems related to the specific change request, please provide them and Qwest will review.

Straight (i.e., non-UNE related) LNP disconnect issues are being addressed in PCCR 5582099.

Sincerely,

Diane Diebel Director Process Management


Open Product/Process CR PC100101-1 Detail

 
Title: Use NPI (Number Port Indicator) field on LSR for requests for orders requiring Port In and Port Within information. (reference Systems CR # SCR083001 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC100101-1 Completed
11/14/2001
Pre-Ordering, Ordering Centrex, Resale, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

Currently the CLEC populates the NPI field with data that identifies Port In and Port Within information. The NPI field is not a recognized field for Qwest LSOG5. Qwest’s system routes the orders based on the REQTYP. Within the REQTYP requests can contain Port In and Port Within service. For requests that require Port In and Port Within, Qwest uses the remarks section of the LSR and the CLEC must also populate the Manual IND field with a Y. This process puts the onus on the CLEC and not Qwest to ensure Qwest routes the order to the correct center. These requests require special handling. If the orders are not written correctly significant service affecting problems, up to and including customers out of service for several days, arise on the due date. Eschelon asks that Qwest start using the NPI field to recognize that a request is for number porting.


Status History

09/30/01 – CR received by Kathy Stichter of Eschelon

10/01/01 – CR status changed to Submitted

10/01/01 – Updated CR sent to Kathy Stichter of Eschelon and Steve Sheahan of Qwest

10/10/01 - Held Clarification Conference Call with Eschelon

10/17/01 - CMP Meeting: Clarification conducted with CLEC community. "Current Status" changed to evaluation. A Qwest internal request is in process to utilize NPI field.

11/01/01 - Issued draft response dated 10/29/01 to Eschelon.

11/08/01 - Issued revised draft response dated 11/6/01.

11/14/01 - CMP Meeting: Eschelon completed and closed this CR and will open a Systems CR instead.

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


Project Meetings

Alignment/Clarification Meeting

11:00 p.m. (MDT) / Wednesday, October 10th, 2001 Conference Call 1-877-542-1728 PC7712487 # PCCR100101-1

Attendees: Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Bonnie Johnson, bjohnson@eschelon.com, Eschelon Telecom Connie Overly, coverly@qwest.com, Qwest Joan Wells, jmwell2@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

Introduction of Attendees Kathy, Connie, Russ, Joan, and Kate Review Requested (Description of) Change Use NPI (Number Port Indicator) field on LSR for requests for orders requiring Port In and Port Within. Confirm Areas & Products Impacted Areas: Pre-Ordering and Ordering Products: Centrex, Resale, and UNE-P Confirm Right Personnel Involved Joan is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Connie is available for back-up questions. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Identify/Confirm CLEC’s Expectation Currently the CLEC populates the NPI field with data that identifies Port In and Port Within information. The NPI field is not a recognized field for Qwest LSOG5. Qwest’s system routes the orders based on the REQTYP. Within the REQTYP requests can contain Port In and Port Within service. For requests that require Port In and Port Within, Qwest uses the remarks section of the LSR and the CLEC must also populate the Manual IND field with a Y. This process puts the onus on the CLEC and not Qwest to ensure Qwest routes the order to the correct center. These requests require special handling. If the orders are not written correctly significant service affecting problems, up to and including customers out of service for several days, arise on the due date. Eschelon asks that Qwest start using the NPI field to recognize that a request is for number porting. Joan is very comfortable with what they are asking and can give a thorough response. Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Joan will clarify this process and give a response at the next CMP meeting on October 17th, 2001. At that time she will gather feedback and create a formal response to be reviewed at the November CMP meeting. This document will be forwarded to Kate Spry for processing. After the formal response is created, Kate will review and forward this information to Mike Keegan to store in the CR database. This information can then be reviewed and discussed by the CLEC Community at the December CMP Meeting if needed. Kathy and Bonnie can attend the October 17th, 2001 CMP meeting to review verbal response. Additional clarifications can be made at that time.


CenturyLink Response

Final Response Wholesale Product Marketing

November 6, 2001

Ms. Kathleen Stichter Eschelon Telecom

This letter is in response to Change Request Form, PC100101-1 – Use NPI (Number Port Indicator) field on LSR for requests for orders requiring Port In and Port Within.

Description of Change: “Currently the CLEC populates the NPI field with data that identifies Port In and Port Within information. The NPI field is not a recognized field for Qwest LSOG5. Qwest’s system routes the orders based on the REQTYP. Within the REQTYP requests can contain Port In and Port Within service. For requests that require Port In and Port Within, Qwest uses the remarks section of the LSR and the CLEC must also populate the Manual IND field with a Y. This process puts the onus on the CLEC and not Qwest to ensure Qwest routes the order to the correct center. These requests require special handling. If the orders are not written correctly significant service affecting problems, up to and including customers out of service for several days, arise on the due date. Eschelon asks that Qwest start using the NPI field to recognize that a request is for number porting.”

Definitions of Port Activity associated with this request include: ? Port In activity includes all service requests in which the end user is currently being served by another Network Service Provider and the end user does not currently reside in a Qwest switch. Qwest has received a Local Service Request to Port the end user into the Qwest switch. Current Wholesale activity includes Port In to Qwest Resell Services. ? Port Within (Location Portability) is the ability of end users to retain the same telephone number when moving from one service location, to another area that is served by different central offices within the same Rate Center and in some locations, within NPA and municipal boundaries. The end user is currently being served by Qwest as the network Service Provider and resides in a Qwest switch.

On the OBF LSOG 5 Resale form there is a field called the NPI field. (ref 11) Actually, this is a Qwest recognized field, but currently there are no edits in place involving this field. Current accepted entries for the NPI field that will be utilized are: C=Port In Working TN D=Port In Reserved TN Z=Port Within When this field is populated, then the Manual IND field should be set to “Y” and the remark should be populated with a positive entry. Qwest has issued a system change request to begin utilizing this field for proper routing of Port in and Port Within orders to the correct Interconnect Center work queues. Scheduled implementation will be in a future IMA release. It is believed that with implementation of this change, orders will be automatically routed to the correct Interconnect Center for processing. This should help to expedite the Port In/Port Within order received process and ensure that the correct Center doing the provisioning will have access to the order sooner. Qwest has also issued 2 internal communicators as a reminder of the current process for handling Port In and Port Within service requests. The first dated 09-04-01 is titled “Processing LSR requests when the manual Handling filed has an entry of “Y”, along with an entry in the Remark field”. The second, dated 10-26-01, titled “Correct processing of LSR Requests when manual handling “Y”, has been entered, along with a Remark entry requesting a Port In or Port Within”. Once verification of the completion time is known, notification will be sent via the CMP Process or CLEC notification. Qwest would like to close this CR and work issues related to future implementation through SCR083001-1, which relates directly to the system implementation of the NPI field.

Sincerely, Joan Wells LNP Process Manager


Open Product/Process CR PC100101-2 Detail

 
Title: Process for Feature Verification on CSRs not available through IMA or CEMR.
CR Number Current Status
Date
Area Impacted Products Impacted

PC100101-2 Completed
2/20/2002
Ordering, Repair Centrex, Resale, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: McMahon, Cheryl
Director:
CR PM:

Description Of Change

Eschelon asks Qwest to implement a process for CLECs concerning how they would get feature verification on CSRs (Customer Service Record) when IMA or CEMR does not give information. Currently Qwest has a process for Large CSRs but not all failures are for large CSRs.


Status History

09/30/01 - CR received by Kathy Stichter of Eschelon

10/01/01 - CR status changed to Submitted

10/01/01 - Updated CR sent to Kathy Stichter of Eschelon and Steve Sheahan of Qwest

10/03/01 - CR Clarification meeting scheduled to be held with Kathy Stichter of Eschelon on 10/08/01 via 09:30 AM MST conference call

10/08/01 - Clarification Meeting Held with Eschelon.

10/17/01 - CMP Meeting: CLEC community & Qwest conducted clarification discussion. Process for large CSR's is working; however, process (in place) for small CSR's may not be effective. Qwest requested information regarding number of occurrences (#/week) for both IMA and CEMR requests from CLEC community in order to modify current small CSR's process, as necessary. "Current Status" changed to Evaluation.

10/23/01 - Response from Eschelon: To:kthomte@qwest.com , Subject: Feature Verification Failures PC 100101-2 Kit, Our repair department says that they experience about 10 failures in CEMR each week when trying to retrieve feature verification information. Some folks do not use the feature verification anymore because they were always

getting a failure. For the ones that still try they experience about 10 failures in CEMR each week. Our repair department does not use IMA for feature verification. Please pass this information on to the correct people. Thanks, Kathy Stichter, ILEC Relations Manager, Eschelon Telecom Inc, Voice 612 436-6022, Email: klstichter@eschelon.com

11/09/01 - Draft response provided to Eschelon.

11/14/01 - CMP Meeting the Process Change response was reviewed by Qwest (IMA ,CEMR) three action items need to be addressed by Qwest prior to the next CMP session 1 Eschelon would like to see some data regarding how many error messages occur when performing Feature Verification and have them sorted by type 2 Revise the response to include interval associated with smaller requests 3 Find out the Qwest retail interval for Feature Verification.

12/05/01 - Issued revised draft response dated 12/5/01 to Eschelon.

12/12/01 - CMP Meeting - Qwest presented its revised response. It was agreed that the CR could be put into CLEC Test.

12/28/01 - Qwest's formal Response dated 12/5/01 to CLECs.

01/16/02 - CMP Meeting - Qwest advised that the User Guides were updated to include Qwest's response. Eschelon is to review the User Guides and Qwest is to follow-up with Eschelon to close.

01/29/02 - Telecon with Eschelon, Kathy Stichter - Eschelon didn't have any issues with the CR. We agreed that the CR would be left in CLEC Test until the February CMP Meeting for a final review with all CLECs before agreeing to close.

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

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


Project Meetings

October 08,2001 9:30 MDT Alignment/Clarification Meeting 1770 - C 1-866 682-6249 Pass Code 7026857 PCCR 100101-2 Process for feature verification on CSRs not available through IMA or CEMR

Introduction of Attendees Kathy Stichter Eschelon Monica Manning Qwest Cheryl McMahon Qwest Kit Thomte Qwest

Kit identified the participants on the call as shown above. Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Reviewed the information contained on the CR and shared information that Kathy Stichter provided. The CR description asks Qwest to implement a process for CLECs concerning how they would get Feature Verification on CSRs (Customer Service Record) when IMA or CEMR does not give information. Currently Qwest has a process for Large CSRs but not all failures are for large CSRs.

Confirm Areas & Products Impacted {read from change request, modify if needed} Centrex, Resale and UNE P are the impacted products.

Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Monica Manning from Wholesale will address IMA Cheryl McMahon from Repair will address CEMR Dan Busetti did not participate but the CR did not appear to have system ramifications

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)} Eschelon would like a documented process explaining what they need to do when the information is not available. Monica indicated there are very specific messages for example 161error message BOSS CARS records were not available. In this instance the CLEC should contact the call center. In the case of connectivity issues they would call the help desk??? Kathy inquired if the process being discussed matched the process used for large CSRs Monica indicated that a communication should have been sent to the CLECs explaining the process. Monica would locate the communication associated with IMA. Cheryl McMahon will check out the CEMR process.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} Monica indicated that Mark Routh is having a call 10-9 regarding feature verification. Monica will let us know if they are related.

Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when}


CenturyLink Response

December 5, 2001

Kathleen Stichter ILEC Relations Manager Eschelon Telecom, Inc

This letter is being sent in response to CLEC Change Request Form # PC100101-2. PC100101-2 pertains to a request for a Feature Verification process for CSRs not available through IMA or CEMR. This response addresses the IMA and CEMR processes for Feature Verification on Small CSRs, when the CSR is not available. It also addresses the interval for Feature Verification for retail customers

IMA Process:

? If a CLEC attempts Feature Verification for a Small CSR (50 pages or less) in IMA and the CSR is unavailable, they may receive one of the following error messages: “Received Error From FNSGateway ResDup Account List: E105”, “Received Error From FNSGateway ResDup Account List: E106”, “Cannot Connect to April”. When one of these error messages is received, CLECs may submit their requests for Feature Verification via a new process for Small CSR Feature Verification. Unless significant issues are raised by the CLECs which are being resolved by the parties, the new process will take effect on December 17, 2001.

? When an IMA request for Small CSR Feature Verification is unsuccessful because the CSR is unavailable, CLECs will submit their requests to a designated e-mail address or fax number in the Interconnect Service Center. The request should be submitted to the Interconnect Service Center that normally processes the CLEC’s LSRs. The telephone number and state of the CSR being verified must be included in the request.

? The appropriate e-mail addresses and fax numbers for Small CSR Feature Verification follow: Denver Center – e-mail: kwalden@qwest.com; fax number (303) 383-7197, Minneapolis Center – e-mail: lahend1@qwest.com, rdrier@qwest.com, gfinnem@qwest.com or cranta@qwest.com; fax number (612) 663-0502.

? The commitment interval for completing and responding to Feature Verification requests for Small CSRs will be determined either by the number of pages in the CSR or individual negotiation. The standard interval for a CSR with 50 pages or less is 1-3 business days. During peak periods, it may be necessary to individually negotiate the commitment interval for a Feature Verification request.

? When the Feature Verification process is complete, the center Service Delivery Consultant will send an e-mail or fax response (determined by how the request was sent) to the CLEC. The Feature Verification response will include the verification process findings and a description of any corrective action taken.

Questions regarding IMA Feature Verification should be directed to the Interconnect Service Center at 1 888 796-9087.

CEMR Process:

? Feature Verification failures not related to service orders or occurring past the 72-hour order completion timeframe should be referred to the Repair Center via e-mail. The Repair Center e-mail address for Feature Verification requests is cemrfv@qwest.com. The Feature Verification request e-mail should include the telephone number and feature to be verified and the CEMR error message received.

? Requests for 3 or less Feature Verifications received Monday through Saturday from 6:00 a.m. until 6:00 p.m. will receive a response within 4 hours.

? Requests of 4 or more Feature Verifications will receive a response within 24-72 hours of the request.

? Requests received after 6:00 p.m. and before 6:00 a.m. Monday through Friday will be processed the following day using the guidelines based on the size of the request.

? Requests received after 6:00 p.m. Saturday and all day Sunday will be processed the following Monday and will follow the guidelines based on the size of the request.

To further assist the CLECs, the CEMR User Guide will be updated during December to include Feature Verification error messages (e.g., unable to retrieve switch data) and next step instructions to follow when an error is received in CEMR for Feature Verification.

Additionally Qwest was asked to provide the Qwest retail interval for Feature Verification. Automated feature verification is not available to retail customers. A retail customer notifies the repair center to initiate a repair ticket for feature troubles.

Sincerely, Monica Manning IMA Process Specialist

Cheryl McMahon Senior Process Analyst


Open Product/Process CR PC100101-3 Detail

 
Title: Qwest to issue orders for Port In and Port Within Correctly. (reference Systems CR # SCR083001 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC100101-3 Completed
11/14/2001
Pre-Ordering, Ordering Centrex, LNP, Resale, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM: Thomte, Kit

Description Of Change

When orders including Port In and Port Within are issued incorrectly they cause significant service affecting problems, up to and including customers out of service for several days. Eschelon asks Qwest to establish and provide a documented, trained and adhered to process to ensure orders are issued correctly for Port In and Port Within situations.


Status History

09/30/01 - CR received by Kathy Stichter of Eschelon

10/01/01 - CR status changed to Submitted

10/01/01 - Updated CR sent to Kathy Stichter of Eschelon and Steve Sheahan of Qwest

10/03/01 - CR Clarification meeting scheduled to be held with Kathy Stichter of Eschelon on 10/10/01 via 03:15 PM MST conference call

10/10/01 - Clarification meeting conducted with Eschelon.

10/17/01 - CMP Meeting: CLEC community & Qwest conducted clarification discussion. Qwest to provide response for next CMP Meeting (November 14, 2001). "Current Status" changed to Evaluation.

10/29/01 - Sent Draft Response to Kathy Stichter at Eschelon.

11/08/01 - Sent Updated Draft Response to Kathy Stichter at Eschelon.

11/14/01 - CMP Meeting the response to this Process Change was accepted and the request was closed. Systems CR 083001-1 was issued to implement the change.

11/26/01 - Final response sent based on outcome of CMP meeting


Project Meetings

October 10, 2001 3:15 MDT Alignment/Clarification Meeting 1770-C 877 847-0338 7022846 PCCR100101-3

Introduction of Attendees Kathy Stichter Eschelon Joan Wells Qwest Kit Thomte Qwest

Introduced attendees as mentioned above Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Kathy provided a history of why this CR had been submitted. Jeff Thompson recommended that this be submitted as a process CR because it is an order writing issue.

Confirm Areas & Products Impacted {read from change request, modify if needed}

Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Joan Wells is the person that deals with this subject.

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)}

Kathy indicated that the problem really comes from the orders being routed to the wrong center. As a result they end up being worked incorrectly. Joan indicated that MCC’s have been sent out regarding the process associated with how these requests should be routed. Long term the use of NPI should resolve the routing issues. Bonnie inquired if Joan could include in her request, that if manual handling is not indicated on the order could the NPI field be used to route the order rather than the manual handling.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} Another CR exists that is addressing the NPI field. Kit will get w Kate Spry to coordinate between these two CRs. Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when}


CenturyLink Response

Wholesale Product Marketing November 7, 2001

Ms. Kathleen Stichter Eschelon Telecom

This letter is in response to Change Request Form, PCCR100101-3 - Qwest to issue orders for Port In and Port Within Correctly, dated 09/30/2001. Description of Change: When orders including Port In and Port Within are issued, they cause significant service affecting problems, up to and including customers out of service for several days. Eschelon asks Qwest to establish and provide a documented, trained and adhered to process to ensure orders are issued correctly for Port In and Port Within situations.

Definitions of Activity: * Port In activity includes all service requests in which the end user is currently being served by another Network Service Provider and the end user does not currently reside in a Qwest switch. Qwest has received a Local Service Request to Port the end user into the Qwest switch. Current Wholesale activity includes Port In to Qwest Resell Services. * Port Within (Location Portability) is the ability of end users to retain the same telephone number when moving from one service location, to another area that is served by different central offices within the same Rate Center and in some locations, within NPA and municipal boundaries. The end user is currently being served by Qwest as the network Service Provider and resides in a Qwest switch.

Items of concern: 1) End User customers out of service for several days. * Port In service order requests are handled the same way as regular Resale New Connects. Dial tone is verified up to the Network Interface prior to completion. However, successful completion of the port often depends upon the disconnect of the switch translation’s that are currently being provided by the old Network Service Provider. Qwest currently processes the incoming request with a default frame due time of 12pm unless otherwise indicated by the Reseller. This helps to ensure that Qwest programming is completed prior to the disconnect of the old Network Service Provider, which Qwest requests to take place at 5pm. If translation’s are not removed from the old Network Service Provider’s switch, intra-office calls may be affected. Qwest has no way to determine if the old Network Service Provider as completed their piece of this process. * Port Within orders are handled the same way as regular Resale T&F orders. Dial tone is verified up to the Network interface, with a disconnect occurring at the old location in conjunction with installation at the new location. Inside wiring is generally the responsibility of the Resale Provider. * Qwest has an escalation process currently in place. The Clec/Reseller may contact the Interconnect Call Center at 800 796-9087 for support and open up an escalation ticket up to 48 hours after the port due date should a problem occur. * If requested, Qwest will do a root cause analysis on problem as they occur for continued process improvement.

2) Eschelon asks Qwest to establish and provide a documented, trained and adhered to process to ensure orders are issued correctly for Port In and Port Within situations. Qwest confirms that the Port In and Port Within processes are documented internally for those Qwest employees that process service order requests associated with this type of activity. This process is however, a manual process in which service orders requests must be screened and routed to the correct Interconnect Center. Qwest has also issued 2 internal communicators as a reminder of the current process for handling Port In and Port Within service requests. The first dated 09-04-01 is titled "Processing LSR requests when the manual Handling filed has an entry of "Y", along with an entry in the Remark field". The second, dated 10-26-01, titled "Correct processing of LSR Requests when manual handling "Y", has been entered, along with a Remark entry requesting a Port In or Port Within".

The Centers are continuing to do Root Cause analysis on problem orders (via the Quality Team), with direct feedback to the Center employees involved as needed. Qwest has also issued a request to have a system update done. Qwest will, with the correct use of the NPI field that currently appears on the Resale form, automatically route Port In and Port Within service order requests to the correct Interconnect Center for proper provisioning. This request was a result of PCCR100101-1.

After CLEC review, Qwest would like to request that this CR be closed, with further follow-up to take place in conjunction with PCCR100101-1.

Sincerely, Joan Wells LNP Process Manager


Open Product/Process CR PC100101-4 Detail

 
Title: Developed, documented, trained and adhered to process to make sure that customer’s old VM boxes are removed when a customer leaves Qwest for a CLEC.
CR Number Current Status
Date
Area Impacted Products Impacted

PC100101-4 Completed
3/20/2002
Repair Centrex, Resale, Unbundled Loop, UNE-P
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Van Dusen, Janean
Director:
CR PM:

Description Of Change

When a customer leaves Qwest to order service with a CLEC and the customer had Qwest VM, Qwest does not consistently remove the customer’s old VM box. This causes the end user to experience trouble. Incoming calls to the end user could be routed to the old VM box that the end user no longer recognizes. When incoming callers leave messages in an old VM box the end user never gets the messages because they do not know to check the old box. Then the messages that are left and not deleted cause, what the end user identifies as, a constant stutter dial tone. The end user calls Eschelon believing the problem is with the Eschelon provided VM. Qwest is often unable to find the old VM box to tear it down because the Qwest CSR no longer exists. It sometimes takes weeks to get an old Qwest VM box removed, inconveniencing the end user. Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process to make sure customers’ old VM boxes are removed when a customer leaves Qwest for a CLEC.


Status History

09/30/01 - CR received by Kathy Stichter of Eschelon

10/01/01 - CR status changed to Submitted

10/01/01 - Updated CR sent to Kathy Stichter of Eschelon and Steve Sheahan of Qwest

10/10/01 - Clarification Meeting Scheduled for October 15, 2001 with Eschelon

10/15/01 - Held Clarification Meeting with Eschelon

10/15/01 - MCC Issued titled "VOICE MESSAGING-BUS/RES (BVMS/VMS)", asking to check for associated Call Forwarding features when removing Qwest Voice Messaging on a conversion to Resale

10/16/01 - Qwest Draft response posted to database.

10/17/01 - CMP Meeting - Clarification Conducted with CLEC Community, "Current Status" changed to Evaluation.

10/31/01 - Issued draft response dated 10/31/01 to Eschelon.

11/14/01 - CMP Meeting - Qwest presented its response. Eschelon stated that when call forward numbers are changed correctly, the Qwest voice-mailbox does not come down and interferes with call forwarding. Qwest advised that the response does not address this issue. It was recommended that another clarification meeting be held with Eschelon.

11/19/01 - Eschelon representative on vacation from 11/19-11/23 unavailable for clarification call

12/03/01 - Second clarification call held (earliest available time slot)

12/12/01 - CMP Meeting: Janean Van Dusen (Qwest) gave a status update. Revised response will be presented in January. Status remains in Presented.

12/14/01 - Qwest asked Eschelon for some recent examples of when the voice mailbox had not been removed correctly

12/17/01 - Reply e-mail from Eschelon, they will obtain examples

12/19/01 - An internal systems change request was created to ensure associated features are removed when a voice mail box is removed. Target implementation is early April 2002.

01/03/02 - E-mail from Qwest asking for examples

01/08/02 - Called Eschelon and discussed the need for an example(s) with Kathy.

01/10/02 - Action Item # 1 opened in response to E-mail from Eschelon asking for process example

01/16/02 - January CMP meeting. Qwest explained the process and system fixes they are implementing to help correct this problem. However, to get to the root cause Qwest needs examples from the CLECs. CLECs agreed to provide examples when this issue occurs again. CR status changed to "Development"

02/07/02 - Action Item # 1 (response to E-mail from Eschelon asking for process example) moved to pending closure

02/20/02 - February CMP meeting: Action item # 1 presented and closed. CLECs had no new examples to examine. General agreement obtained from CLECs to move this CR to CLEC Test and reevaluate at the March CMP meeting. CR Status changed to "CLEC Test" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

03/01/02 - Formal response dated 02/22/02 issued to CLECs. Notification number: CMPR.03.01.02.F.01233.CR_Responses

03/04/02 - Formal response dated 02/22/02 posted to the CMP database

03/04/02 - Formal response dated 02/22/02 posted to web in the Product & Process Interactive report URL: http://qwest.com/wholesale/cmp/changerequest.html

03/20/02 - CMP Meeting - It was agreed that the CR could be closed, CR status changed to Completed. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CR Open/Closed status changed to closed and inactive and checked for Archive 2002


Project Meetings

01/10/02 E-mail from Eschelon asking for process example Subject: FW: FW: PC100101-4 Examples Date: Thu, 10 Jan 2002 11:06:02 -0600 From: "Stichter, Kathleen L." To: tmead@qwest.com Todd, We do not have any current examples to supply Qwest. What did Qwest do that they think the issue is fixed? At the clarification meeting I asked to see the process Qwest uses. I have not seen that yet. Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

01/03/02 E-mail from Qwest asking for examples Subject: Re: FW: PC100101-4 Examples Date: Thu, 03 Jan 2002 10:28:55 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: "Stichter, Kathleen L." Kathy, Have you had any luck tracking down any examples? Todd

12/17/01 Reply e-mail from Eschelon Subject: FW: PC100101-4 Examples Date: Mon, 17 Dec 2001 08:01:15 -0600 From: "Stichter, Kathleen L." To: tmead@qwest.com Todd, I will see what we can get. Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

12/14/01 E-mail from Qwest, requesting examples from Eschelon Sent: Friday, December 14, 2001 5:29 PM To: Kathleen Stichter Subject: PC100101-4 Examples Kathy, We are having some difficulty identifying the process gaps that are causing the problem identified in your CR. It would be extremely helpful to get some examples from Eschelon. Either a previous example of this problem or ideally, one that you are currently attempting to get resolved. Any help would be appreciated. Thanks Todd

3:00 p.m. (MDT) / Monday 3rd December 2001 Clarification Meeting Kathy Stichter / Eschelon Chris Frederiksen / Eschelon Mallory Paxton / Qwest Janean Van Dusen / Qwest Todd Mead / Qwest Review Requested (Description of) Change Area Impacted - Repair Products - Centrex, Resale, Unbundled Loop, UNE-P Confirm Right Personnel Involved - Potential network involvement required, Janean will coordinate Identify/Confirm CLEC’s Expectation - Eschelon would like to see the process (either new or existing), that outlines exactly how old Voice Mail boxes are removed when a customer leaves Qwest for a CLEC. The process should include the Qwest contact information in the event of a VM box not being removed. Action Plan - After internal research, Qwest will supply a status at the December CMP meeting giving a timeframe for a revised response.

1:00 p.m. (MDT) / Monday, Oct 15th, 2001 Alignment/Clarification Meeting Conference Call 1-877-847-0338 PC7826706 # PCCR100101-4 Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Mallory Paxton, mpaxton@qwest.com, Qwest Janean Van Dusen, jvandus@qwest.com, Qwest Michael Belt, mbelt@qwest.com, Qwest Introduction of Attendees Kathy, Janean, Mallory, Michael Review Requested (Description of) Change Developed, documented, trained and adhered to process to make sure that customer’s old VM boxes are removed when a customer leaves Qwest for a CLEC. Confirm Areas & Products Impacted Area: Repair Products: Resale - Janean Van Dusen Confirm Right Personnel Involved Products: Resale - Janean Van Dusen Identify/Confirm CLEC’s Expectation The customer's CR requested a process to make sure customers VM boxes are removed on conversion of an end user from retail to resale. Identify any Dependent Systems Change Requests N/A Establish Action Plan (Resolution Time Frame) Janean VanDusen to provide response by 10/17/01


CenturyLink Response

February 22, 2002

Kathleen Stichter ILEC Relations Manager Eschelon Telecom

SUBJECT: Qwest’s Change Request Response - CR # PC100101-4 Developed, documented, trained and adhered to process to make sure that customer’s old VM boxes are removed when a customer leaves Qwest for a CLEC.

REQUEST: When a customer leaves Qwest to order service with a CLEC and the customer had Qwest VM, Qwest does not consistently remove the customer’s old VM box. This causes the end user to experience trouble. Incoming calls to the end user could be routed to the old VM box that the end user no longer recognizes. When incoming callers leave messages in an old VM box the end user never gets the messages because they do not know to check the old box. Then the messages that are left and not deleted cause, what the end user identifies as, a constant stutter dial tone. The end user calls Eschelon believing the problem is with the Eschelon provided VM. Qwest is often unable to find the old VM box to tear it down because the Qwest CSR no longer exists. It sometimes takes weeks to get an old Qwest VM box removed, inconveniencing the end user. Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process to make sure customers’ old VM boxes are removed when a customer leaves Qwest for a CLEC.

RESPONSE: Since mid-December 2001, Qwest have been asking CLECs for recent examples of Qwest not removing the customer’s old Voicemail box. However, CLECs have yet to experience any reoccurrence of this problem. Qwest communicated the process for adding, changing or disconnecting voice mailboxes to the CLEC community on January 29, 2002. Qwest believes that with the distribution of this documented process and on-going monitoring, this CR can be closed.

Sincerely,

Janean Van Dusen Product Manager Qwest

Cc: Bill Campbell, Director Product Management, Qwest Mallory Paxton, Senior Process Analyst, Qwest


Open Product/Process CR PC092801-2 Detail

 
Title: Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process for vendor meets.
CR Number Current Status
Date
Area Impacted Products Impacted

PC092801-2 Denied
1/16/2002
Repair Centrex, Resale, UNE-P, Unbundled Loop
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Aesquivel III, Frederick
Director:
CR PM:

Description Of Change

Eschelon would like Qwest to document a process for vendor meets. There are times when Eschelon calls Qwest repair to report trouble and Qwest says that no trouble was found or that the trouble was past the DMARC and Eschelon does not agree because Eschelon has determined that the trouble is with Qwest. Qwest will close the ticket. Eschelon will then try to reopen a ticket with Qwest and Qwest insists on a vendor meet since they say they found no trouble. Qwest would set up a vendor meet with Eschelon for a specific day and time. Now Qwest is saying that they will not set a specific time that they need a 4-hour window. Eschelon can not have a technician sitting around for 4 hours waiting for a Qwest technician to show up at a customer premise. Eschelon asks Qwest for its definition of a Vendor Meet. Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process for vendor meets with appropriate associated time frames. This process should state the steps that should take place, from beginning to end, on a vendor meet. It should specify under what conditions a vendor meet is required. It should state a window of 30 minutes or less for the time to meet on a specific date. It should state that a ticket is not closed until the CLEC authorizes the ticket to be closed. It should state that if the Qwest technician is going to be late that the technician is required to call the CLEC so they can advise their technician and their customer.


Status History

09/28/01 - CR received from Kathy Stichter of Eschelon

09/28/01 - CR status changed to Submitted

09/28/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

10/11/01 - Held Clarification Meeting

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

10/30/01 - Received Draft Response from Fred Aesquivel III.

11/01/01 - Forwarded draft response, dated 10/30/01, to Kathy Stichter

11/14/01 - CMP Meeting: Eschelon moved this to CLEC Test. Qwest requested that Eschelon provide examples of any push-back they are receiving regarding vendor meets.

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

12/12/01 - CMP Meeting - Eschelon requested that the CR be left in CLEC Test. Eschelon to provide any input to Fred Aesquivel and Ric Martin, qwest.

01/16/02 - CMP Meeting - Eschelon had no examples to provide. They requested that the CR be placed into Denied status because Qwest's response didn't provide what was requested by the CR for POTS.

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


Project Meetings

10:30 p.m. (MDT) / Thursday, October 11th, 2001 Alignment/Clarification Meeting Conference Call 1-877-542-1728 PC7712487 # PCCR092801-2

Attendees: Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Deni Toye, dtoye@qwest.com, Qwest Fred Aesquivell III, faesqui@qwest.com, Qwest Don Tolman, dtolman@qwest.com, Qwest Carolyn Mills, camills@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

Introduction of Attendees Kathy, Deni, Fred, Don, and Kate Review Requested (Description of) Change Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process for vendor meets. Confirm Areas & Products Impacted Areas: Repair Products: Resale, Centrex, UNE-P, and Unbundled Loop Confirm Right Personnel Involved Fred is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Deni and Don are available to answer process questions. Carolyn is filling in for questioning for Yvonne Philpot. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Identify/Confirm CLEC’s Expectation Eschelon would like Qwest to document a process for vendor meets. There are times when Eschelon calls Qwest repair to report trouble and Qwest says that no trouble was found or that the trouble was past the DMARC and Eschelon does not agree because Eschelon has determined that the trouble is with Qwest. Qwest will close the ticket. Eschelon will then try to reopen a ticket with Qwest and Qwest insists on a vendor meet since they say they found no trouble. Qwest would set up a vendor meet with Eschelon for a specific day and time. Now Qwest is saying that they will not set a specific time that they need a 4-hour window. Eschelon can not have a technician sitting around for 4 hours waiting for a Qwest technician to show up at a customer premise. Eschelon asks Qwest for its definition of a Vendor Meet. Eschelon asks Qwest to establish and provide a documented, trained and adhered to effective process for vendor meets with appropriate associated time frames. This process should state the steps that should take place, from beginning to end, on a vendor meet. It should specify under what conditions a vendor meet is required. It should state a window of 30 minutes or less for the time to meet on a specific date. It should state that a ticket is not closed until the CLEC authorizes the ticket to be closed. It should state that if the Qwest technician is going to be late that the technician is required to call the CLEC so they can advise their technician and their customer. Fred, Don, and Deni all agreed that the rep telling there was a 4 hour window was a mistake and that she just didn’t understand the process. Kathy said this was only a one time occurrence and the woman she spoke with was Linda Rogers out of the Utah Call Center regarding #(801) 546-7493. We currently have an internal process in place which explains the process for vendor meets which Fred will run by legal and verify that we can pass this on to the CLECs. This process was created on 8/31/00. Identify any Dependent Systems Change Requests No related system CR’s were identified. Establish Action Plan (Resolution Time Frame) Fred will clarify this process and will check with legal to verify that he can provide our internal documentation to the CLEC’s which explains the vendor meets process. Fred will give a response at the next CMP meeting on October 17th, 2001. At that time he will gather feedback and create a formal response to be reviewed at the November CMP meeting. This document will be forwarded to Kate Spry for processing. Fred will find out why this information is not posted to the web for the CLEC’s information and will also find out why the supervisor was not aware of this process which has been in place since 8/31/00. After the formal response is created, Kate will review and forward this information to Mike Keegan to store in the CR database. This information can then be reviewed and discussed by the CLEC Community at the December CMP Meeting if needed. Don will also make sure that this information is provided to the different centers for future reference. Kathy can attend the October 17th, 2001 CMP meeting to review verbal response. Additional clarifications can be made at that time.


CenturyLink Response

October 30, 2001 Final Response

Kathy Stichter ILEC Relations Manager Eschelon

CC: Terry Meehan Kate Spry

This letter is in response to the following CLEC Change Request Form PC092801-2 dated September 28, 2001. The Change Request is asking for clarification on definition and requesting several process changes from Qwest as outlined below:

* Eschelon is requesting Qwest’s definition of a vendor meet. Qwest’s joint meet definition includes: Qwest responds to CLECs requesting a joint meet to troubleshoot activities at an assigned location. Qwest, CLECs, and possibly third party vendors, meet to isolate hard-to-find faults, verify existing trouble and diagnosis, conduct joint studies on switch circuits and resolve chronic and repeat problems. All designated parties, including Qwest and the CLEC, will meet at a prearranged trouble location to test a particular circuit. Dispatch Out (WFA/DO) joint meets are classified as meets that take place outside the central office. Dispatch "In" (WFA/DI) joint meets take place inside the central office. These meetings are short and informal and result in a corrected fault.

Complex Service customers are requesting joint meet commitments on Service Assurance tickets (trouble reports). The customer is expecting a field technician to be on premise during a specified timeframe.

Note that the above response is from a Qwest process bulletin for Designed Services.

* Eschelon is requesting that Qwest implement a (documented, trained, and adhered to) process for vendor meet (specific date and time) for Plain Old Telephone Services (POTS). Qwest currently has this process in place for Designed Services. Based on initial analysis, given the volumes of POTS dispatched out trouble reports that Qwest processes, Qwest believes that providing all Retail and Wholesale customers the latitude to request a specific date and time would significantly increase the risk of maintaining current repair service performance levels for all customers. Qwest denies this Change Request as written.

* Eschelon is requesting that Qwest will not close any repair ticket until the CLEC authorizes the ticket to be closed. Qwest does not in all cases have direct access to all CLECs to perform “real time” transfer of trouble resolution and completion information. Waiting for a CLEC to clear voice mail and reply back to Qwest that they are authorized to close a specific ticket may result in increased trouble resolution time, missed appointments, and technician idle time. Qwest denies this Change Request as written.

* Eschelon is requesting that if a Qwest technician is going to be late (for the joint meet) that the technician be required to call the CLEC so they can advise their technician and customer. Not applicable unless the above requested process is deployed.

Again, please note that Qwest does have a process in place for joint meets on Design Services where the volumes are considerable lower, and the trouble types are generally more complex due to the nature of complex products and services.

Respectfully,

Frederick M Aesquivel III Director - Local Network Operations Support


Open Product/Process CR PC100401-1 Detail

 
Title: Process for Coordinated Hot Cuts on CLEC UBL to CLEC Resale. (Reference System CR # SCR100401 1x)
CR Number Current Status
Date
Area Impacted Products Impacted

PC100401-1 Denied
1/15/2003
Pre-Ordering, Ordering Centrex, Resale, UNE-P, UBL with LNP
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM: Sanchez-Steinke, Linda

Description Of Change

Currently Qwest only offers Coordinated Hot Cuts (CHC) on the unbundled product. Qwest should offer the option for coordination when a customer is converting from CLEC UBL (Unbundled Loop) to CLEC resale. Whether reuse of facilities or new facilities are requested the coordination of the Lift and Lay and/or install, porting, and translations requires coordination to ensure our end user customers do not experience service impacting issues for extended periods of time. Eschelon asks Qwest to offer coordination on CLEC UBL to CLEC resale cut-overs.


Status History

10/02/01 - CR received from Eschelon

10/04/01 - CR status changed to Submitted

10/04/01 - CR Updated and sent to Eschelon.

11/05/01 - Clarification Mtg Held with Eschelon.

11/12/01 - Had additional questions for Eschelon which were emailed to Kathy Stichter at Eschelon.

11/12/01 - Need to schedule another meeting with Eschelon. New questions have come up after further investigation. Left message for Kathy S. to call me to schedule.

11/14/01 - CMP Meeting - Eschelon presented the CR. It was determined that UBL with LNP needed to be added and that there should be another clarification meeting

11/19/01 - Received answers back from Eschelon, however Kathy S. is on vacation from 11/19-11/23 and I haven't yet heard back from her to be able to schedule nessessary meeting with her.

11/29/01 - Conducted additional clarification meeting with Eschelon.

11/29/01 - Eschelon provided clarification e-mail.

12/03/01 - Clarification Meeting Minutes issued to Eschelon.

12/12/01 - CMP Meeting - Qwest advised of the coordination effort required in addition to its LNP Managed Cut product and expressed concern in coordination with 3rd party CLEC. Eschelon advised they were only interested in Qwest internal coordination. Qwest to investigate whether the Network coordinated process could be used in-lieu-of developing a new product. Qwest to develop its response.

01/08/02 - Issued Qwest's Draft Response dated January 4, 2002 to Eschelon and posted to dBase.

01/16/02 - CMP Meeting - Qwest presented its draft response. Qwest advised that it would like to present another solution based on partnering with retail. CR will remain in Presented status and Qwest will address the issues from the CMP meeting.

01/31/02 - Received questions from Eschelon to be addressed in Qwest's response.

02/12/02 - Issued Qwest's Revised Draft Response dated 2/7/02 to Eschelon.

02/20/02 - CMP Meeting - Qwest presented its revised response. It was agreed that the CR could be moved to Development. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

02/22/02 - Qwest's formal response dated 2/7/02 issued to CLEC Community.

03/13/02 - Issued Development status update and answers to Eschelon's questions from the 2/20/02 CMP Meeting. Posted update in the CMP dBase under Qwest Response.

03/20/02 - CMP Meeting - Qwest provided a status update on the process development and responded to Eschelon's questions from February's CMP Meeting. The CR will remain in Development status. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CMP Meeting - Qwest provided a status updated and indicated that a Systems CR would need to be created to complete the process development. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. It was agreed to issue a Systems CR.

04/24/02 - Issued Systems CR to cmpcr@qwest.com on behalf of Eschelon.

05/15/02 - CMP Meeting - Qwest advised that the Systems CR had been issued. It was agreed that the CR could be closed. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

01/07/03 - Re-opened CR, and activated, removed from archive, changed status from Completed to Evaluation on 1/7/03.

01/08/03 - Sent Qwest response to Bonnie Johnson at Eschelon

01/15/03 - January CMP Meeting - Qwest presented response. CR status changed to Denied. Meeting minutes will be posted to this CR's Project Meetings section.


Project Meetings

01/15/03 January CMP Meeting Kit Thomte with Qwest explained that this CR was crossed over from Systems to Product and Process, SCR100401-1X was closed, and Kit presented the denial response to this CR, PC100401-1. Kit explained that PC100401-1XMN has been opened to address the completion call manual process. Status of this CR will be changed to Denied.

12/19/02 Systems CMP Meeting Kit Thomte/Qwest said we’ve had a couple of discussions over the last few days on the this CR. Bonnie Johnson/Eschelon thought this CR had been denied and wanted Qwest to provide a status in this meeting. What we’ve agreed to do, is to close the existing systems CR, resurrect the original Product/Process CR, deny it, then create a sub-CR under the Product/Process CR with an MN suffix so that the things that Bonnie Johnson/Eschelon wanted would be addressed in the sub CR. Judy Schultz/Qwest- noted that Section 5.7 of the CMP Document states that if there is a systems change request with a manual process available, then a parent-child relationship CR would be created. The reason we went that route is that Bonnie Johnson/Eschelon felt that the original request was a deny and did not want to start with a new date. Bonnie Johnson/Eschelon stated that when this CR was originally opened, we were optimistic that it would happen, and it was crossed over to Systems to add a USOC. The systems CR does not apply any more. She also stated that it was very important to me because I asked for a specific product. Qwest stated that they are unable to fulfill that request so the CR has to be denied. They have some solutions that will alleviate some of the pain, so part of what I asked for can be provided. Jonathan Spangler/AT&T asked Bonnie Johnson/Eschelon if they are asking Qwest to do a coordinated hot cut. Bonnie Johnson/Eschelon noted from unbundled to resale or UNE-P. Jonathan Spangler/AT&T asked how is that different from what we’re building with Joan Wells/Qwest now. Bonnie Johnson/Eschelon said that is just with port-in. Jonathan Spangler/AT&T asked if we have clarification that the loop that the CLEC is using is a Qwest loop - Qwest is not going to reuse the facility. Bonnie Johnson/Eschelon said that the problem is you have the potential of a customer working at two switches. Judy Schultz/Qwest said that when we open this MN CR, we’ll bring that it forward to the next meeting and make sure we have all the right people on the telephone from Product and Process. Jonathan Spangler/AT&T stated that the CLEC to UNE-P CLEC discussion with Joan Wells/Qwest might help to see how we handle those orders. Mike Zulivac/Covad said that is something that Covad is interested in as well. If there is an opportunity to broaden the scope to include all types of coordinated hot cuts that may be beneficial. Jonathan Spangler/AT&T asked if they would have to define the scope of the MN CR. Bonnie Johnson/Eschelon said that Qwest has actually denied this, so I’m not sure that will help you Judy Schultz/Qwest said that there are piece parts that can be completed through a manual process change. She explained that that was what the MN suffix was to be used for. Once we have the experts in the room perhaps, we can address your concerns as well. Therefore, is everyone ok with us closing the systems CR, denying the original Product/Process CR and then having the appropriate SMEs in the room to discuss the MN CR. All agreed. Kit Thomte/Qwest said that this action item will be closed.

Subject: FW: CR Issues Related to CHC for UBL to Resale Conversions Date: Thu, 31 Jan 2002 13:10:11 -0600 From: "Stichter, Kathleen L." To: rhmart2@qwest.com CC: "Johnson, Bonnie J."

Ric, Please respond to Bonnie's questions and requests below. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom, Inc 612-436-6022 klstichter@eschelon.com

> --Original Message-- > From: Johnson, Bonnie J. > Sent: Sunday, January 20, 2002 7:14 PM > To: Stichter, Kathleen L. > Cc: Powers, F. Lynne; Clauson, Karen L. > Subject: CR Issues Related to CHC for UBL to Resale Conversions > > Kathy, > The following are the questions I would like to communicate to Ric Martin. > * Qwest indicated there was a documented process for Network services stating if there is a lift and lay involved, the lift and lay would be > done at or as close to the FDT as possible. Please confirm and provide documentation. * What is the jeopardy process when Qwest is unable to obtain an FOC > on the TN release from another CLEC. * What is the appropriate interval for UBL to Resale port in conversions. Please provide documentation. * Is there a standard interval for responding to an LSR requesting the release of TN's. What is the industry standard. What is Qwest's obligation > to obtain the response. > > In addition, Eschelon would like to move forward with the process recommendation for orders where new facilities are required. > > Thanks for your assistance. > > Bonnie Johnson

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Subject: FW: Conference Call for CR for CHC Date: Thu, 29 Nov 2001 16:12:47 -0600 From: "Stichter, Kathleen L." To: rhmart2@qwest.com

Ric, Eschelon's intent on the CR was for both scenarios. So based on the call this morning, what Eschelon would be looking for would be 2 different processes. One for internal to Qwest only and one that would coordinate internally and externally with the CLEC (Eschelon) if the CLEC for the UBL was the same CLEC for the resale. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

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CLEC Change Request Clarification Meeting

November 29, 2001, 9:30 am (MT) Conference Call

866.564.8688 PC100401-1, Process for Coordinated Hot Cuts on CLEC UBL to CLEC Resale

Attendees: Ric Martin, Qwest Joan Wells, Qwest Kathy Stichter, Eschelon

Introduction of Attendees Introduction of the participants on the Conference Call was made and the purpose of the call was to reconfirm Eschelon’s requirements under the CR and review their e-mail dated 11/19/01.

Review CR Requirement an E-Mail Qwest explained that Qwest currently has a process for ordering a loop with LNP. Also there is currently coordination with Port-out activities. There currently is no coordination on Port-in activity. Qwest explained that there could be 2 scenarios for a coordination of a cut from CLEC UBL to CLEC Resale: 1. CLEC owns the UBL and Resale – Eschelon UBL want to go to Eschelon Resale. 2. A different CLEC Owns the UBL from the resale – Another CLEC owns the UBL and want to go to Eschelon Resale. Qwest advised that they could provide the coordination process internally to Qwest when the UBL and Resale are by the same CLEC.

Qwest currently doesn’t control the 3rd party CLECs release of a translation. Qwest doesn’t have a product offering for the Port-in coordination and would need to establish agreements for this activity with other CLECs.

Confirm Right Personnel Involved Qwest’s indicated that Joan Wells would be responsible for the internal Port-in coordination process, but Qwest Product Marketing would be responsible for development of any product offerings.

Action Plan Eschelon is to confirm if they want Qwest to develop a process for the two (2) scenarios listed in 2.2 above or only scenario 1. Qwest to review requirements for a product offering with Product Manager. Based on Eschelon’s answer to 7.1, Qwest to evaluate and develop response.

-

11/19/01 E-Mail from, Stichter, Kathleen L." wrote:

> Kate, > Bonnie Johnson has answered your questions below. > Thanks > > Kathy Stichter > ILEC Relations Manager > Eschelon Telecom Inc > Voice 612 436-6022 > Email klstichter@eschelon.com > > > --Original Message-- > > From: Johnson, Bonnie J. > > Sent: Friday, November 16, 2001 4:57 PM > > To: Stichter, Kathleen L. > > Subject: RE: [Fwd: PCCR100401-1, Questions] > > > > > > Kathy, > > See below! > > --Original Message-- > > From: Stichter, Kathleen L. > > Sent: Friday, November 16, 2001 1:30 PM > > To: Johnson, Bonnie J. > > Subject: FW: [Fwd: PCCR100401-1, Questions] > > > > Bonnie, > > Can you please answer the questions below and I will send the answers on > > to Kate? > > Thanks > > > > Kathy Stichter > > ILEC Relations Manager > > Eschelon Telecom Inc > > Voice 612 436-6022 > > Email klstichter@eschelon.com > > > > --Original Message-- > > From: Kate Spry [SMTP:kspry@qwest.com] > > Sent: Monday, November 12, 2001 3:28 PM > > To: klstichter@eschelon.com > > Subject: [Fwd: PCCR100401-1, Questions] > > > > Kathy, > > > > Could you please answer a few questions for us. Thanks. > > > > Kate Spry > > > > Joan Wells wrote: > > > > Thanks for your help, Kate. > > > > Questions about PCCR100401-1. > > > > 1) Would we ever have an Unbundled Loop conversion to a Resale account > > without LNP? No > > If so, in what scenario would this be? > > Would you want coordination for this as well? > > > > 2) I understand the CR to be specific to Port In to Resale from a CLEC > > that currently has the end user as an UBL. > > Qwest will make every attempt to reclaim the loop. Do you want > > coordination on the Port in even when Qwest is not reusing any facilities? > > Yes for the LNP and translations > > > > 3) If Qwest is unable to successfully negotiate managed cut arrangements > > with the outgoing CLEC, would you still want the internal Qwest Port In > > piece to be managed? Yes > > > > 4) If this is established as a product offering, charges may apply. Would > > this be satisfactory? Yes. > > > > 5) Are you wanting coordination for Port Within T&F's as well? No. > > However, we have had situations where the F comes down before the T goes > > up. I understand there will be some down time but this is for several > > hours. We would like the F side kept up until it is necessary to do > > translations on the port within and T side. > > > > << Message: PCCR100401-1, Questions >>

Return-Path:

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Alignment/Clarification Meeting 10:30 p.m. (MDT) / Friday, November 5th, 2001 Conference Call 1-877-542-1728 Attendees: Kathleen Stichter, klstichter@eschelon.com, Eschelon Telecom Tina Schiller, tmschiller@eschelon.com, Eschelon Telecom Bonnie Johnson, bjjohnson@eschelon.com, Eschelon Telecom Russ Urevig, rurevig@qwest.com, Qwest Stacy Hartman, sscrogh@qwest.com, Qwest Mallory Paxton, mpaxton@qwest.com, Qwest Janean Van Dusen, jvandus@qwest.com, Qwest Laurel Neher, lneher@qwest.com, Qwest Debra Smith, dssmith@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest

Eschelon asks Qwest to establish a process for Coordinated Hot Cuts on CLEC Unbundled Loop to CLEC Resale. Areas: Pre-Ordering and Ordering Products: Resale, Centrex, UNE-P Janean is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Lorna Dubose and/or Maureen Callan should be notified and brought into the response for answers regarding Migration. Stacie, Mallory, Laurel, and Debra will be available for any questions regarding their impacted areas. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and store necessary documentation to database. Currently Qwest only offers Coordinated Hot Cuts (CHC) on the unbundled product. Qwest should offer the option for coordination when a customer is converting from CLEC UBL (Unbundled Loop) to CLEC resale. Whether reuse of facilities or new facilities are requested the coordination of the Lift and Lay and/or install, porting, and translations requires coordination to ensure our end user customers do not experience service impacting issues for extended periods of time. Eschelon asks Qwest to offer coordination on CLEC UBL to CLEC resale cut-overs. No related system CR’s were identified. Janean will clarify this process internally and will give a verbal response at the December CMP meeting. At that time she will gather feedback and create a formal response to be reviewed at the January CMP meeting. This document will be forwarded to Kate Spry for processing. After the formal response is created, Kate will review and forward this information to Mike Keegan to store in the CR database and will forward this information to Kathy S.. This information can then be reviewed and discussed by the CLEC Community at the January CMP Meeting if needed. Kathy can attend the December 2001 CMP meeting to review verbal response. Additional clarifications can be made at that time. A written formal response will be forwarded after that meeting is held and feedback is provided.


CenturyLink Response

January 7, 2003

Kathy Stichter ILEC Relations Manager Eschelon

SUBJECT: Qwest’s Change Request Response - CR # PC100401-1.Process for Coordinated Hot Cuts on CLEC UBL to CLEC Resale. Description of Change: Currently, Qwest only offers Coordinated Hot Cuts (CHC) on the unbundled product. Qwest should offer the option for coordination when a customer is converting from CLEC UBL (Unbundled Loop) to CLEC resale. Whether reuse of facilities or new facilities are requested the coordination of the lift and lay and/or install, porting, and translations requires coordination to ensure our end user customers do not experience service impacting issues for extended periods of time. Eschelon asks Qwest to offer coordination on CLEC UBL to CLEC resale cut-overs.

This update is to document what Qwest and the CLECs have agreed to with Eschelon’s CR Request as noted above. - As we discussed in the May 2002 CMP Product Process, this CR was moved to completed status. Qwest advised this CR would close and cross over as a reissue in systems CR to pursue the Completion Call process solution. - As we also advised in the August CMP Product Process meeting regarding action item AI051502-2, Retail is not going to pursue the CHC process. Eschelon agreed that the action item could be closed. - During the December CMP meeting, Eschelon requested a formal denial of this CR as presented. As discussed the CR as presented is technically not feasible for Qwest. - Qwest and the CLECs have been working on the alternative process and a viable “completion call” option has been agreed to with Eschelon. As a result of this, a new CR will be initiated by Qwest in the January Product Process meeting.

Meanwhile, Eschelon’s original CR #PC100401-1 is denied as technically not feasible and we will be working through the alternate process utilizing the Product Process CMP requirements.

Sincerely,

Joan Wells Process Analyst, LNP

- 03-08-2002

Eschelon Telecom Ms.Kathleen Stichter

Dear Ms. Stichter:

SUBJECT: Development Status Update - Change Request CR # PC100401-1. Process for Coordinated Hot Cuts on CLEC UBL to CLEC Resale

The following is an update on the developments of the Coordinated Hot Cuts:

At this time, Qwest is unable to confirm the Coordinated Port In process because it is still in the early stages of development. Should the Coordinated Port In process be developed and implemented, Qwest Wholesale will at that time look at the offering again.

In accordance with your direction at February’s CMP meeting, Qwest is moving forward with the “Completion Call” and will now concentrate on the development and costs associated with the Completion Call” process. Qwest will continue to provide status updates during the development process

Below are response to the action items from February’s CMP meeting:

1.) Eschelon has requested that the Wholesale Escalation Centers be made aware of the Network lift and lay process. Qwest Wholesale Process will educate the Escalation group about this existing Network process through an internal communicator and on the Qwest weekly LNP team call.

2.) Eschelon asked if the intervals stated are in the Standard Interval guide. Standard Intervals for Installation on Ported In TNs are based on the Product specific guidelines. However, the Desired Due Date is a tentative due date, until the Firm Order Confirmation (FOC) is received from the Old Service Provider (OSP) prior to releasing the Port In telephone number into our systems. The OSP will participate in the port activity. The Number Portability Administration Center, (NPAC) will anticipate receiving subscription activity (service orders) with matching DDD and Frame Due Time (FDT) released by both companies within the same timer windows. Qwest will process the request as quickly as possible, to try to accommodate the desired due date.

3.) Concerns were brought up about the process Qwest has when they are unable to obtain an FOC on the TN release from the current CLEC. Changes to the proposed process were requested by the CLECs, as well as verification of parity on this process with Qwest Retail.

These responses are as follows: Qwest expects to receive a reciprocal FOC response from the CLEC community when we request a Port Out into the Qwest Network and will not complete a Port In request to our network without receiving an FOC from the Old service Provider. ? Qwest will issue the number port LSR to the OSP and follow-up for 5 business days on simple services and Complex service orders. ? If Qwest has not received the FOC from the OSP, the SDC will contact the OSP directly to find out why a response has not been sent. ? Qwest will contact the Reseller requesting the Port In and let them know that an FOC response has not been received yet. The Resale Provider may also contact the current Provider to encourage an FOC response. ? Qwest will follow-up again in 5 business days, if still no response, Qwest will contact the Qwest Service Manager of the current CLEC for help in obtaining the FOC. ? Qwest will follow-up again in 5 business days, if still no response, Qwest will cancel the LSR sent to the Old Provider and reject the order back to the Reseller.

Note: As long as Qwest Wholesale continues to receive correspondence from the current CLEC (OSP) concerning the Port request, Qwest will continue to pursue the FOC response and the Port In activity.

During the February’s CMP meeting, Qwest Retail had stated that Retail would continue to process the Winback to Qwest request as long as they have continued correspondence from the current CLEC. If they are unable to get a response or receive confirmation from the CLEC, they will refer the request back to the Retail Sales force to contact the end user.

Sincerely,

Joan Wells Process Manager Local Number Portability Qwest

Cc: Lorna Dubose, LNP Product Manager, Qwest Joan Smith, Qwest Retail

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02-07-2002

Eschelon Telecom Ms.Kathleen Stichter

SUBJECT: Qwest’s Change Request Response - CR PC100401-1 Process for Coordinated Hot Cuts on CLEC UBL to CLEC Resale

Description of Change: Currently, Qwest only offers Coordinated Hot Cuts (CHC) on the unbundled product. Qwest should offer the option for coordination when a customer is converting from CLEC UBL (Unbundled Loop) to CLEC resale. Whether reuse of facilities or new facilities are requested the coordination of the lift and lay and/or install, porting, and translations requires coordination to ensure our end user customers do not experience service impacting issues for extended periods of time. Eschelon asks Qwest to offer coordination on CLEC UBL to CLEC resale cut-overs.

The Initial response provided to Eschelon included consideration of offering increased coordination internally for Wholesale Port In activity. Qwest Wholesale proposed a more simplified process of a Completion Call. This Completion Call process would be available only when new facilities are being used. The Reseller would indicate in Remarks on the LSR, that they are requesting a Completion Call. Qwest would develop a new FID that could be placed in the Remarks sections of the order when issued, that would indicate to the outside Plant Technician (new facilities) that a completion call has been requested by the Reseller. This FID, along with the Reseller Contact Name and Number would appear on the order. Upon completion of the work, the Reseller would be notified by the outside Plant Technician, which would then allow them to complete any additional work needed.

After this proposal was made, Qwest Wholesale became involved with Qwest Retail in assisting with developing a different type of Coordinated Port In / Port Within process, which will include more than just offering a completion call.

At this time, Qwest is unable to confirm the offering, because it is still in the initial development stages.

Eschelon has requested responses to the following additional concerns:

1.) Eschelon would like to see the documented process for Network Services stating the details of the lift and lay process to help ensure that the lift and lay process takes place as close to the Frame Due time as possible.

This Qwest Internal process is documented in the Network Services, Central Office Job Aid, document CO-CL-01-0002/Rev.6. “Competitive Local Exchange Carrier (CLEC) to Qwest Migration”, dated 01/16/2002. Included in this document is the process for coordinating the movement of the customers telephone number, when number portability is involved, from CLEC to Qwest. The details include: the Central Office will be control for the coordination of the design services “IAD” disconnect and the Retail/Resale New Connect. When the correlation of the two orders has been identified by the C.O. personnel, which is created by the related order activity between the loop reclamation and the new install, the orders will be worked at the FDT (Frame Due Time) on the Retail/Resale order Due Date, or as close there after as possible. Testing of the cable pair and a test call to the number will be done to confirm porting. Qwest Wholesale has confirmed this process with Network and they have ensured us that Qwest personnel are aware of this process.

2.)What is the jeopardy process when Qwest is unable to obtain an FOC on the TN release from another CLEC.

Qwest expects to receive a reciprocal FOC response from the CLEC community when we request a Port Out into the Qwest Network and will not complete a Port In request to our network without receiving an FOC from the Old service Provider. ? Qwest will issue the number port LSR to the OSP and follow-up for 5 business days on simple services and Complex service orders.

? If Qwest has not received the FOC from the OSP, the SDC will contact the OSP directly to find out why a response has not been sent. ? Qwest will contact the Reseller requesting the Port In and let them know that an FOC response has not been received yet. ? Qwest will follow-up again in 5 business days, if still no response, Qwest will cancel the LSR sent to the Old Provider and reject the order back to the Reseller.

3.) What is the appropriate interval for UBL to Resale Port In conversions. Please provide documentation.

At this time an appropriate Due Date Interval for the Port In request with or with Loop Reclamation is 10 days. This coincides with the process of follow-up listed in issue 2.

4.) Is there a standard interval for responding to an LSR requesting the release of TN’s. What is the industry standard? What is Qwest’s obligation to obtain the response?

Industry standards are guidelines only. It is the expected that the FOC response of the CLEC should be reciprocal of that currently listed in the standard interval guide established by Qwest. Qwest is acting on behalf of the Reseller to complete this Port In request accurately and timely. After two attempts are made to contact the CLEC, the LSR will be rejected back to the Reseller, refer to response 2.

Sincerely,

Joan Wells Process Manager Local Number Portability Qwest

Cc: Lorna Dubose, LNP Product Manager, Qwest


Open Product/Process CR PC080301-1 Detail

 
Title: Identification of CSR cuscode process
CR Number Current Status
Date
Area Impacted Products Impacted

PC080301-1 Completed
8/15/2001
TBD Other
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Thacker, Michelle
Director:
CR PM:

Description Of Change

When a CLEC looks in IMA for a CSR (Customer Service Record) at times they find more than 1 live account with different cus codes for the same TN. There is no way for the CLEC to determine which live account to use when issuing the LSR. This causes the CLEC to issue the LSR on the incorrect account. Therefore, causing flow through issues and ultimately delays in service provisioning, which becomes customer affecting. Until the systems CR for IMA is worked Qwest should provide a documented process advising who to contact at Qwest that can identify which account established most recently. This would allow the CLEC to issue their LSR on the correct account.


Status History

8/03/01 - Updated CR sent to Kathy Stichter of Eschelon

8/03/01 - Status changed to New – To be Reviewed

8/03/01 - Updated CR sent to Kathy Stichter of Eschelon

8/06/01 - CR discussed by the internal Qwest CR review team and owner designated

8/09/01 - CR status will be given at the August CICMP Meeting

8/10/01 - Conference call held with Eschelon

8/15/01 - CLEC CMP Meeting Product & Process CR PCCR080301-1. Response was provided in the separate hand-out and issued. The response was accepted. Eschelon agreed to close. Closed


Project Meetings

August 10, 2001

Description of the change was reviewed. Eschelon was looking for a process advising who to contact at Qwest to identify the correct account when issuing a LSR. Qwest advised that Eschelon should contact the Interconnect Service Center at 1888-796-9087. Eschelon is to advise the Agent to process the LSR and make a referral to Order Resolution to correct account information. Qwest providing the contact point met with Eschelon’s expectations. Michelle will issue her formal response to the Change Request. Eschelon expressed a concerned on two accounts with RSID and ZSID issue. Details of the exact problem were not known and Eschelon was requested to research and present the issue via another CR, or at the Monthly Meeting. There is currently a systems Change Request, SCCR073001-4 Qwest will issue formal position to Matt Rossi week of 8/13/01


CenturyLink Response

August 13, 2001

Kathleen Stichter ILEC Relations Manager Eschelon Telecom, Inc

This letter is in response to the following CLEC Change Request Forms #PCCR080301-1 dated July 30, 2001. This Change Request pertains to the Duplicate CSR (one CSR for ZCID account and one CSR for RSID account).

Change Request: “When a CLEC looks in IMA for a CSR (Customer Service Record) at times they find more than 1 live account with different cus codes for the same TN. There is no way for the CLEC to determine which live account to use when issuing the LSR. This causes the CLEC to issue the LSR on the incorrect account. Therefore, causing flow through issues and ultimately delays in service provisioning, which becomes customer affecting. Until the systems CR for IMA is worked Qwest should provide a documented process advising whom to contact at Qwest that could identify which account established most recently. This would allow the CLEC to issue their LSR on the correct account.”

Response:

? If CLEC should encounter two CSRs when attempting to process an LSR, a call should be placed to the Interconnect Service Center (ISC) for assistance. The telephone number is 1-888-796-9087.

? The ISC agent will assist the CLEC by determining which CSR the CLEC needs to use to process their LSR.

? The ISC agent, if unable to assist the CLEC by determining the appropriate CSR or needs further investigation to clear the duplicate CSR problem will make a referral to the Customer Service Inquiry and Education Center for further assistance.

? A MCC (Multi Channel Communicator) will be sent to ISC personnel advising of this process upon release of this notification.

Sincerely

Michelle Thacker Process Specialist


Open Product/Process CR PC090601-1 Detail

 
Title: Written process for migration from CLEC to Qwest retail (Formerly Product & Process Action Item 32)
CR Number Current Status
Date
Area Impacted Products Impacted

PC090601-1 Completed
12/12/2001
TBD
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

Written process for Migration from CLEC to Qwest Retail

CLEC to Resale same CLEC ,e.g., customer on net with current CLEC has unbundled loop going to resale)

Resale to Resale ,e.g., same CLEC with customer moving from one central office to another central office


Status History

07/10/01 - During the CLEC to CLEC conversion interim call, it was asked that Qwest provide in writing the process that is in place to migrate from CLEC to Qwest Retail

08/31/01 - Draft response sent to Eschelon

09/06/01 - Eschelon provided comment to Qwest's response. Eschelon would like to see the back-end process.

09/19/01 - CMP Meeting - Qwest provided status update Eschelon requested that all CLEC's be involved in review. Qwest advised that a review meeting was re-scheduled for 09/25/01.

09/25/01 - Clarification Meeting took Place with CLEC's (Eschelon, Sprint, AT&T).

10/05/01 - This CR will be addressed by Toni Dubuque's quality team. Her team will provide status as it occurs

10/17/01 - CMP Meeting: CLEC community & Qwest agreed to address this CR independent of the Qwest Quality Team. Response to be incorporated in CR database. No change to "Current Status."

11/06/01 - Issued draft response dated 11/6/01.

11/14/01 - This issue was moved to CLEC Test. A response will be provided by Qwest as to when and where this will be documented in the PCAT.

12/06/01 - Formal response (dated 11/06/01) transmitted to the CLEC community.

12/12/01 - CMP Meeting - CLEC Community agreed to change "CR Status" to "Completed."


Project Meetings

9-25-01 1:30 MDT Introduction of Attendees Alignment/Clarification Meeting Kathy Stichter Eschelon Bonnie Johonson Eschelon Lynne Powers Eschelon Nancy Hoag Qwest Sandy Evans Sprint Donna Osborne - Miller AT&T Carolyn Brown Qwest Kit Thomte Qwest Russ Urevig Qwest

Kit introduced the attendees as identified above Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested}

Kit reviewed the PCCR that had been received and outlined the activities that had transpired over the last few weeks. Those activities included an initial response from Nancy Hoag at Qwest that provided the up front process. Kathy Stichter responded that Eschelon was actually looking for the back end process that includes: When the technicians go out to install new loops do they immediately port number(s), immediately get concurrence of number(s), what is the down time for the customer(s) and how do the technicians coordinate this. This has also been referred to Toni Dubuque to be addressed in the quality team she is forming. Lynn Powers clarified that everyone needs to understand how the process works today so the quality improvement team can use the existing process as a standard to allow for improvement within the process and minimize downtime for the customers. Providing the process will help Eschelon conduct their aspect of business in conjunction with Qwest. Confirm Areas & Products Impacted {read from change request, modify if needed} The request was clarified to be the following categories that need the existing process outlined *CLEC to Qwest Retail *CLEC to Resale same CLEC ,e.g., customer on net with current CLEC has unbundled loop going to resale) *Resale to Resale ,e.g., same CLEC with customer moving from one central office to another central office

Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} An inquiry was made whether Russ would be the correct person to look at the whole process. The group determined that with Carolyn and Char Cameron and Joan Smith (retail input) Russ Urevig and Mallory Paxton the group should be able to address the request.

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)} Providing the process associated with the three * items identified above will be the catalyst for the quality improvement team.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts}

Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when} Qwest and the CLEC customers are anxious to identify the processes, the time line will be updated based on a subsequent meeting that is scheduled for 10-01-01

Stichter, Kathleen L. on 09/06/2001 03:03:09 PM To: kthomte@qwest.com Subject: FW: Action Item 32

Kit, What we were actually looking for was the back end process. When technicians go out to install new loops do they immediately port numbers(s), immediately get concurrence of number(s), what is the down time for the customer(s) and how do the technicians coordinate this? We are going to tie this issue to the Toni Dubuque quality team that Toni is forming to identify and address problems with Qwest end to end processes as they relate to port in and port within. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com


CenturyLink Response

Wholesale Process Management

November 06, 2001

Ms. Kathleen Stichter Eschelon Telecom

Dear Ms. Stichter:

A conference call was conducted with Eschelon on September 25, 2001 at which time Qwest Product and Process reviewed and responded to the PC090601-1, Title of Change: Written Process for migration from CLEC to Qwest Retail. Description of Change: During CLEC to CLEC conversion interim call, it was asked that Qwest provide in writing the process that is in place to migrate from CLEC to Qwest Retail. During the course of the call, it was determined that the actual request goes beyond the migration from a CLEC to Qwest Retail. Issues of concern are as follows: * CLEC to Qwest Retail * CLEC to Resale same CLEC, e.g., (customer on net with current CLEC has unbundled loop going to Resale.) ( Port In to Resale, same CLEC) * Resale to Resale, e.g., same CLEC with customer moving from one central office to another central office. (Port Within T&F Resale) This response letter outlines the three processes as listed above.

CLEC to Qwest Retail 1. Sale Consultant * Negotiates New Connect Order with end user * Obtains LOA (Letter of Authorization) / TPV * Places order on hold * Submits notification to the Retail Support Center 2. Retail Support Center * Receives notification of pending competitive order, verifies LOA/TPV, determines competitive type (Resale, Centrex Resale, LNP, etc.) * Completes form(s) when appropriate (Loss Notification, LSR) and submits to CLEC. * Receives FOC from CLEC * If reclaiming Unbundled Loop and there are multiple loops with multiple Tn’s request information from Wholesale Support * Issue disconnect of Unbundled Loop(s) related to the Competitive New Connect * Retrieves order, adds appropriate FIDs/USOCs and issues Port In to Qwest Retail order * Advises end user of firm DD and negotiates premise visit if needed. * Prepares and submits bill to end user 3. Npac * Receives 2 subscriptions, 1) Old provider CLEC 2) New Provider Qwest 4. Wholesale * Support Center will provide Retail with information on multiple loops with multiple Tn’s * Issue loss report for UBL (mechanized) 5. Network * If no Unbundled Loop to reclaim, Installer Visit required * Unbundled Loop reclamation, Lift and Lay in Central Office, or Cross Connect out in the field. * Order has the following FDT (Frame Due Time): 8:00am if Installer Access Time is 8:00 – 12:00 or All Day 12:01pm if Installer Access Time is 12:00 – 5:00 * If Installer is at premise and subscription has not been completed, but has been concurred by the CLEC (or 18 NPAC hours have been met), the Installer will call to have subscription completed in order to test and complete work order. * If port needs concurrence before activation, the Support Center will contact the CLEC for concurrence and have port activated. * Verifies dial tone up to the Network Interface and completes inside wiring as needed. 6. End User * Advised may experience out of service condition due to port activity * Advised Installer visit to premise may be needed. (If unable to reclaim an unbundled loop or other changes requested.) 7. Current Clec * CLEC receives LSR * Determines DD and send FOC to Qwest * Creates disconnect service Order to Port Out * Sends subscription to NPAC * Service Order completed on the DD in the CLEC requested switch at FDT of 5pm. * Discontinues billing end user CLEC to Resale (Same CLEC) (Port In Resale) 1. End User * Signs LOA and submits request to Reseller * Reseller has advised end user of firm DD * Advised may experience out of service condition due to port activity. * Upon completion of port activity, receives bill from New Provider/Reseller 2. Reseller * Wins new end user business * Submits LSR to Qwest * Receives FOC(Firm Order Confirmation) from Qwest with Firm DD * May request reuse of existing Unbundled Loop facilities * If Qwest is unable to reclaim Unbundled Loop for reuse of facilities, premise visit by Reseller technician is needed * Advises end user of firm DD and negotiates premise visit if needed. * Prepares and submits bill to end user 3. Qwest Wholesale * Receives LSR from Reseller * Submits LSR to End user current CLEC with FDT of 5pm, allowing for overlapping of translations until port complete * Receives FOC from current CLEC and creates FOC to Reseller * Add positive Remark entry on FOC if unable to reuse existing facilities (if reseller requested reuse). * Creates New Connect service order to Port In TN with due date based on availability in Appointment Scheduler . i.e.. AM, PM, All Day 8-5p (If premise visit required) * Creates disconnect service order if reusing facilities from an Unbundled loop and relates to New Connect service order. Order completion creates mechanical Loss Report * Submits port subscription to the NPAC * Service Order completed on the DD in Qwest Switch. 4. Npac * Receives 2 subscriptions, 1) Old provider CLEC 2) New Provider Qwest 5. Network * No Unbundled Loop to reclaim, requires Installer Visit based on Appointment Scheduler * Unbundled Loop reclamation, Lift and Lay in Central Office, or Cross Connect out in the field. * Completion dependent upon access time indicated by Appointment Scheduler * Order has the following FDT (Frame Due Time): 8:00am if Installer Access Time is 8:00 – 12:00 or All Day 12:01pm if Installer Access Time is 12:00 – 5:00 (Access Time may be dependent upon Central office limitations.) * If Installer is at premise and subscription has not been completed, but has been concurred by the CLEC (or 18 NPAC hours have been met), the Installer will call to have subscription completed in order to test and complete work order. If port needs concurrence before activation, the Escalation Group will contact the CLEC for concurrence and have port activated. * Installer verifies dial tone up to Network Interface 6. Current Clec * CLEC receives LSR * Determines DD and send FOC to Qwest * Creates disconnect service Order to Port Out * Sends subscription to NPAC * Service Order completed on the DD in the CLEC requested switch at FDT of 5pm. * Discontinues billing end user Resale to Resale (Port Within T&F) 1. Reseller * Negotiates End User T&F * Submits LSR to Qwest * Can provide access time per Appointment Scheduler * Received FOC(Firm Order Confirmation) from Qwest with Firm DD * Advises end user of firm DD * Negotiates premise visit as needed for inside wiring * Prepares and submits bill to end user 2. End User * Advised may experience out of service condition due to port activity * Advised Installer visit to premise may be needed. (If unable to reclaim an unbundled loop or other changes requested.) 3. Qwest Wholesale * Receives LSR from Reseller * Creates service order to Port Within (T&F) service with due date based on availability in Appointment Scheduler. i.e.. AM, PM, All Day 8-5p , if installation and premise visit required. FDT 8am. * Disconnect at current address & connection of service at new address must be done the same day (no dual or delayed service). * Creates FOC to Reseller * Submits port subscription to the NPAC * Service Order completed on the DD in new Qwest Switch and disconnected in old Qwest Switch. 4. Npac Receives 2 subscriptions, 1) Old provider Qwest 2) New Provider Qwest 5. Network * May requires Installer Visit and access based on Appointment Scheduler (Access can be dependent upon Central office limitations.) * Order has the FDT (Frame Due Time) of 8am. * Wire to Network Interface and verify dial tone. (No inside wiring) * Completes service order request

In most switch types the 10 digit mechanized trigger is automatically set by Qwest. Correct call routing will take place until such time that the actual switch translations are disconnected from the originating switch. This overlap of switch translations helps to ensure a smooth number port transition, until both the loop and or the number port are completed. The complete service order process of port in/port within should be completed no later than the 5pm access time, based on availability in Appointment Scheduler.

Sincerely, Joan Wells LNP Process Manager


Open Product/Process CR PC083001-2 Detail

 
Title: Process to ensure Qwest service managers are provided with and participate in training for resolving customer affecting issues and outages.
CR Number Current Status
Date
Area Impacted Products Impacted

PC083001-2 Completed
12/12/2001
Ordering, Billing, Repair N/A
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Sheahan, Steven
Director:
CR PM: Thomte, Kit

Description Of Change

Currently Qwest provides training on customer-impacting issues relating to products and services. However, it does not ensure that service managers are allowed to and/or do participate in the training. Instead, in some cases, the managers either do not attend at all or are provided the documentation only. As a result, the service managers can not efficiently and effectively resolve customer-impacting issues in the shortest possible time frame. Please implement a process to ensure and document that service managers participate in all Qwest provided training as it relates to products and services that impact CLECs and their customers.


Status History

08/30/01 - CR received from Kathy Stichter of Eschelon

08/30/01 - Status changed to New – to be clarified

08/30/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

09/21/01 - Clarification Meeting Scheduled for 05 Oct 01

10/05/01 - Clarification Meeting conducted with Eschelon

10/17/01 - CMP Meeting: Qwest conducted clarification with CLEC community. "Current Status" changed to Evaluation. Qwest to prepare draft response.

11/01/01 - Draft response dated October 29, 2001 issued to Eschelon, & CLEC community notified of draft response

11/14/01 - CMP Meeting - it was agreed that th CR could be moved into "CLEC Test."

11/21/01 - Qwest Final Response (dated October 29, 2001) transmitted for CLEC community distribution.

12/12/01 - CMP Meeting - CLEC Community agreed to change "CR Status" to "Completed." Toni Dubuque, Qwest to address action item regarding present assignment of Qwest service personnel on the Eschelon account (i.e, two (2) positions for sales, and two (2) positions for service), and feasibility of re-assigning service personnel to focus solely on Eschelon service issues (i.e., propose all four (4) positions address service).


Project Meetings

Alignment/Clarification Meeting

1:00 p.m. (MDT) / Friday, 05 October 2001 Teleconference call TELE: 1-866-289-7092 CODE: 7411826 # PCCR083001-2 Process to ensure Qwest service managers are provided with & participate in training for resolving customer affecting issues & outages.

Attendees Cathy Stichter Steven Sheahan Peter Wirth

Introduction of Attendees Attendees were introduced. Qwest representative Steven Sheahan was designated the “Subject Matter Expert” (SME) for the subject CR. Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Concurrence was received from both Eschelon and Qwest parties. Questions were raised by Steven Sheahan, Qwest to Eschelon regarding specific training issues of concern. Eschelon expressed concern regarding the volume of changes and associated documentation that the Qwest Service Manager needs to assimilate, in addition to performing routine daily duties.

Confirm Areas & Products Impacted {read from change request, modify if needed} No selected “Products Impacted” were indicated on the CR. However, Eschelon indicated that “All” products are potentially affected.

Confirm Right Personnel Involved {ensure the Qwest Product SMEs can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Concurrence was received from both Eschelon and Qwest parties regarding appropriate involved personnel.

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)} Eschelon is expecting a response from Qwest identifying: (1) current procedures used to meet the needs of the CR; and (2) any modifications or changes proposed by Qwest to allow Service Managers to more efficiently and effectively resolve customer-impacting issues via training.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts}

Eschelon did not identify any dependent CRs associated with the subject CR.

Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when} Qwest will internally discuss CR with all supporting SME staff, and discuss the CR in the next monthly CMP meeting (October 17, 2001).


CenturyLink Response

October 29, 2001 Wholesale Product/Process Stephen Sheahan, Qwest

This letter is in response to CLEC change request form PC083001-2 dated August 30, 2001.

Change Request: Qwest currently provides training on customer-impacting issues relating to products and services. However, it does not ensure that Service Managers are allowed to and/or participate in the training. Instead in some cases the managers either do not attend at all or are provided the documentation only. As a result, the Service Managers cannot efficiently and effectively resolve customer-impacting issues in the shortest possible time frame. Please implement a process to ensure and document that the Service Managers participate in all Qwest provided training as it relates to products and services that impact CLECs and their customers.

Qwest Response:

Qwest has in place individualized training plans for all of its Service Managers as it relates to Products, Processes and Services that are customer and non-customer impacting. Qwest also holds mandatory training sessions for Service Managers when substantial changes in process or products are made or when a new product is introduced. In some cases testing of the Service Manager is conducted after completion of a training module to demonstrate a minimum level of competence.

When minor changes in process or product offerings are made, Qwest provides via email communicator documentation that allows the Service Manager a point of reference to be able to identify the change in product or process. Also it includes the name of SMEs necessary to facilitate prompt investigation and response to CLEC customer questions.

Qwest management reviews training plans with individual Service Managers on a quarterly basis. Training is a component of the Service Managers overall rating to determine the level of attainment achieved in the Qwest quarterly bonus plan. Management reviews Service Manager training progress and tailors additional training programs, as necessary to better meet requirements associated with the Service Manager’s assigned CLEC accounts.

Sincerely,

Stephen P. Sheahan Qwest Wholesale Customer Service Operations


Open Product/Process CR PC083001-1 Detail

 
Title: Allow customers to move and change local service providers at the same time. (reference Systems CR # SCR101901 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC083001-1 Completed
4/17/2002
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Berry, Harriett
Director:
CR PM: Thomte, Kit

Description Of Change

The current Qwest process states that when a customer moves and wants to change local service providers they must first convert to the new local service provider with a subsequent move order or move with their current local service provider and subsequently convert to the new local service provider. This causes delays in a customer’s choice to change local service providers. It also forces the customer and/or CLEC to pay processing and installation charges for both a conversion and a move. In addition if the Qwest service order does not post to the CRIS system for the move or conversion in a timely manner, this can cause customer impacting issues due to the fact that the Qwest service order may not be processed accurately. Change Qwest process to allow an end user to select the local service provider of their choice when they move to their new location.


Status History

08/30/01 - CR received from Kathy Stichter of Eschelon

08/30/01 - Status changed to New, to be clarified

08/30/01 - Updated CR sent to Kathy Stichter and Steve Sheahan

09/12/01 - Clarification Meeting Scheduled for 09/17/01

09/17/01 - Clarification Meeting Held

09/26/01 - Qwest's draft response issued to CLEC Community

10/17/01 - CMP Meeting: CLEC community concurred with Qwest long term solution. Qwest to add interim process to response & re-issue. An internal User Request will be issued to initiate permanent change. No "Current Status" change.

11/01/01 - Revised draft response, dated October 31, 2001, transmitted to Eschelon (submitting CLEC).

11/07/01 - Issued updated draft response dated November 7, 2001 to Eschelon and posted to dBase.

11/14/01 - CMP Meeting - The CLEC participants agreed that the manual process can be implemented 12/01/01. IMA Systems CR has been issued SCR 101901-1. It was agreed that the CR could be moved to "CLEC Test."

11/21/01 - Qwest Final Response (dated 10/31/01) transmitted for CLEC community distribution.

12/12/01 - CMP Meeting - Eschelon requested to leave "CR Status" as "CLEC Test." No Eschelon customers were available to test the manual interim procedure detailed within the Qwest response (dated 10/31/01).

01/10/02 - Eschelon submitted example to Qwest indicating potential difficulty with the interim manual process. Harreitt Berry (SME) investigating.

01/16/02 - CMP Meeting - Status update provided indicating that Harriett Berry (SME) is in process of investigating Eschelon example (submited 01/10/02).

02/06/02 - Harriett Berry identified root cause of Eschelon example (submitted 01/10/02) as failure of adherence to interim manual process. Qwest management and staff located in the offending ordering facility were retrained on internal Qwest procedure (MCC issued 11/28/01), Internal Qwest procedure was re-issued (01/21/02) to Qwest Wholesale and Retail personnel.

02/14/02 - Response transmitted to Eschelon example (submitted -1/10/02).

02/20/02 - CMP Meeting - Qwest SME discussed response to Eschelon example. CR status remains in "CLEC Test." Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02)

03/05/02 - E-mail from Qwest asking for recent out-of-process examples

03/10/02 - Reply e-mail from Eschelon, planning on having examples this week

03/20/02 - March CMP Meeting: CR to remain in CLEC Test awaiting example from Eschelon. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site

04/01/02 - Sent e-mail to Eschelon asking if they have had an example to test this process

04/01/02 - Reply e-mail from Eschelon stating they are still waiting for their first example

04/17/02 - April CMP Meeting: CLECs agreed to close CR. Status changed to "Completed." Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site


Project Meetings

04/01/02 - Reply e-mail from Eschelon stating they are still waiting for their first example

From: "Johnson, Bonnie J." To: Todd Mead , "Stichter, Kathleen L."

Todd, See below!

--Original Message-- From: Todd Mead [SMTP:tmead@qwest.com] Sent: Monday, April 01, 2002 9:46 AM To: Stichter, Kathleen Cc: Johnson, Bonnie Subject: CR Update

Kathy, I am looking for some feedback on two of your CRs that are currently in CLEC Test:

PC083001-1 "Allow customers to move and change local service providers at the same time" Have you had any examples through to test this process? We are waiting for an example. I received information from our internal Provisioning Team that they will be certain to provide me the next customer we have engaging in this activity.

--

03/10/02 Reply e-mail from Eschelon, planning on having examples this week

Subject: RE: FW: PC083001-1 Allow customers to move and change local servi ce providers at the same time. Date: Sun, 10 Mar 2002 16:01:51 -0600 From: "Johnson, Bonnie J." To: Todd Mead , "Stichter, Kathleen L." CC: "Vigoren, Barbara J." , "Schiller, Tina M."

Hi Todd, I believe I should have some examples this week. Kathy will be back on 3/19/02.

Bonnie -

--

03/05/02 E-mail from Qwest asking for recent out-of-process examples

Subject: PC083001-1 Allow customers to move and change local service providers at the same time. Date: Tue, 05 Mar 2002 08:31:08 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: Kathleen Stichter

Kathy, I have taken over from Pete Wirth as the CRPM for this CR. My current understanding is that we are waiting for an Eschelon customer to test this manual procedure to ensure the process is working as originally designed?

Please let me know if that is your understanding of the current status and also, whether there have been any recent examples from Eschelon to test the manual procedure.

Thanks

Todd

--

Subject: Re: Example for CR PC083001-1 Date: Thu, 14 Feb 2002 14:58:39 -0700 From: Peter Wirth Organization: Qwest Communications International, Inc. To: "Stichter, Kathleen L." CC: "Berry, Harriett" References: 1

Kathleen;

Harriett Berry, Qwest identified the root cause of the Eschelon example (e-mail below) as a failure of adherence to the interim manual process by a Qwest employee. Qwest management and staff located in the ordering facility were retrained on the internal Qwest procedure (MCC issued on 11/28/01) contained within the Qwest CR response. The internal Qwest procedure was re-issued (01/21/02) to Qwest Wholesale and Retail personnel. Please let me know if any other examples occur regarding this issue. Thanks.

Peter Wirth Product & Process CMP CRPM pwirth@qwest.com 303.896.5190

--

"Stichter, Kathleen L." wrote:

Example of a recent LSR that did not work. This is confidential information not to be shared outside of Qwest CMP.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

--Original Message-- From: Stichter, Kathleen L. Sent: Tuesday, January 08, 2002 7:55 AM To: Johnson, Bonnie J.; 'cmeride@qwest.com' Subject: RE: UT-122101-Tuxedo By Lee-UT138677KMJ-Ver-OC-8014921614

Bonnie, This is the email I sent to Pat Levene yesterday for investigation. I will let you know when I get the information back from Pat Levene.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 Email klstichter@eschelon.com

--

09/17/01 - Attendees Bonnie Johnson - Eschelon Harriettt Berry - Qwest Russ Urevig - Qwest Susie Wells - Qwest Peter Wirth - Qwest

Introduction of Attendees Attendees were introduced. Qwest representatives representing -Resale-- (Mallory Paxton) and -UNE-P- (to be determined) were not available for the meeting. Harriett Berry, Qwest will identify and include missing representatives for further activities regarding the subject CR.

Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} Concurrence was received from both Eschelon and Qwest parties. Questions were raised by Russ Urevig, Qwest regarding applicability to -Resale- markets. Eschelon provided clarifications. Harriett Berry (Qwest) will review CR will representatives not in attendance.

Confirm Areas & Products Impacted {read from change request, modify if needed} Harriett Berry, Qwest confirmed selected -Products Impacted,- as appropriate for the CR.

Confirm Right Personnel Involved {ensure the Qwest Product SMEs can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Harriett Berry, Qwest identified the following Qwest personnel to assist in providing a response to Eschelon: - Qwest CLEC Migration Team

Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC- what does Qwest have to do in order to close this CR? (in measurable terms i.e. provide a documented process, change a process to include training etc)} Eschelon is expecting a response from Qwest identifying: (1) current procedures used to meet the needs of the CR (and any required modifications, as feasible); (2) identification of any factors (i.e., regulatory, etc.) that may preclude procedure modifications to meet the CR -Description of Change-; and (3) approximate time table for procedural changes, as applicable.

Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts}

Eschelon did not identify any dependent CRs associated with the subject CR.

Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when} Qwest will internally discuss CR with all supporting SME staff to determine time frame for response to Eschelon. Discussions to occur on 24 September 2001 (afternoon).


CenturyLink Response

Qwest Wholesale Product Marketing

October 31, 2001

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc.

This letter is in response to the following CLEC Change Request Forms #PCCR083001-1 and pertains to allowing customers to move and change local service providers at the same time.

Qwest has evaluated the subject Change Request (CR) and has determined the following:

1) Eschelon is correct in their assessment of the Qwest service order procedure for customers that physically change address and desire a new local service carrier for Centrex, Resale and UNE-P products. The current process does require two service orders to accomplish an end user move and migration.

2) We propose combining the two step process so that only one order is issued to concurrently change both customer address and Local Service Provider. The Local Service Request (LSR) would be issued with Activity Type V (for conversion) with the EUMI (End User Move Indicator) populated with Y.

Since Qwest does not currently utilize the EUMI field, an Interconnect Mediated Access (IMA) System software upgrade will be required to implement that field.

3) Qwest is initiating an internal change for the IMA System software upgrade. This change will be managed under the CMP Systems Change Request SCR101901-1.

4) The following manual interim process will be in effect until SCR101901-1 is implemented:

- The co-provider will only need to submit a single LSR for service orders to “change the end user’s provider and move at the same time.”

- This process has been designed specifically for the following: 1) an end user move, change of co-provider, same telephone number, and keeping same product; and 2) end user move, change of co-provider, same telephone number, change product (within same product family only).

- The manual process will require the LSR to contain ACT of V (for conversion as specified), Manual Indicator of Y, and then remarks to provide information regarding the end user move.

- Note that this is a new process in addition to existing processes for porting in and conversion (product conversions, moves, etc.). This process is also for end user conversion and move at the same time and does not include the addition of new lines.

Should you have any questions regarding this response please contact Peter Wirth, CR Project Manager at (303) 294-1642. He can coordinate any follow-up meetings, if necessary, to discuss this response.

Sincerely,

Harriett Berry Qwest CLEC Migration Team

--

MIGRATION/END USER MOVE INTERIM MANUAL PROCESS

Issue one LSR to migrate and move the end user

ACT Type = V Manual Indicator = Y Remarks = Include end user move information including new address


Open Product/Process CR PC073101-1 Detail

 
Title: ANAC in CO for CLEC to CLEC migrations
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-1 Completed
4/15/2009
Provisioning Unbundled Loop
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Urevig, Russell
Director:
CR PM: Thomte, Kit

Description Of Change

Institute, document, and distribute a consistent process for using Automatic Number Announcement Callback (ANAC) in the Central Offices (COs) for CLEC-to-CLEC migrations when Qwest is unable to match the telephone numbers (TNs) to circuits. Qwest would then ANAC (in the CO) to determine which TN corresponds to which circuit, before Qwest processes the order. Qwest could use this process for retail as well to prevent unnecessary dispatches.


Status History

07/30/01 – CR received by Kathy Stichter

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

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

08/09/01 – CR status will be given at the August CICMP Meeting

08/14/01- Clarification Meeting held with Eschelon

09/04/01- Draft response sent to Eschelon

09/06/01 - Eschelon confirmed acceptance of Qwest response.

09/19/01 - CMP Meeting - Eschelon felt Qwest denied their request; however, they agreed to defer the CR for any future action.


Project Meetings

Stichter, Kathleen L. on 09/06/2001 02:12:02 PM

To: jlbroo2@qwest.com

Subject: FW: PCCR 073101-1 ANAC in CO for CLEC to CLEC migrations

Jerri, Bonnie and I talked today and we accept your response. We can close the CR 073101-1 ANAC in CO for CLEC to CLEC migrations. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

Tuesday 14th August 2001 Attendees: Kathleen Stichter, Bonnie Johnson - Eschelon Telecom/ Linda Hendricks, Deni Toye, Steve Hilleary, Todd Mead

Review Requested (Description of) Change When a customer migrates from one CLEC to another CLEC/ILEC, there is no way to match the TN with the Circuit ID if the TN did not originate from a Qwest switch. Confirm Areas & Products Impacted Provisioning Unbundled Loop Confirm Right Personnel Involved (has anyone else within Qwest been involved with this issue?) This issue falls between Steve and Russ Urevig’s areas of responsibilities. Russ is believed to have held a conference call (outside CICMP Process) discussing this issue approximately 1 month ago. Steve is the owner of this CR and will take the lead in obtaining resolution. Todd will talk to Russ to see if any minutes and/or actions were issued from this earlier call Identify/Confirm CLEC’s Expectation Develop, document and communicate a process for addressing the issue of matching TN’s and circuit ID’s for TN’s not originating in a Qwest switch for CLEC-to-CLEC/ILEC migrations. Identify any Dependent Systems Change Requests Todd will talk to Russ to see if any previous CR’s have addressed related issues (specifically, updated documentation outlining Qwest’s commitment to match TN’s and Circuit ID’s on TN’s originating in a Qwest switch). Establish Action Plan (Resolution Time Frame) Steve to meet with Russ Urevig before this Friday to develop a plan Steve will develop a plan (including timeframe) by next Monday, for achieving resolution of this issue


CenturyLink Response

Wholesale Product Marketing August 30, 2001

Kathleen Stichter ILEC Relations Manager Eschelon Telecom, Inc

CC: Russ Urevig Matthew Rossi Steve Hilleary Jerri Brooks

This letter is in response to your CLEC Change Request Form, number PCCR073101-1 dated July 30, 2001.

Request: Institute, document, and distribute a consistent process for using Automatic Number Announcement Callback (ANAC) in the Central Offices (COs) for CLEC-to-CLEC migrations when Qwest is unable to match the telephone numbers (TNs) to circuits. Qwest would then ANAC (in the CO) to determine which TN corresponds to which circuit, before Qwest processes the order. Qwest could use this process for retail as well to prevent unnecessary dispatches.

Response: After discussing this issue with Steve Hilleary (Central Office Staff) the central office can not Automatic Number Announcement Callback (ANAC) of a circuit without a firm order to work from which identifies the circuit ID and the CFA location. They also need a firm order to charge the work activity to. If the telephone number originated within the Qwest switch, Qwest will ensure that the proper TN is applied to the same circuit during the migration, as it was when it moved from the Qwest switch. As an NSP (network service provider) Qwest does not get involved with transfer of TN’s on CLEC to CLEC migration for facilities based only. Central office work relating Circuit IDs to TNs is handled the same for both Wholesale and Retail. The associating of TN’s to circuits is performed at the order processing level. As stated above the CO requires a firm order to be able to ANAC a TN to a circuit.

Sincerely,

Russell J. Urevig Wholesale Process Manager


Open Product/Process CR PC073101-2 Detail

 
Title: Written process for handling and disputing Customer Not Ready orders; written notification of completion
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-2 Completed
12/12/2001
Ordering Unbundled Loop, Other
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Whisenant, Jeanne
Director:
CR PM:

Description Of Change

Qwest had provided inconsistent information about its processes for Customer Not Ready (CNR) situations and how to dispute a determination by Qwest that customer was not ready. Eschelon asks Qwest to provide a written policy on CNR situations and a written process for resolving disputes. First, with respect to Qwest’s policy, Qwest should state its policy and specifically whether its policy is to reject an LSR and cancel an order within a specified time and, if so, the basis for that policy. Second, with respect to disputes, Qwest should state the process for disputing a determination that the customer was not ready when the customer was ready (e.g., the loop was in fact installed and accepted). In the past, when Eschelon has called 1-888-796-9087 to dispute a CNR letter (such as when the order completed and all loops were accepted), Qwest reps at that number did not know how to handle Eschelon’s request. Eschelon has also tried calling the Qwest tester to request closure of the order. Verbal closure has not been consistent or met our needs. For example, the tester may complete all but one order on a PON. When the one remaining order is not completed, the entire PON is rejected instead of only the one order. This, in effect, takes down the circuits for the customer, even though those circuits may have been working on the CLEC network as long as 6 weeks. Qwest should notify CLECs of completion of the orders when CLEC accepts the loop.


Status History

07/30/01 - CR received by Kathy Stichter

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

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

08/09/01 - CR status will be given at the August CICMP Meeting

08/10/01 - Clarification Meeting Held

08/29/01 - Sent Draft Response to Eschelon

09/12/01 - Eschelon commented on Qwest's draft response - "Qwest is not waiting five days for us clear up any issues, or supp the orders. They issue these CNR letters normally the day following the original cut which is why we receive so many. If they did allow the actual five day interval, are sup versions would clear these so CNR's are not generated. This is the process that has been explained, and in theory would work great if followed as outlined below". Qwest has schedule a walk-through for Friday 9/14.

09/19/01 - CMP Meeting - Qwest reviewed its draft response and advised that a walk through meeting was scheduled for 09/24/01. It was agreed that Qwest should proceed with the meeting.

09/24/01 - Walk Through meeting held with CLEC Community

09/27/01 - Qwest's draft response issued to CLEC Community.

10/17/01 - CMP Meeting: Qwest to issue formal response. CLEC community agreed to change "Current Status" to CLEC Test.

10/19/01 - Qwest Final Response issued to CLEC Community and posted to dBase.

11/14/01 - CMP Meeting - Eschelon provided examples to Qwest's Service Manager of receiving CNR after they had issued SUP and received a FOC. Account Team is following up.

12/12/01 - CMP Meeting - CLEC Community agreed to change "Current Status" to "Completed." Qwest service manger (Patrica Levene) followed up with Eschelon regarding CNR examples.


Project Meetings

September 24, 2001 Alignment/Clarification Meeting Ric Martin, Qwest Vivian Vigil, Qwest Kathleen Stichter, Eschelon Tina Schiller, Eschelon Donna Osborne-Miller, AT&T Peter Wirth, Qwest

Introduction Introductions of the participants on the Conference Call were made. Qwest advised that the purpose of the meeting was to review Qwest’s response, Eschelon’s e-mail comments and address any questions from the other CLEC.

Review of Eschelon’s Comments Eschelon advised that the Tester was not contacting them and they were encountering problems with person’s handling their Sup and still receiving the cancellation notice. Communications - Qwest explained that the tester doesn’t always contact the customer and that the actual dealing with the customer would come from the issuance of a notification from the Center. AT&T addressed that Qwest’s items 3 & 4 in the process should be rewritten to reflect the actual practice and that communications would occur within 5 days. Qwest will revise the language. Eschelon explained that when an order is put into a jeop status, the Tester will put the order as CNR and Eschelon would not be aware of this until they receive the cancellation notice. Qwest advised that the tester is responsible for noting our records the reason the customer has asked the order to status with a pending customer reasons. The tester should include in notes the name of the contact at Eschelon we took the jeop status form . Eschelon is to try to provide some examples. Eschelon also explained that a held order, or other delayed orders ,would be released and a new due date was established and not communicated to Eschelon. As a result of not receiving the communication, they would not be aware or prepared for the order causing the order to be status with a customer jeop. Eschelon was to track and provide examples. Qwest reviewed the CNR dispute process and everybody understood and was satisfied with this process. All parties agreed that with the revised language to items 3 & 4, the process would meet their requirements when followed.

Establish Action Plan (Resolution Time Frame) Qwest will issue revised draft response by 9/28. Eschelon will track and provide the example of any discrepancies to the process.

08/10/01 - Clarification Meeting Attendees: Ric Martin Qwest Vivian Vigil Qwest Kathy Stichter Eschelon Tina Scheller Eschelon

Description of the change was reviewed. Eschelon advised that the CR identified two issues. They were looking for a written policy describing the process for handling Customer Not Ready (CNR) and confirmation on Acceptance Test of an Order. Qwest advised that there was a previous Release Notice, RN5467145, Qwest Position Statement On Build Requirements for Unbundled Loops. Vivian e-mailed a copy to the participants. Vivian further explained the steps that occur internally within Qwest. These steps are:

1) If an order goes C01 for Customer reasons on the due date, (whether it be no test access, end user doesn't want or just CLEC not ready to accept) the order will be jeop’d C01, C02 or C03. 2) If there are orders that involve re-use of facilities, the tester will call the typist to push dates out to avoid an out of service condition. 3) The Qwest tester normally is actively working with the CLEC to resolve the customer issue within the first 5 days. Testers will work to resolve the acceptance issues. 4) On the 5th business day a Jeopardy notice will be sent to the designated contact provided by the CLEC and a CNR 30-day letter/notice. (This is 30 business days) 5) The PON detail and CNR reason are populated on the weekly spreadsheet as well as the cancel date. 6) The delayed CNR orders are reviewed weekly to determine if a sup or interaction with the tester indicate that the CNR issue has been resolved or resolution is in process. If the CNR order issue has been resolved, the order is removed from the spreadsheet. 7) Approximately 2 weeks later, a second notice is sent. The order continues to appear on the weekly spreadsheet sent to the CLEC. Two days prior to the cancellation date, a final notice will be sent to the Qwest Sr. Mgr. advising that the order in question will be canceled if immediate response/acceptance is not received. 8) The CNR order must be resolved within the 30-business day window as outlined in the CNR letter. Due date sup requests for a period greater than 30 business days, will not be accepted. 9) The CLEC can call direct to the tester and clear any outstanding pending acceptance issues or send a sup for a date they want to deliver the loop. The tester may arrange for a different date or time if the request is more involved and the tester cannot handle the acceptance issue at that time.

CNR disputes

1) If the CLEC has sent in a sup for a new due date or has accepted the loop, and the order continues to appear on the spreadsheet, the CLEC should call the call center at 1 –888-796-9087 and ask to be warm transferred to the Delayed order group to work the CNR issue. The call center will issue a ticket and transfer the CLEC to the Cheyenne Delayed Order Group. 2) The Delayed order tracking representative will work with the CLEC to determine what action needs to take place to insure the updated status of the order is identified. 3) The Team leads in the Testing groups have committed to working with the CLEC direct on acceptance issues to insure that the order is completed in all internal systems thus eliminating the CNR status and negating a cancel situation on the order. Confirm Areas & Products Impacted CR identified that Unbundled Loop and other products affected by CNR issues were impacted Confirm Right Personnel Involved Eschelon’s personnel were correct. Qwest’s person is actively involved and was representing the Process Lead for this process. Qwest’s account teams has been working with Eschelon prior to this CICMP request and have made strides in educating Eschelon and establishing the revised process we now follow. Identify/Confirm CLEC’s Expectation Eschelon advised that the response presented by Vivian provided the details they were seeking in the CR. Qwest will review with the Process Lead to determine if the Release Notice should be updated. Qwest committed that any order that they have called in as accepted and we still show open in WFAC will be referred to a coach in the testing centers. Eschelon will call the call center for assistance on CNR issues, and if the call center cannot resolve the issue, the call center will be aware to warm transfer to Cheyenne Delayed order group. The CICMP document stated that when they had called the call center, the call center did not know how to handle the call. Cheyenne will continue to note CRM the day we removed the completed order from the spreadsheet (if the order completes in between spreadsheet dates) so that the call center can advise of this type of status, call the tester to check on the status or transfer the call. Eschelon addressed an issue where 3 orders on a PON, two were complete and not on the spreadsheet, all were canceled when the 1 order wasn’t completed. This was on PON MN102918JCP. Vivian would look into this and advise Tina at 612-436-6401. Eschelon addressed another issue that Qwest will clarify: When orders are RRSO, how far out are the dates pushed when the call handler is called? Qwest advised that it was the understanding that it was 60 days. Qwest to advise where this is documented in the tester process and the typist process. Eschelon is understanding the push out is 30 days, Qwest explained the time frame is internal to Qwest, and they should still send a sup if they want a new date or call the tester as explained above and not use this date, as their next delivery date. Identify any Dependent Systems Change Requests There is no corresponding System CR Establish Action Plan (Resolution Time Frame) Qwest will respond to the CR by the end of August.


CenturyLink Response

October 19, 2001 FINAL RESPONSE

This letter is in response to the following Change Request Form No. PCCR073101-2, dated July 30,2001.

? Written Process for handling and disputing Customer Not Ready Orders

? Response: A meeting was held by the Cheyenne Center Manager, Vivian Vigil, on August 10, 2001. Vivian discuss the Customer Not Ready Process and confirmation on Acceptance Test of an order.

Vivian further explained the steps that occur internally within Qwest. These steps are:

1) If an order goes C01 for Customer reasons on the due date, (whether it be no test access, end user doesn't want or just CLEC not ready to accept) the order will be jeop’d C01, C02 or C03. 2) If there are orders that involve re-use of facilities, the tester will call the typist to push dates out to avoid an out of service condition. 3) The Qwest tester will jeop the order for customer reasons and wait for a sup for a new due date. 4) A Jeopardy notice and the CNR letter requesting a sup for a new due date within the 30 business day window is sent within 5 business days. 5) The PON detail and CNR reason are populated on the weekly spreadsheet as well as the cancel date. 6) The delayed CNR orders are reviewed weekly to determine if a sup or interaction with the tester indicate that the CNR issue has been resolved or resolution is in process. If the CNR order issue has been resolved, the order is removed from the spreadsheet. 7) Approximately 2 weeks later, a second notice is sent. The order continues to appear on the weekly spreadsheet sent to the CLEC. Two days prior to the cancellation date, a final notice will be sent to the Qwest Sr. Mgr. advising that the order in question will be canceled if immediate response/acceptance is not received. 8) The CNR order must be resolved within the 30-business day window as outlined in the CNR letter. Due date sup requests for a period greater than 30 business days, will not be accepted.

CNR disputes

1) If the CLEC has sent in a sup for a new due date or has accepted the loop, and the order continues to appear on the spreadsheet, the CLEC should call the call center at 1 –888-796-9087 and ask to be warm transferred to the Delayed order group to work the CNR issue. The call center will issue a ticket and transfer the CLEC to the Cheyenne Delayed Order Group. 2) The Delayed order tracking representative will work with the CLEC to determine what action needs to take place to insure the updated status of the order is identified.

The Team leads in the Testing groups have committed to working with the CLEC direct on acceptance issues to insure that the order is completed in all internal systems thus eliminating the CNR status and negating a cancel situation on the order.

Sincerely

Vivian Vigil Cheyenne Center-Coach CNR Orders Jeanne Whisenant Wholesale CNR Functional Support


Open Product/Process CR PC073101-3 Detail

 
Title: Interim process (until systems change) for IMA edits (7 10 digits)
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-3 Completed
10/17/2001
Ordering Centrex
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Overly, Connie
Director:
CR PM:

Description Of Change

In a separate, systems CR, Eschelon has requested a systems change to address the issue of IMA edits for 7-10 digits for Customer Forwarding Number (CFN) floats for features on Centrex lines. Qwest should develop an interim process to address this issue until a system change is made. Qwest should allow CLECs to use 10 digits on all orders, with Qwest’s Center editing the order if 7 is appropriate. Although Qwest has provided a paper guide to use for this purpose, the guide is manual and out of date. Qwest’s centers have electronic, up-to-date access to this information and can more easily make the determination.


Status History

07/30/01 - CR received from Kathy Stichter

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

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

08/09/01 - CR status will be given at the August CICMP Meeting

08/21/01 - Clarification Meeting held with Eschelon

08/23/01 - MCC issued

08/31/01 - Sent Draft Response to Eschelon

09/06/01 - Eschelon confirmed acceptance of Qwest's response

09/19/01 - CMP Meeting -Eschelon acknowledges Qwest's response and agreed to move the CR into CLEC Test.

10/17/01 - CMP Meeting: It was agreed that the CR could be "Closed."


Project Meetings

Date: Thu, 6 Sep 2001 12:27:40 -0500 Subject: FW: CR 073101-3 Draft Response From: "Stichter, Kathleen L." To: rhmart2@qwest.com

Ric, We have read the response and agree that with the formal issuance of this response we can close this CR. Thanks

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

August 21, 2001 Conference Call CRResponse073101-3.doc 866-289-7092 PCCR073101-3, Interim Process (until system change) for IMA edits (7-10) Attendees Name/Company:

Ric Martin, Qwest Kathy Rein, Qwest Kathleen Stichter, Eschelon

Meeting Agenda: Action 1.0 Introduction of Attendees Introduction of the participants on the Conference Call were made and the purpose of the call discussed 2.0 Review Requested (Description of) Change 2.1 Description of the change was reviewed. Ric clarified that Eschelon was looking for the same capability in Centrex that currently exists in IMA for CFN floats. This is to allow Eschelon to put 10 digits and the center would edit down to 7 if required. Eschelon agreed with this clarification. 2.2 Kathy Rein advised that the system currently allow the customer to enter 10 digits. This is done in the free text field. The centers can edit the number to 7 digits if necessary and would issue an MCC to the Centers 3.0 Confirm Areas & Products Impacted 3.1 This issue impacts Ordering, repair and provisioning when using the Centrex product. 4.0 Confirm Right Personnel Involved 4.1 It was confirmed that the parties involved were the correct personnel to resolve the issue. Kathy Rein indicated that her manager would have to issue a response to the CR. 5.0 Identify/Confirm CLEC’s Expectation 5.1 The ability to input 10 digits and have the centers edit down to 7 meets Eschelon’s expectations. 6.0 Identify any Dependent Systems Change Requests 6.1 There is currently a systems Change Request, SRN073001-1 and is part of the CRs to be prioritized. 7.0 Establish Action Plan (Resolution Time Frame) 7.1 Kathy Rein will issue an MCC to the Centers clarifying the requirement to edit 10 digit inputs to 7 if required by 8/24/01. Kathy Rein 7.2 Kathy Rein will review with her Manager, Susie Wells, for issuance of a formal response to the CR. Ric will follow through with a date to respond. Ric Martin


CenturyLink Response

Wholesale Product Marketing

August 31, 2001

This letter is in response to the following CLEC Change Request Forms #PCCR073101-3, dated July 30, 2001. This Change Request pertains to Customer Forwarding Number (CFN) for the Centrex products. An interim process was agreed to on August 28,2001.

Qwest will allow CLEC’s to use 7,10 or 11 digit CFNs in the Feature Detail on Centrex CRS form of the LSR.

Qwest Service Center personnel will determine the number of digits needed 7 – 10 for local call forwarding and edit the order if necessary. Updates to Service Delivery M&Ps are not required, current process is accurate.

The following measures have been implemented:

A New Multi Channel Communicator (MCC) was issued on August 23, 2001 and distributed on August 24,2001. Issued to target Qwest internal personnel in the Wholesale Order Processing and Order Resolution, Error Group and Screeners organizations. MCC Subject Centrex 21, Centrex Plus, Centron Topic of the MCC: “Call Forward Number Format.” Emphasis placed on CFN numbers on all Centrex requests being verified for proper order formatting. States included in this communication are; AZ, CO, IA, ID-N, ID-S, MN, MT, ND, NE, NM, OR, SD, UT, WA and WY.

Sincerely

Connie Overly Service Delivery Product Process


Open Product/Process CR PC073101-4 Detail

 
Title: Review of Redacted materials and parity in search capability
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-4 Completed
7/17/2002
Ordering, Billing, Repair, Prov. Other
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Thompson, Michael
Director:
CR PM:

Description Of Change

Develop a process to initially and periodically review redaction of materials to ensure that redaction is necessary and not overbroad. Also, ensure that search capability is of equal ease for Qwest and CLECs. Not all information available to Qwest is available to CLECs. For example, Qwest refers CLECs to “InfoBuddy,” but “InfoBuddy” is not available to CLECs in the same form as it is available to Qwest. CLECs access a “redacted” version of InfoBuddy. Although Qwest may have legitimate grounds for redacting certain truly proprietary information, not all information that has been redacted necessarily falls into those categories. For example, CLECs should have access to the same example forms, order examples, and other detailed information as Qwest. Qwest should provide to CLECs full information necessary to understand and order its products. For example, Eschelon asked Qwest for information relating to IDSL. Qwest referred Eschelon to InfoBuddy. Eschelon does not have access to InfoBuddy. Qwest was able to obtain more information about IDSL from InfoBuddy than Eschelon could obtain from the redacted materials. It also appeared that Qwest is able to search InfoBuddy with more ease than a CLEC can search the redacted materials. It is difficult to provide examples when we do not see the redacted information. But, based on statements by Qwest, it is apparent that Qwest is able to access more detailed information than available to CLECs. When that information would aid CLECs in ordering and provisioning, CLECs should also be able to access the information, with the same search and access capabilities available to Qwest.


Status History

07/30/01 - CR received by Kathy Stichter

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

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

08/09/01 - Clarification Meeting held with Eschelon

08/30/01 - Draft response sent to Eschelon

09/12/01 - Walk Through on Qwest Response conducted with Eschelon. Eschelon to send websites internally for comments.

09/17/01 - Follow up review meeting held with Eschelon.

09/19/01 - CMP Meeting - Qwest reviewed draft response and explained purpose of "info-buddy". Qwest to review the redacted material, revise response and issue revised draft.

10/09/01 - Posted Final Response to database.

10/17/01 - CMP Meeting: Sue McNa, Qwest presented response. Eschelon requested presentation by Michael Thompson, Qwest regarding web aspects of response. Michael was not in attendance. Michael to present in next CMP meeting (November 14, 2001). No change to "Current Status."

11/14/01 - Michael Thompson, Qwest provided status regarding the clean up effort that is underway in the Database to ensure that the appropriate documents are available. A question was asked regarding the status of the search capability. Michael explained how the search capability works and that currently search by title is not available. Although Michael is working with Information Technologies to determine if search by title can be provided. Michael will provide update in December.

12/12/01 - CMP Meeting - Michael Thompson, Qwest provided a status update indicating the following: (1) business case for funding of RPD search engine modifications is in progress, and (2) clean-up of RPD is in progress & should be completed in January 2002. Eschelon indicated that review of the RPD shows improvement in the detail and number of documents available to the CLEC community. "CR Status" remains "Development."

01/16/02 - CMP Meeting - Michael Thompson, Qwest provided a status update indicating the following: (1) business case for funding of RPD search engine modifications is in progress with the Qwest IT group; and (2) clean-up of RPD is in progress & is scheduled for a 02/02/02 completion. CLEC notification will follow completion of clean-up. CR Status remains "Development."

02/01/02 - Web Notification trnsmitted to the CLEC community regarding Resale Product Database (RPD) update (effective 02/02/02).

02/02/02 - RPD update effective.

02/20/02 - CMP Meeting - Qwest provided CR status update. CR remains in "Development" status. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/08/02 - Qwest agrees to fund RPD search engine modifications.

03/20/02 - CMP Meeting - Qwest provided status update. It was announced that the enhancements to the Resale Products Data (RPD) search engine will be deployed by the end of May 2002. CR Action Item 1 closed. It was agreed that the CR status remain in Development. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CMP Meeting - CR status Development unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/15/02 - CMP Meeting - CR status "Development" unchanged. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

05/17/02 - Systems Notice issued that stated "RPD will provide an Enhanced Search Engine beginning June 14, 2002" issued to CLECs. Reference document number SYST.05.17.02.F.04055.RPD_Enh_SrchEngn.

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

07/17/02 - CMP Meeting - Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site. CR status was changed to Completed.


Project Meetings

09/17/01 - Clarification/Walk-through Meeting Introduction of Attendees Kathy Stichter, Eschelon Ric Martin, Qwest Sue Mcna, Qwest Michael Thompson Qwest Lynn Stecklein Qwest

Introduction of participants on the Conference Call was made. The purpose of the call was to discuss Qwest’s draft response dated August 28, 2001 to determine if the response met Eschelon’s expectations. Review of Response On September 11th a meeting was held to walk through the Wholesale websites with K Stichter. She indicated she wanted her team to review the websites as well and we would discuss on September 17th. K Stichter advised that she did not feel that the Wholesale websites would meet their needs. She felt that the websites were missing information necessary for Eschelon to do business. K Stichter provided one example: Call Pick Up was found in the website as well as CCMS. However, it does not tell a customer how to activate Call Pick Up. S Mcna advised that the Wholesale Website is work in progress. Some information will not be available until the end of the year. (i.e. Centrex/resale). K Stichter understands that the website is work in progress and still does not believe that all information will be there. She could not provide any additional examples but would share as they came up. K Stichter said that she also understands the proprietary issues on viewing Info Buddy. She does not want to view proprietary information. She only wants information to conduct business. M Thompson and L Stecklein will review the redacted materials guidelines and policy. R Martin requested that we update our response and develop an action plan on further implementation of the website. Scheduled monthly meetings to discuss progress could be initiated. The goal would be to have our response and plan accepted by Eschelon and the CR go into an implementation phase for development of the WEB site

09/12/01 - A meeting was held on 9/12/01 to discuss the Qwest Response with Eschelon. Attendees: Kathy Stichter - Eschelon, Sue Mcna, Michael Thompson, Lynn Stecklein, Ric Martin - Qwest The team discussed and provided a walk through with Kathy of the websites that Michael Thompson documented in the Qwest Response. Kathy advised that she needed to send a message within Eschelon requesting that everyone review the websites to determine if the information provided would meet their needs. A meeting has been scheduled on 9/17/01 at 3:00 p.m. MT to discuss results.

Thursday 9th August 2001 Attendees: Kathleen Stichter - Eschelon Telecom/ Sue Mcna, Michael Thompson,Todd Mead - Qwest

Eschelon want to see the same level of documentation as Qwest sees, when ordering services and getting repairs. Specific examples Eschelon quoted, included order documents for Call Forwarding (CF) products including CF Busy Line and CF Don’t Answer. Also documentation relating to IDSL (unspecified).

Eschelon expect to see the same level of documentation as Qwest views when ordering services and getting repairs.


CenturyLink Response

October 9, 2001 Revised Response Re: CR PC073101-4 Review of Redacted materials and parity in search capability

Qwest has conducted further investigation into the redaction methods associated with RPD.

Redaction Guidelines are available to Qwest Process Analysts and compliance is ensured through each Process Director. The Qwest Process Helper internal website contains all the documentation the Process Analysts need and use in their jobs, including redaction procedures and training. Information to be redacted from Qwest methods and procedures prior to release in RPD include: Billing and Collections procedures Sales/Promotions procedures Internal systems procedures

RPD is updated once per day with appropriate, non-redacted, information from internal methods and procedures.

Qwest Wholesale Markets met with documentation representatives from its own department as well as Qwest Retail Consumer Markets. Based upon this meeting, Retail has assigned a Redaction SME to further coach and respond to redaction questions by Retail process analysts. In addition, managers are reviewing redaction procedures with their teams in their team meetings. Process Analysts are being instructed to review their methods and procedures for proper redaction application.

Links from InfoBuddy (Qwest’s internal methods and procedures documentation system) to other internal systems/databases are not provided to CLECs as part of the RPD; rather information from these databases that is required for the CLEC to interface with Qwest will be provided at the Wholesale website; http://www.qwest.com/wholesale.

Qwest Wholesale Markets has embarked on a documentation audit and clean-up effort. Documentation available through RPD and the Wholesale website is being compared and analyzed to ensure consistency and alignment throughout. Corrections to website documentation will be completed to ensure all documentation required by a CLEC to be able to do business with Qwest is correct and available at the Wholesale website. Product Catalog, Procedural, System, Network and Training documentation is being created and/or updated and published at the wholesale website.

Michael L Thompson Lead Marketing Comm Coordinator

Cc: Sue Mcna

August 30, 2001 Final Response Wholesale Product Marketing This letter is in response to the following CLEC Change Request Forms # PCCR073101-4, dated July 30, 2001. This Change Request pertains to the Resale Product Database (RPD). INFOBUDDY versus the RPD INFOBUDDY is an internal database repository of Qwest’s methods, procedures and processes, and is intended for internal Qwest personnel only. INFOBUDDY is referred to in the context of external customers (CLEC’s) as the “Resale Product Document (RPD)”. It is common practice for the CLEC to be made aware of the Web Based RPD during the initial training by the Account Manager. It was inappropriate for the ISC and or the Account Team to refer to the RPD as INFOBUDDY. All ISC and or Account Team Members should refer the CLECs to Qwest Wholesale Markets Web Page (http://www.qwest.com/wholesale/), or the RPD.

Accessing and searching the RPD In the fourth quarter of 2000, the RPD was moved from a downloadable UNIX tarball file to a web based application. The UNIX file was very large (over 1 Megabyte), and caused problems with downloading, loading, and accessing the information. The Web Based RPD provides a method to access and search for methods, procedures, and process information in a consistent fashion as is offered in Qwest Retail environment.

CLEC Access to order examples Qwest Wholesale Markets evaluating the feasibility and best approach to make order examples available to CLECs. Do to the inherent nature of the RPD it might be determined that order examples can not be made available within the RPD. In order for order examples to be made available to CLECs, the following list some of the issues that Qwest Wholesale Markets will need to address regarding CLECs accessing order examples: Will providing order examples enable CLECs to fill out LSRs more accurately? Where will order examples will be located? Retail contact / owner of order examples? Wholesale Markets contact / owner of order examples? Type of order examples to be made available? Time line to make available order examples?

Qwest Wholesale Markets will report back to the CICMP Group the feasibility of providing order examples by August 30, 2001.

Response: August 14, 2001 Qwest continues to explore the methodology for providing order examples as part of overall product implementation documentation efforts. A review is currently underway that examines current documentation in the area of “Ordering.” Once this review is complete, Qwest will determine the appropriate means to access service order examples. We expect to have a preliminary plan prepared by August 30, 2001.

Response: August 29, 2001 On August 23, 2001, Qwest published the Local Service Ordering Guidelines (LSOG) that contains comprehensive guidelines for the preparation of all service orders that CLECs would use for placing an order.

The LSOG documents provide detailed form-by-form, field-by-field instructions for completing local service request manually, or via IMA. The LSOG is the tool that CLECs and Resellers should use to complete service request.

The LSOG contains both blank forms and sample forms within each product order document. CLECs were notified of the publication of the LSOG on August 22, 2001. The LSOG is found on the Qwest Wholesale Markets web site at http://www.qwest.com/wholesale/clecs/lsog.html.

The Qwest Wholesale Markets Web Page provides web-based training on manually completing local service request forms in the Introduction to Service Requests and Billing course. Qwest also provides IMA Training regarding how to use the IMA GUI to submit local service requests. There is also product specific training for completing all the processes associated with submitting local service requests.

In addition to the training, and LSOG information that is available on the Qwest Wholesale Markets Web Page, there are specific product catalogs (PCATs) that contain detailed product descriptions, pricing, features / benefits, applications, prerequisites, pre ordering, ordering, provisioning, maintenance, billing, training, contacts, and frequently asked questions.

Any CLEC or Reseller that has specific examples of a product, or products that they are not satisfied with the information that is available to them on the Wholesale Markets Web Page is encouraged to submit a change request via the CICMP process. Qwest will investigate the issue, and work with the customer to determine the best plan of action to meet their information needs.

The following are some helpful URLs

Wholesale Markets Web Page http://www.qwest.com/wholesale/

Training Web Page http://www.qwest.com/wholesale/training/

Training & Notices Introduction to Service Requests & Billing for CLECs & Carriers http://www.qwest.com/wholesale/training/tsc.html

IMA "Hands On" http://www.qwest.com/wholesale/training/iltdescimahandson.html

Training – Qwest 101 “Doing Business with Qwest” http://www.qwest.com/wholesale/training/iltdescqwest101.html

Facility-Based Providers - Welcome to Qwest Interconnection! http://www.qwest.com/wholesale/pcat/interconnection.html This web page contains Interconnection business procedures, forms, and product catalogs (PCATs).

Resellers - Welcome to Qwest Interconnection! http://www.qwest.com/wholesale/pcat/resale.html This web page contains Resell business procedures, forms, and product catalogs (PCATs).

Interconnect Mediated Access GUI http://www.qwest.com/wholesale/ima/gui/index.html

Service Intervals http://www.qwest.com/wholesale/guides/sig/index.html

Qwest USOC/FID Finder http://usocfidfind.uswest.com/prodquery/usocSearch.html

Michael L Thompson Lead Marketing Comm Coordinator


Open Product/Process CR PC073101-5 Detail

 
Title: Improve ZAP process and turn around time and post orders promptly
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-5 Completed
10/17/2001
Ordering Resale, Unbundled Loop, UNE-P, Other
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Coyne, Mark
Director:
CR PM: Thomte, Kit

Description Of Change

Qwest has indicated that it will post orders to CLEC billing accounts by the next bill cycle after the order is completed. In addition, Qwest said that an order completing on the last day of a month may not post by the next day, and the CLEC should allow time for the order to post on the next billing cycle. Therefore, if an order completes one day after a bill cyle, Qwest has at least 30 days to post it. When an order contains errors that prevent flow through to posting, the order falls to manual handling and is sent to a process called “ZAP.” If the order had not fallen to manual handling, it would have been posted within 1-3 days. When an order goes to “ZAP,” however, the period is much longer. Qwest says that it has the rest of the bill cycle to correct the errors in the order so that the order will post. If Qwest is going to send orders to “ZAP,” it needs to improve the turnaround time so that the posting of orders is not unreasonably delayed. If the ZAP turnaround time is not improved so that orders post within 1-3 days, CLECs will encounter problems when attempting to issue supplemental orders. In addition, Qwest should provide contact information and a process for resolving issues that have been sent to “ZAP.”


Status History

07/30/01 - CR received by Kathy Stichter

07/31/01 - Status changed to New – To be Reviewed 8/10/01 - Alignment meeting held 8/14/01 MCC issued and draft response prepared for discussion at next CICMP

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

08/09/01 - CR status will be given at the August CICMP Meeting

08/10/01 - Clarification Meeting Held with Eschelon

08/13/01 - MCC issued

08/28/01 - Draft response sent to Eschelon

08/29/01 - Eschelon responded indicating the process sounded good if the people would use it. She sighted a recent example of a person saying they would not open a ticket because 30 days to work on the issue. Kathy asked if I would look into this

08/31/01- Sent email response to issue identified in 08/29/01 conference call

09/06/01 - Qwest sent confirmation on the additional distribution of the MCC.

09/07/01 - Eschelon confirmed acceptance of Qwest's response.

09/14/01 - Qwest issued response to Eschelon

09/19/01 - CMP Meeting - Eschelon advised that 09/18/01 a Qwest Center didn't follow the process. Qwest will investigate. Eschelon acknowledges Qwest's response and agreed to move the CR into CLEC Test.

10/09/01 - Mark Coyne spoke with Eschelon to see if other issues had occurred at this time. None were identified.

10/17/01 - CMP Meeting: It was agreed that the CR could be closed.


Project Meetings

09/07/2001 08:36:40 Stichter, Kathleen L. AM To: kthomte@qwest.com cc: "Johnson, Bonnie J." Subject: FW: FW: PCCR 073101-5 ZAP process turn around time

Kit, Thanks for the documentation. We are satisfied with the process. We can close this CR with the hope that everyone will follow the process. Thanks again.

Kathy Stichter ILEC Relations Manager Eschelon Telecom Inc Voice 612 436-6022 E-Mail klstichter@eschelon.com

09/06/01 Subject: Re: FW: PCCR 073101-5 ZAP process turn around time From: "Kathleen Thomte" To: "Stichter, Kathleen L."

Kathy, I am attaching the distribution from the MCC associated with the ZAP process PCCR. Anyway as you scroll through you will see that it was sent to the coach at Aegis as well as the managers in the centers. I hope this will close this one out. Drop me an e-mail and let me know for sure. Thanks! Kit Thomte 303 896-6776

08/31/2001 04:28 PM Email To: klstichter@eschelon.com cc:

Subject: PCCR 073101-5 ZAP process turn around time Kathy,

I have been working with Christine Siewert in Minneapolis regarding PCCR 073101-5 ZAP process turn around time. Yesterday I received your e-mail indicating that the process is great but some work needed to be done to ensure that employees that deal with escalations understand the process. Bonnie Johnson outlined a specific example where a Tier 0 employee believed the time frame was thirty days. I verified which groups had actually received the Multi Channel Communicator initially and determined that the target audience needed to be expanded to include other work groups beyond those people correcting errors. The additional work groups were covered on this process on August 30th per Christine Siewert. I believe we have resolved this issue based on the coverage of additional work groups that have been advised of this process. If we need to discuss this issue further please contact me to set up a meeting early next week. Thanks,

August 10th, 2001 Attendees: Kathy Stichter & Bonnie Johnson - Eschelon, Todd Mead & Mark Coyne - Qwest CLEC Expectations Eschelon's expectations is for Qwest to commit to a standard order posting time-frame, regardless of the next billing cycle Once the time-frame is established. Eschelon needs to know the correct escalation procedure to use if this time- frame is not met.

Action Plan Mark will prepare a draft written including the process, time-frame and escalation procedure by August 17th. Mark will also prepare and send out a notification to all centers communicating the time-frame and escalation procedure in relation to the ZAP process. The draft written response will contain a copy of this notification. Kit worked with center Mgr. To get MCC covered with appropriate workgroup

MCC Sent out: August 13, 2001 Critical MCC Subject: Error Correction


CenturyLink Response

September 14, 2001 Wholesale Product Marketing Eschelon Telecom Kathy Stichter

This letter is in response to the following CLEC Change Request Forms #PCCR073101-5 dated July 30, 2001. This Change Request pertains to the ZAP process and turn around time.

The Qwest standard for ZAP resolution is 5 days. This is measured from the time the order completes in the SOP (Service order processor)to the time it post in CRIS.

In order to ensure the (5) day measure, the ISC should be working on an in-today out-today basis for CRIS errors. Every order in CRIS error should have an attempt made for correction on day (1). Should the order return to an error status on day (2), it should be worked before the orders on day (1) of CRIS error. Should an order error on day (3), the order should be referred to a SME within the center for resolution or referral to a CRIS programmer. Orders should be referred to a programmer no later than day (3) of CRIS error to ensure the (5) day measure it met.

If the CLEC determines that this is not occurring as it should they are to contact the ISC for assistance and follow the existing escalation process by calling 1-888-796-9087. The agent will assist the CLEC by opening a ticket and making sure the ticket gets forwarded to the proper group handling error correction.

An MCC ( Multi Channel Communicator) will be sent out all Center managers, team coaches and SDC’s handling error correction. This notice will go out effective 8/14/01. On August 30th the MCC distribution was expanded to include all Center managers and agents that represent Qwest.

Sincerely Mark Coyne Team Lead Process


Open Product/Process CR PC073101-6 Detail

 
Title: Process to consistently pull translations upon acceptance or order for loop with LNP
CR Number Current Status
Date
Area Impacted Products Impacted

PC073101-6 Completed
1/16/2002
Repair Unbundled Loop, LNP
Originator: Stichter, Kathy
Originator Company Name: Eschelon
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

In some cases, for orders for unbundled loop with LNP, Qwest completes CLEC orders to remove lines from Qwest switches before necessary work is done. Qwest does not pull the telephone numbers associated to the lines from its switches. Until it does so, CLEC’s customers experience trouble and cannot receive calls from Qwest customers (often within the same switch). Qwest should establish a process to ensure that Qwest consistently pulls translations upon acceptance of order.


Status History

07/30/01 - CR received by Kathy Stichter

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

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

08/09/01 - CR status will be given at the August CICMP Meeting

08/29/01 - Clarification Meeting Held with Eschelon

08/31/01 - Draft response sent to Eschelon

09/19/01 - CMP Meeting - Eschelon advised that the response didn't answer their CR. Qwest to readdress and issue revised response.

10/02/01 - Sent Updated Final response to Eschelon including requested updates.

10/17/01 - CMP Meeting: Reviewed Qwest response. Qwest to revise response to include current process and address network issues involved with switches.

11/01/01 - Sent Updated Final Response dated October 30, 2001 to Kathy Stichter at Eschelon.

11/14/01 - CMP Meeting - It was agreed that the CR could be moved into CLEC Test.

11/19/01 - Matt Rossi distributed revised Final Response dated 11/16/01 to CLEC Community.

11/19/01 - Forwarded revised Final Response dated 11/16/01 to Eschelon.

12/12/01 - CMP Meeting - Qwest reviewed the response to Action Items. Eschelon addressed its previous escalated trouble ticket. Qwest to set-up an internal meeting to review Qwest's root cause analysis and provide feedback.

01/16/02 - CMP Meeting - Qwest reviewed the response to Action Item 3. Escehlon agreed to close the CR. If they have future problems, they will open a new CR and reference back to this CR.


Project Meetings

08/29/01 - Establish a process to consistently pull translations upon acceptance of order for loop with LNP Confirm Areas & Products Impacted Areas: Repair and Provisioning Products: LNP & Unbundled Loop Confirm Right Personnel Involved Lorna is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Joan will provide a written response to include feedback on the individual problem identified in the CR (PON MN102820DMM) Nancy will remain included in all correspondence on this issue Identify/Confirm CLEC’s Expectation Eschelon would like the see a process established to ensure Qwest consistently pulls translations upon acceptance of order Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Joan has investigated PON MN102820DMM (example included in CR), with the involvement of the translation group and will forward a written response document to Lorna by


CenturyLink Response

November 16th, 2001 Final Response

Ms. Kathleen Stichter Eschelon Telecom

Dear Ms. Stichter:

A conference call was conducted with Eschelon on August 29th, 2001 at which time Qwest Product and Process reviewed and responded to the CR PCCR073101-6, Title of Change: Process to consistently pull translations upon acceptance of order for loop with LNP.

The problem was specific and noted an example of a block of 100 DID numbers that were not removed from switch translations in a timely manner, causing problems with the end user customer receiving incoming calls from other callers within the same switch.

The switch is noted as the 612 928 MPLSMNBEDS0 5E Switch. There is a current process in the 5E switch for setting the ten digit unconditional trigger automatically. Upon completion of this process and the port activity, this allows correct routing of calls, even though the translations may or may not have been disconnected. It has been confirmed that translation’s should be completed by the frame due time indicated on the Port order.

Because of the delay in time, investigating this exact situation was not possible Qwest has not received any additional examples of order activity in which the triggers or translations have caused problems for the end users. It has been determined that this was an isolated incident. Systems occasionally do have problems and in this instance, perhaps the triggers were not set properly. The process of setting triggers and releasing translations has been verified and is in order, so it is unclear as to why this situation occurred. Provided the mechanized triggers are being set properly, this concern of not pulling the translation’s in association with acceptance of the loop, should not affect the end user’s service and their ability to receive incoming calls, even if there is a delay in pulling the translation’s.

Eschelon has been advised that should they incur the situation in the future, they can contact Qwest for immediate investigation.

Should the CLEC require immediate release of translations upon activation of the Port, they may contact the ISC Call Center, 888-796-9087and open up an Escalation ticket. The Escalation representative can then contact the appropriate Qwest department to have the translations removed. The CLEC may contact the ISC Call Center 48 hours prior to and after the port due date. After that time, the CLEC must contact the Qwest AMSC repair group 1 800-223-7881 for assistance.

Through further discussion, it has been determined that additional information is needed in this response. The issues are as follows:

1.) Describe the current process of pulling translation’s associated with an Unbundled Loop with LNP.

Different types of coordinated and non-coordinated installs are offered on Unbundled Loop with LNP.

Coordinated * Clec currently indicates DFDT (Desired Frame Due Time) on Local Service Request, this time is placed on Qwest order for the install time of the UBL * CHC field populated * FDT (Frame Due Time) on Port Out C/D disconnect order is 11pm * When loop order is complete, implementor calls the switch translation’s to the complete the port C/D order, removing switch translations

Non-Coordinated * Clec currently indicates DFDT (Desired Frame Due Time) on Local Service request, this time is placed on Qwest order for the install time of the UBL * FDT (Frame Due Time) on the Port Out C/D disconnect order is 6pm. * Loop order is completed at DFDT (Desired Frame Due Time) and switch translations are disconnected automatically at 6pm.

Additional information on the Unbundled Loop Product, along with all types of installation’s available is located in the Qwest Product catalog at: http://qwest.com/wholesale/pcat/unloop.html

2.) Matrix on Network Switch types indicating when the 10 digit mechanized trigger can be set. (See Supplemental Information following this detail report for the Matrix)

Often, the number port is activated by the new Network Service Provider (NSP) prior to the designated FDT (Frame Due Time) of 6pm on non-coordinated loop with LNP. As long as, the 10 digit mechanized trigger has been set, correct call routing will take place until such time that the actual switch translation’s are disconnected. In those switch types where Qwest cannot set the 10 digit mechanized triggers, translation’s will not be removed until the 6pm time frame. This overlap of switch translations helps to ensure a smooth number port transition, until both the loop and number port are complete. Should the Clec require that the switch translations be disconnected prior to the 6pm time frame, they can contact the Interconnect Call Center and open an escalation request, otherwise this is an automated process and should be completed by 6pm to ensure correct call routing.

Action item from November CMP call: If the frame due time is 6pm to pull down the translations and the loop was installed at 12pm, Can we call to have the translations removed at 1pm? Yes, the Clec can call the ISC Call Center and open an escalation ticket requesting that the translations be pulled down earlier than the 6pm time frame. If this is done what will happen at 6pm? Nothing. The translations will have already been pulled down and the order would show as being worked in the system already. The order would simply go on to complete out and no changes to the translations would occur, because the work would show as already being done.

Sincerely, Joan Wells LNP Process Manager

-

October 30, 2001 FINAL RESPONSE

Ms. Kathleen Stichter Eschelon Telecom

Dear Ms. Stichter:

A conference call was conducted with Eschelon on August 29th, 2001 at which time Qwest Product and Process reviewed and responded to the CR PCCR073101-6, Title of Change: Process to consistently pull translations upon acceptance of order for loop with LNP.

The problem was specific and noted an example of a block of 100 DID numbers that were not removed from switch translations in a timely manner, causing problems with the end user customer receiving incoming calls from other callers within the same switch.

The switch is noted as the 612 928 MPLSMNBEDS0 5E Switch. There is a current process in the 5E switch for setting the ten digit unconditional trigger automatically. Upon completion of this process and the port activity, this allows correct routing of calls, even though the translations may or may not have been disconnected. It has been confirmed that translation’s should be completed by the frame due time indicated on the Port order.

Because of the delay in time, investigating this exact situation was not possible Qwest has not received any additional examples of order activity in which the triggers or translations have caused problems for the end users. It has been determined that this was an isolated incident. Systems occasionally do have problems and in this instance, perhaps the triggers were not set properly. The process of setting triggers and releasing translations has been verified and is in order, so it is unclear as to why this situation occurred. Provided the mechanized triggers are being set properly, this concern of not pulling the translation’s in association with acceptance of the loop, should not affect the end user’s service and their ability to receive incoming calls, even if there is a delay in pulling the translation’s.

Eschelon has been advised that should they incur the situation in the future, they can contact Qwest for immediate investigation.

Should the CLEC require immediate release of translations upon activation of the Port, they may contact the ISC Call Center, 888-796-9087and open up an Escalation ticket. The Escalation representative can then contact the appropriate Qwest department to have the translations removed. The CLEC may contact the ISC Call Center 48 hours prior to and after the port due date. After that time, the CLEC must contact the Qwest AMSC repair group 1 800-223-7881 for assistance.

Through further discussion, it has been determined that additional information is needed in this response. The issues are as follows:

1.) Describe the current process of pulling translation’s associated with an Unbundled Loop with LNP.

Different types of coordinated and non-coordinated installs are offered on Unbundled Loop with LNP.

Coordinated *Clec currently indicates DFDT (Desired Frame Due Time) on Local Service Request, this time is placed on Qwest order for the install time of the UBL *CHC field populated *FDT (Frame Due Time) on Port Out C/D disconnect order is 11pm *When loop order is complete, implementor calls the switch translation’s to the complete the port C/D order, removing switch translations

Non-Coordinated *Clec currently indicates DFDT (Desired Frame Due Time) on Local Service request, this time is placed on Qwest order for the install time of the UBL FDT (Frame Due Time) on the Port Out C/D disconnect order is 6pm. *Loop order is completed at DFDT (Desired Frame Due Time) and switch translations are disconnected automatically at 6pm.

Additional information on the Unbundled Loop Product, along with all types of installation’s available is located in the Qwest Product catalog at: http://qwest.com/wholesale/pcat/unloop.html

2.) Matrix on Network Switch types indicating when the 10 digit mechanized trigger can be set. (See document for matrix)

Often, the number port is activated by the new Network Service Provider (NSP) prior to the designated FDT (Frame Due Time) of 6pm on non-coordinated loop with LNP. As long as, the 10 digit mechanized trigger has been set, correct call routing will take place until such time that the actual switch translation’s are disconnected. In those switch types where Qwest cannot set the 10 digit mechanized triggers, translation’s will not be removed until the 6pm time frame. This overlap of switch translations helps to ensure a smooth number port transition, until both the loop and number port are complete. Should the Clec require that the switch translations be disconnected prior to the 6pm time frame, they can contact the Interconnect Call Center and open an escalation request, otherwise this is an automated process and should be completed by 6pm to ensure correct call routing.

Sincerely, Joan Wells LNP Process Manager

-

October 2, 2001 Wholesale Product Marketing Ms. Kathleen Stichter Eschelon Telecom

Re: Final Response for PCCR073101-6: Establish a process to consistently pull translations upon acceptance of order for loop with LNP Dated 07-30-01

Dear Ms. Stichter:

A conference call was conducted with Eschelon on August 29th, 2001 at which time Qwest Product and Process reviewed and responded to the CR PCCR073101-6, Title of Change: Process to consistently pull translations upon acceptance of order for loop with LNP.

The problem was specific and noted an example of a block of 100 DID numbers that were not removed from switch translations in a timely manner, causing problems with the end user customer receiving incoming calls from other callers within the same switch.

The switch is noted as the 612 928 MPLSMNBEDS0 5E Switch. There is a current process in the 5E switch for setting the ten digit unconditional trigger automatically. Upon completion of this process and the port activity, this allows correct routing of calls, even though the translations may or may not have been disconnected. It has been confirmed that translation’s should be completed by the frame due time indicated on the Port order.

Because of the delay in time, investigating this exact situation was not possible. Qwest has not received any additional examples of order activity in which the triggers or translations have caused problems for the end users. It has been determined that this was an isolated incident. Systems occasionally do have problems and in this instance, perhaps the triggers were not set properly. The process of setting triggers and releasing translations has been verified and is in order, so it is unclear as to why this situation occurred. Provided the mechanized triggers are being set properly, this concern of not pulling the translation’s in association with acceptance of the loop, should not affect the end user’s service and their ability to receive incoming calls, even if there is a delay in pulling the translation’s.

Eschelon has been advised that should they incur the situation in the future, they can contact Qwest for immediate investigation. Should the CLEC require immediate release of translations upon activation of the Port, they may contact the ISC Call Center, 888-796-9087and open up an Escalation ticket. The Escalation representative can then contact the appropriate Qwest department to have the translations removed. The CLEC may contact the ISC Call Center 48 hours prior to and after the port due date. After that time, the CLEC must contact the Qwest AMSC repair group 1 800-223-7881 for assistance.

Sincerely, Joan Wells LNP Process Manager


Open Product/Process CR PC032801-5 Detail

 
Title: Legacy CR Re institute notification structure to allow CLECs to receive mail out notices by classification
CR Number Current Status
Date
Area Impacted Products Impacted

PC032801-5 Completed
4/18/2001
Originator: Powers, Lynne
Originator Company Name: Eschelon
Owner:
Director:
CR PM:

Description Of Change

On August 25, 2000, Qwest distributed a notice to CLECs in which Qwest stated: "We have had requests from you our customers asking that Qwest have the ability to separate our notifications, and send those notifications to specific persons at your company. We are pleased to announce that we are now ready to implement such a notification structure" (copy of notice attached). At that time, Eschelon did not need to take advantage of the notification structure. Since then, the number of notices have increased, and it is inefficient for both Eschelon and Qwest to continue to send the notices without separating them. Notices do not reach the correct parties and, as a result, both companies spend time dealing with inquiries about products and requests for notices that could have been avoided if the notices reached the appropriate parties. Therefore, Eschelon asked to take advantage of the notification structure, which has only been in place since August. Qwest’s Senior Service Manager indicated that there is no longer a way to separate these emails by category. Please re-institute the notification structure to allow CLECs to receive mail-out notices by classification. If the emails are more targeted, they are more likely to achieve Qwest’s objective in sending them.


Status History

3/26/01 - CR Received from Karen Clauson of Eschelon

3/28/01 - CR Logged and status changed to New - To be Industry Evaluated

3/28/01 - Updated CR sent to Karen Clauson, Lynne Powers and Jessica Johnson of Eschelon.

4/06/01 - Status changed to Reviewed - Under Consideration

4/06/01 - Updated CR sent to Lynne Powers, Jessica Johnson, Karen Clauson and Janet Houston

4/18/01 - Status changed to Complete as per April CICMP Industry Forum

4/23/01 - Updated CR sent to Lynne Powers, Jessica Johnson, Karen Clauson and Janet Houston

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR PC120301-1 Detail

 
Title: Porting of Centrex designated numbers
CR Number Current Status
Date
Area Impacted Products Impacted

PC120301-1 Completed
1/16/2002
Provisioning
Originator: Nikolaisen, Greg
Originator Company Name: HBC Telecom
Owner: Wells, Joan
Director:
CR PM:

Description Of Change

We get numbers that are resold to McCleod that have been marked as "Centrex", and cannot be ported in the normal way. These either have not been portable, or have taken weeks to accomplish, wasting both of our man hours to get it done manually. We need to have these ported just like any normal number. These are not really Centrex numbers in reality, somehow they have been marked as Centrex when they were resold to McCleod.


Status History

11/30/01 - CR received from HBC Telecom.

12/03/01 - E-Mail Acknowledgement issued to HBC Telecom.

12/03/01 - Greg Nikolaisen, HBC Telecom, contacted via voice mail indicated Greg will be out of office through 12/5/01. Sent e-mail requesting available dates for clarification meeting and requesting examples.

12/06/01 - Conducted Clarification Meeting with HBC Telecom.

12/12/01 - CMP Meeting - HBC was not on the call to present its CR. Qwest reviewed what was discussed at the Clarification meeting. CR Status to change to Clarification.

12/18/01 - Issued Meeting Minutes to HBC Telecom.

01/10/02 - E-mail received from HBC Telecom indicating that they are not experiencing any further problems.

01/11/02 - Issued Qwest's Draft Response dated 1/10/02 to HBC Telecom.

01/16/02 - CMP Meeting - Qwest presented its Draft Response. Qwest indicated that HBC had confirmed via e-mail that the issue had been fixed. It was agreed that the CR could be closed.

01/21/02 - Issued Qwest's Response dated 1/10/02 to CLEC Community.


Project Meetings

Subject: CMP for Centrex portiing Date: Thu, 10 Jan 2002 16:20:32 -0600 From: greg.nikolaisen@hbci.com To: rhmart2@qwest.com CC: barbf@hbci.com, chagedorn@hbci.com

Rick,

With the changes that were done, the reason that we opened the CMP has been fixed. We now can port Centrex designated numbers. The need for this CMP is gone. Please cancel.

Thanks for the help on this matter.

Greg Nikolaisen

-

CLEC Change Request Clarification Meeting

December 6, 2001, 3:00 p.m. (MT) Conference Call 877-564-8688 PC1120301-1, Porting Centrex Designated Numbers

Attendees: Ric Martin, Qwest Joan Wells, Qwest Susie Wells, Qwest Greg Nikolaisen, HBC Telecom Barb Ferguson, HBC Telecom

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

Review Requested (Description of) Change Greg indicated that they had no problems porting numbers from Qwest, except for numbers that are designated as Centrex. These were numbers apparently resold to McLeodUSA, or another reseller. Greg advised that the problem was encountered when they were trying to enter the order into IMA-GUI. He indicted that they had one order that they were trying to work for weeks and Joshua Nielson, Qwest, was able to get it to all of a sudden go through IMA. Greg thought the system might be looking for the main Centrex group number. Qwest questioned the HBC’s interface to the NPAC. HBC indicated that they weren’t having any problems once the order made it into NPAC. HBC advise that they were have to put in a due date the day before 18:00 hours the due date in IMA. Qwest advised that the due dates should be the same. It was explained that this shouldn’t be a problem. Qwest looked up the reference order LSR 3578825, 3 TNs, and confirmed they were a Centrex line. Qwest also confirmed the due dates were in NPAC. Qwest showed the due date in IMA as the 9th. Qwest asked HBC to provide previous examples that Qwest could research. Susie explained that there has been problems in the east with Centrex orders and that Qwest was relaxing the edit. Qwest thought this might correct the problem. HBC is to try and recreate the situation with Qwest on the line. HBC will contact Joan Wells (801) 239-4597 on Monday. It was felt that this was more of an IMA issue than a Porting process issue.

Confirm Areas & Products Impacted The product identified was the area being impacted.

Confirm Right Personnel Involved Joan Wells is the SME for LNP and Susie Wells is the SME for Centrex

Identify/Confirm CLEC’s Expectation HBC wants the porting (ordering) of TNs with Centrex designations to happen as planned. HBC would like to determine the root cause for the problem.

Identify any Dependent Systems Change Requests There is no dependent systems CR.

Establish Action Plan (Resolution Time Frame) HBC to provide examples and try to recreate the problem with Qwest on-line. Qwest to investigate the issues. Qwest advised that the path forward would be as follows: ? Since this CR was received after the 3 weeks prior to the CMP, McLeodUSA will present this CR at the December CMP Meeting. ? The CR will have the collective CLEC clarification at the January CMP Meeting. ? Qwest will begin to identify solutions that can be offered at the January CMP Meeting. ? Qwest will develop its response for the February’s CMP Meeting

--

Subject: CR PC120301-1 Date: Mon, 03 Dec 2001 15:23:01 -0700 From: Richard Martin Organization: Qwest Communications International, Inc. To: "Nikolaisen, Greg"

Greg,

I understand from your voice mail that you will be out until Wednesday. I wanted to see what dates would be good for you to set-up a clarification call with Qwest's SME. Also, in reading the CR, it would be benificial if you could have some examples provided for Qwest to look into.

Please respond by e-mail or phone.

Thanks

Ric 303-896-9823


CenturyLink Response

Wholesale Product Marketing

January 10, 2002

Mr. Greg Nikolaisen, HBC Telecom

This letter is in response to Change Request, PC120301-1 – Porting of Centrex Designated Numbers from Qwest.

Description of Problem: The CLEC encountered problems specifically in the Eastern Region, when trying to enter orders into the GUI to port numbers. The problem was occurring only when the numbers that the CLEC was trying to Port were residing on a CTX.

In Qwest’s Eastern Region, there was a problem when trying to cross reference a working CTX telephone number to the main BTN of the CTX. This internal error, along with an edit in the GUI that was effective in the 8.0 release was causing the GUI to reject any CSR requests saying the number could not be found or was invalid. The problem was corrected internally on December 18th,and the edit was relaxed in the GUI. Any numbers that are a part of a CTX should cross reference appropriately to the main BTN allowing the CLEC to pull the WTNs in order to place their order to Port correctly.

Sincerely, Susie Wells Centrex Process Manager


Open Product/Process CR PC121101-1 Detail

 
Title: Add design contact's name to the CNR
CR Number Current Status
Date
Area Impacted Products Impacted

PC121101-1 Completed
2/20/2002
Provisioning Unbundled Loop, UNE
Originator: Whitson, Carol
Originator Company Name: McLeodUSA
Owner: Martain, Jill
Director:
CR PM:

Description Of Change

McLeod is requesting Qwest to make modification to the "customer not ready" spreadsheet and add the CLECs design contact's name as a column on the spreadsheet. When McLeod receives the spreadsheet, we have to manually look up every order to determine who the original order writer was. Once the order writer is identified, we forward the notification to them so they can follow up appropriately with Qwest.


Status History

12/11/01 - CR Submitted by Christine Mohrfeld, McLeod

12/11/01 - Acknowledgement of Submitted Change Request sent to McLeod

12/12/01 - CR posted to the web

12/18/01 - Held clarification call with McLeod, status changed to 'Clarification'

12/19/01 - Draft clarification meeting minutes issued to McLeod

12/19/01 - Qwest CR owner changed to Jill Martain

01/02/02 - Talked to Christine Mohrfeld about Mcleod's action from the clarification call, she will research.

01/04/02 - E-mail from Qwest asking Luanne to follow up on McLeod action

01/04/02 - E-mail from McLeod requesting jeopardy notifications via EDI

01/07/02 - The centers begin to send all McLeod jeopardy notices via EDI today

01/16/02 - January CMP meeting. Qwest presented a verbal response stating that McLeod is now receiving jeopardy notifications via EDI; therefore, this CR is no longer required. CLECs agreed to close if Qwest obtains an e-mail from Michelle Sprague (McLeod) concurring with Qwest.

01/17/02 - Qwest sent e-mail to McLeod requesting that they concur with closing CR

02/01/02 - Qwest sent response dated 02/01/02 to McLeod

02/20/02 - February CMP meeting: Qwest response dated 02/01/02 presented to CLECs. Qwest received voice mail from McLeod confirming request had been met. CLECs agreed to close CR. CR status changed to "Completed" Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02

02/21/02 - E-mail from McLeod confirming closure of this CR

02/22/02 - Formal response dated 02/01/02 issued to CLECs - Document Number: CMPR.02.22.02.F.01229.CR_Responses

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


Project Meetings

2/21/02 - E-mail from McLeod confirming closure of this CR

Subject: Re: PC121101-1 "Add design contact's name to the CNR" Date: Thu, 21 Feb 2002 10:27:42 -0600 From: "Whitson, Carol" To: Todd Mead Todd, Please close out the CMP PC121101-1. We no longer need this change. Thanks Carol

2/21/02 - E-mail from Qwest asking for written confirmation of CR closure

From: Todd Mead on 02/21/2002 09:18 AM To: Carol Whitson/MCLEOD@MCLEOD cc: "Martain, Jill" Subject: PC121101-1 "Add design contact's name to the CNR" Carol, I received your voice mail yesterday confirming McLeod's request detailed in PC121101-1 has been met - thanks. I passed this message onto the general CLEC community at yesterday's CMP Product & Process meeting. They are happy to close this CR as long I receive written confirmation from you. So could you please reply to this e-mail confirming McLeod are happy to close this CR. Thanks

01/17/02 E-mail from Qwest asking for McLeod to concur with closing CR

Subject: PC121101-1 Add Design Contact's Name to the CNR Date: Thu, 17 Jan 2002 08:25:53 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: msprague@mcleodusa.com CC "Martain, Jill" , dmbowers@mcleodusa.com Michelle, At yesterday's P&P CMP meeting, Qwest presented their verbal response to PC121101-1. Qwest believes that now McLeod are receiving Jep notifications via EDI, you no longer need the extra column on the CNR spreadsheet displaying the order writer (as was requested in your CR). Diane was not familiar with this issue and asked that I get your concurrence before we close this CR. Can you please respond and let us know if we can close this CR. If you don't agree with this approach please let us know which direction this CR should take. If you have any questions, please don't hesitate to call me. I have attached the CR and relevant documentation for your information. Thanks Todd Mead

01/04/02 E-mail from McLeod requesting jeopardy notifications via EDI

Subject: Jeopardy Notices Date: Fri, 4 Jan 2002 12:07:35 -0600 From: "Mohrfeld, Christine A." To: jvilks@uswest.com CC: jmartai@uswest.com, tmead@uswest.com, "Sprague, Michelle L." , "Whitson, Carol" McLeod would like to make it a requirement of Qwest to provide all jeopardy notifications to McLeod via EDI. These jeopardy notices should include facility held orders, customer not ready issues, etc. I would also like to request the Customer not ready letters be faxed directly to the original order writer. McLeod would provide the fax number on our orders. Please let me know when this can be implemented. Thanks Christine

01/04/02 E-mail from Qwest asking Luanne to follow up on McLeod action

Subject: PC121101-1 Add Design Contact's Name to the CNR Date: Fri, 04 Jan 2002 07:56:31 -0700 From: Todd Mead Organization: Qwest Communications International, Inc. To: lhazen@mcleodusa.com CC: "Martain, Jill" Luanne Hazen, I understand you have taken over from Christine Mohrfeld as the McLeod representative for CRs? When we had the clarification call for this CR on the 18th of December, Christine accepted an action to investigate why McLeod are not requesting Jep Notifications via EDI? Could you please follow up on this action. Thanks Todd

Clarification Call 3:00 p.m. (MDT) / Tuesday 18th December 2001

Attendees: Jill Martain / Qwest Vivian Vigil / Qwest Todd Mead / Qwest Christine Mohrfeld / McLeod Lou-Ann Hazen / MeLeod

Review Description of Change: Qwest asked for clarification on the order writer, is this order writer the same as the LSR originator? McLeod confirmed that it was. Qwest asked why McLeod dos’nt request Jep notification via EDI which will solve this problem? McLeod is currently receiving FOC notifications via EDI. McLeod will investigate and report back to Qwest.

Products: Unbundled Loop, UNE Areas: Provisioning

Identify/Confirm CLEC’s Expectation: McLeod would like to replace the current manual process for identifying the LSR originator on the CNR spreadsheet.

Establish Action Plan: Christine will investigate why McLeod are not requesting Jep notification via EDI and will report back by this Friday (12/21/01).


CenturyLink Response

FORMAL RESPONSE

February 1, 2002

Carol Whitson ILEC Relation Account Manger McLeod USA

CC: Sue Burson

This letter is in response to your CLEC Change Request Form, number PC121101-1 - Add Design Contact's Name to the CNR.

REQUEST: McLeod is requesting Qwest to make modification to the "customer not ready" spreadsheet and add the CLECs design contact's name as a column on the spreadsheet. When McLeod receives the spreadsheet, we have to manually look up every order to determine who the original order writer was. Once the order writer is identified, we forward the notification to them so they can follow up appropriately with Qwest.

RESPONSE: Qwest held a clarification meeting with McLeod on the 18th December 2001. During this meeting, it was confirmed the ‘order writer’ McLeod was referring to is the same person as the ‘LSR Originator’. Qwest subsequently had discussions with McLeod questioning the reasons that they are not currently receiving jeopardy notices via EDI. As a result of the discussion, McLeod advised Qwest that they would prefer receiving their jeopardy notifications via EDI and submitted an e-mail requesting the change. Qwest believes that when McLeod receives this information via EDI they will no longer require an additional column on the CNR spreadsheet displaying the order writer.

McLeod began to receive jeopardy notifications via EDI on the 1st January 2002. Qwest believes the intent of this CR has now been met.

Sincerely,

Jill Martain Manager of Process Management


Open Product/Process CR PC112901-2 Detail

 
Title: TIC Charge Credit Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC112901-2 Denied
2/20/2002
Billing, Maintenance/Repair Centrex, Private Line, Resale, Unbundled Loop, UNE,
Originator: Bowers, Diane
Originator Company Name: McLeodUSA
Owner: Suellentrop, Craig
Director:
CR PM:

Description Of Change

Qwest has begun charging for trouble isolation charges. In numerous instances, the Qwest tech is dispatched and finds no trouble found when test to the dmarc. The trouble still exists and we will request the tech to be dispatched again. This time the tech finds the trouble on Qwest's network. The original trouble isolation charge should not be charged since the trouble was isolated to Qwest. Qwest is currently unable to stop the billing of the TIC charge or issue on the spot a credit to cover the charge issued the day before. It requires McLeod to research every TIC charge and determine if it was a valid charge. This is very time consuming and requires resources that we do not have. McLeod would like to request a process be developed to design services. They are calling the CLEC before closing a ticket if there is a charge generated from that ticket. Another suggestion is to provide the ability to the Qwest repair screeners to initiate the credit when McLeod communicates the event of a previous ticket being opened and closed with no trouble found. This would need to apply to resale and UNE trouble tickets.


Status History

11/28/01 - CR Received from McLeodUSA.

11/29/01 - E-Mail Acknowledgement issued to McLeodUSA.

11/30/01 - Contacted McLeodUSA via voice mail messages and confirmed availability any time between 12/4 - 12/7.

12/04/01 - Conducted Clarification Meeting with McLeodUSA.

12/06/01 - Issued Clarification Meeting Minutes to McLeodUSA.

12/12/01 - CMP Meeting - McLeod was not on the call to present its CR. Qwest reviewed what was discussed at the Clarification meeting. CR Status to change to Clarification.

12/27/01 - Christine Mohrfeld is out of the office through 1/2/02. Sent e-mail request for example.

01/03/02 - Telecon with Christine Mohrfeld - she is transitioning the responsibilities for this CR to Diane Bowers and she is working on providing the examples.

01/04/02 - Sent Dian Bowers e-mail for additional clarification meeting on Tuesday 1/8/02.

01/08/02 - Additional clarification meeting scheduled with McLeodUSA for 01/11/02.

01/11/02 - Conducted additional Clarification Meeting with McLeodUSA.

01/16/02 - CMP Meeting - the CR was discussed with the CLEC participants and Qwest provided various options. It was agreed that the CR could move to Evaluation.

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

02/12/02 - Issued Qwest's Draft Response dated 2/6/02 to McLeodUSA.

02/20/02 - CMP Meeting - Qwest presented its Draft Response. It was agreed that the status of the CR would be Denied. It was agreed that the aspects of this CR would be rolled into a Global Action Item on Test Charges. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package 03/20/02.

02/22/02 - Qwest's formal response dated 2/6/02 issued to CLEC Community.

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


Project Meetings

CLEC Change Request Clarification Meeting

Date: January 11, 2002, 2:00 p.m. (MT) Place: Conference Call 877-564-8688 Subject: PC112901-2, TIC Charge Credit Process

Attendees: Ric Martin, Qwest Alice Matthews, Qwest Craig Suellentrop, Qwest Cheryl McMahon, Qwest Dennis Pappas, Qwest Joann Garramone, Qwest Bud Witte, Qwest Don Tolman, Qwest Diane Bowers, McLeodUSA Rod Cox, McLeodUSA Sue Sedrow, McLeodUSA Carol Whitson, McLeodUSA Chad Sharp, McLeodUSA Todd McNally, McLeodUSA

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

Review Requested (Description of) Change Ric explained that the direction from the previous Clarification meeting with McLeodUSA was for Qwest to investigate a process for Qwest to initiate a credit on a TIC when it was determined that the TIC was applied in error. Ric further explained that internal discussions brought on additional questions that necessitated the additional clarification call. On the CR, several products were identified and Trouble Isolation Charge (TIC) applies to non-designed services and Maintenance & Service Charge (MSC) applies to Designed Services. Diane indicated that McLeod was not able to identify the end user of the TIC and MSC charges. She indicated that she was aware of a release in March that would put the ANI for MSC, but still couldn’t identify TIC end users. Sue asked how Qwest identifies the charge. Dennis indicated that a charge is applied when repair finds a trouble or when repairs are performed. Typically an E0135 is applied. Dennis indicated that he thought that the TIC was a flat charge and there was also a Dispatch charge. Bud clarified that for MSC, billing starts when tech is dispatched to the trouble, proves the trouble is not in Qwest network, gets customer approval to perform repair and the work is billed on a T&M basis and billed to the end user. Bud indicated that the Dispatch charge was for Designed Services. Ric advised that at the last Clarification meeting McLeodUSA wanted the ability to have the field tech or repair center issue a credit when it has been determined that the charge was in error. Ric explained that the system currently does not have the ability for either person to enter a credit. A system change would be required to add the coding. Ric further explained that once a TIC is issued and another Ticket is issued it is difficult to determine if the problems were the same. This was the reason Qwest requested an example of where they have determined that the TIC was applied and later determined that it was incorrect. Diane indicated that they were working on this. Craig confirmed that there were two items we should be trying to respond to. The first is the TIC and the second is McLeodUSA’s requirement to identify end user. Diane indicated that she thought that the determination of the incorrect TIC was identified before the ticket was closed. Craig advised that the charges were applied when the ticket was closed. He advised that, for Resale POTS tickets are closed by the Tech in the filed and POTS wouldn’t have the same ticket. Bud advised that for Designed Services there is a Dispatch Charge and the Tech’s travel time. McLeodUSA felt that this was a duplicate charge. Bud explained that the Dispatch charge is for the truck roll and the travel charge (30-min increments) is the Tech’s time. It was agreed that we could keep the TIC and MSC separate on focus on TIC. Qwest confirmed that the TIC only gets applied when the Tech uses a combination of Codes.

Establish Action Plan McLeodUSA will try to provide the examples. Qwest will identify options and suggestions at the 1/16/02 CMP.

-

Subject: CR PC112901-2 Date: Thu, 27 Dec 2001 14:23:30 -0700 From: Richard Martin Organization: Qwest Communications International, Inc. To: Christine Mohrfeld

Christine,

We have had a couple of internal meetings on the CR. A question has come up whether you have a specific instance when a TIC was applied incorrectly (i.e. the trouble was later determined to be in Qwest's Network). If you could provide an example, this would help us with isolating the issue and determining the appropriate resolution.

Thanks

Ric

CLEC Change Request Clarification Meeting

December 4, 2001, 2:00 p.m. (MT) Conference Call 877-564-8688 PC112901-2, TIC Charge Credit Process

Attendees: Ric Martin, Qwest Alice Matthews, Qwest Christine Mohrfeld, McLeodUSA

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

Review Requested (Description of) Change Christine advised that when Qwest’s screener gets a trouble ticket and if the technician didn’t find any trouble, the screener then initiate a Trouble Isolation Charge (TIC). The problem is when the trouble persists and it is subsequently determined that the trouble was Qwest related, there is no process for the screener or any other person to stop the TIC charge. McLeodUSA’s only avenue to reverse the TIC charge is at the back end in the billing cycle. They have to physically research, identify the incorrect TIC charge and call Qwest to get an adjustment. Qwest confirmed that this is the situation to date.

Confirm Areas & Products Impacted Christine confirmed that the products set forth in the CR are correct. She indicated that this issue was for all products. . Confirm Right Personnel Involved Alice Matthews confirmed she was the SME for this process. She advised that we would also need to get a network person involved in any solutions.

Identify/Confirm CLEC’s Expectation Christine confirmed that McLeodUSA is looking for a manual process that would allow the screener to initiate a credit for an incorrect TIC Charge. Ideally, once a manual process is developed, a mechanized solution would be required.

Identify any Dependent Systems Change Requests Christine indicated that they submitted a Systems CR that provides better definition on the billing charges. Qwest will look into the CR to see if there is any relation. Christine advised that they would like to have the TN identified. As a minimum they would like this for Resale and UBL would require the Circuit ID.

Establish Action Plan (Resolution Time Frame) Qwest advised that the path forward would be as follows: ? Since this CR was received after the 3 weeks prior to the CMP, McLeodUSA will present this CR at the December CMP Meeting. ? The CR will have the collective CLEC clarification at the January CMP Meeting. ? Qwest will begin to identify solutions that can be offered at the January CMP Meeting. ? Qwest will develop its response for the February’s CMP Meeting Qwest will identify a Network SME that will be involved in this CR.

Subject: Acknowledgement of Submitted Change Request Date: Thu, 29 Nov 2001 10:00:23 -0700 From: "Jim Beers" Organization: Qwest Communications International, Inc. To: cmohrfeld@mcleodusa.com CC: Richard Martin , Todd Mead , Michael Keegan , Peter Wirth

Dear Christine Mohrfeld:

Thank you for participating in the Qwest Change Management Process (CMP). We have received your Change Request (CR) submission titled "TIC Charge Credit Process". The information contained in the submitted CR appears to be complete and valid at this time.

Please note, we have applied a tracking number to this CR, #PC112901-2, for your use in following the progress of your submission through CMP. You may view your submitted CR via the Product & Process Interactive Report located on the Qwest web page at URL - http://www.qwest.com/wholesale/cmp/changerequest.html

We have assigned a CR Project Manager (CRPM) to facilitate the Qwest Response to your request. The assigned CRPM, Ric Martin, will be contacting you in the near future to schedule a Clarification Meeting.

Sincerely, Jim Beers Product & Process CMP Manager 303.965.2930

-


CenturyLink Response

February 6, 2002

Diane Bowers McLeod USA Cedar Rapids, IA 52404

SUBJECT: Qwest’s Change Request Response - CR PC112901-2 TIC Charge Credit Process

McLeod is requesting that Qwest issue a credit for incorrectly applied Trouble Isolation Charges (TIC) either at the time a trouble ticket is closed or when a new ticket at the same location is opened. The CR addressed both resale and UNE products. During clarification meetings with McLeod and other CLLEC’s it was agreed to focus on the TIC charge, which applies to POTS and CENTREX resale or UNE-P only.

The repair process for POTS requires the CLEC to submit a trouble report, either electronically through MEDIACC or CEMR, or by calling the Repair Call Handling Center (RCHC). During trouble reporting process the CLEC must either authorize the TIC or not authorize the TIC.

If the TIC is authorized, a Qwest technician may be dispatched to the end-user’s premise to isolate trouble. If a technician is dispatched and trouble is isolated to the end-user’s equipment or wiring (beyond the Network Interface Device (NID) the technician will attempt to contact the CLEC, and the ticket will be closed. The technician will enter disposition codes into Qwest’s system indicating trouble beyond the NID. These disposition codes are routed to billing and a TIC is applied.

If the TIC is not authorized, no dispatch will take place, although Qwest may perform a remote test. If the remote test indicates no trouble or trouble beyond the NID, the ticket will be closed Test OK (TOK) and no TIC will apply. A CLEC may also use CEMR to perform the remote test (MLT) itself.

Currently, billing disputes are handled through the CLEC’s Service Manager. The Service Manger will contact the appropriate Qwest employees to research the dispute and will work with the CLEC until resolution.

This Change Request would require resolution of billing disputes by Qwest’s network technicians or repair attendants. To determine if a TIC is inappropriately applied, investigation of each trouble ticket is necessary. Neither the repair attendant taking the trouble report nor the technician isolating the trouble at the end-user’s premise have the resources to adequately research the appropriateness of waiving a TIC charge in each situation. Such research, if assigned to network technicians or repair attendants, would result in slower repair intervals for the CLEC. This work function is appropriately assigned in Qwest to the Service Manager. Therefore, Qwest respectfully denies this Change request.

Sincerely,

Craig Suellentrop Interconnection Planner Qwest

Cc: Alice Matthews Cheryl McMahon Terrance Meehan Mary Retka Jamal Boudhaouia


Open Product/Process CR 5343715 Detail

 
Title: Legacy CR Suspending T1 (DSS) service for collection purposes.
CR Number Current Status
Date
Area Impacted Products Impacted

5343715 Withdrawn
4/16/2001
Billing Resale T1/DSS
Originator: Mohrfeld, Christine
Originator Company Name: McLeodUSA
Owner:
Director:
CR PM:

Description Of Change

McLeod would like the ability to suspend a T1 (DSS) line for collection purposes, either electronically or manually. Currently, we are required to disconnect the service and then reconnect the service following payment. The timeframe for disconnect and reconnect is extensive. Average 15 days for each process. Currently, Centrex suspension is realtime through CMS or 48 hours through IMA.


Status History

1/16/01 - CR Received from Christine Mohrfeld of McLeod

1/16/01 - Status changed to New-to be reviewed and sent to Christine

2/05/01 - Status changed to Reviewed - Under Consideration

2/06/01 - Updated CR sent to Christine Mohrfeld of McLeod

4/16/01 - Status changed to Cancelled - Co-Provider - Qwest

4/23/01 - Updated CR sent to Christine Mohrfeld of McLeod

3/28/02 - Posted this legacy CR to CMP Database. Completed CR Form had been posted to the Web as part of the "Change Request (CR) Archive - Change Requests statused as Inactive before August 1, 2001"


Project Meetings


Open Product/Process CR PC100101-5ES Detail

 
Title: Clarification of Additional Testing Process
CR Number Current Status
Date
Area Impacted Products Impacted

PC100101-5ES Completed
7/12/2002
Repair EEL, UDIT, Unbundled Loop
Originator: Smith, Debra
Originator Company Name: Qwest Corporation
Owner: Augustson, Cathy
Director:
CR PM:

Description Of Change

Currently, CLECs’ are responsible for testing UNE’s prior to submitting a trouble report to Qwest. CLECs’ are to provide test diagnostics including specific evidence that the trouble is in the Qwest Network along with the associated Qwest circuit identification number. If the CLEC elects not to perform the necessary UNE testing, Qwest will offer to do such testing on CLECs’ behalf. If such testing is requested by the CLEC, Qwest will perform the additional testing and bill the CLEC the appropriate charges that are in their Interconnection agreement.

If the CLEC does not provide test diagnostics and elects not to have Qwest perform additional testing on their behalf, Qwest will not accept a trouble report. Additional Charges may apply when the testing determines the trouble is beyond the Loop Demarcation Point

This additional testing option is available on the Unbundled Loop Product Suite, Unbundled Dedicated Transport (UDIT), Enhanced Extended Loop (EEL) and Loop Mux.


Status History

10/01/01 - CMP receives CR from Deb Smith, Qwest (Subject Matter Expert (SME))

10/01/01 - CMP CR status changed to 'Submitted.'

10/01/01 - CMP forwards updated CR to Deb Smith, Qwest.

10/17/01 - CMP Meeting: Qwest introduced "Description of Change" and agreed to provide detailed package for CLEC review. Walk through meeting to be scheduled by Qwest in the late October/early November 2001 time frame.

10/26/01 - Notification forwarded to the CLEC community regarding presentation of CR in the 10/31/01 CMP Re-Design Meeting.

10/31/01 - CR presented to the participating CLECs at the CMP Re-Design Meeting. CLECs were requested to provide comments.

11/08/01 - Qwest Notification (Document No. PROD.11.08.R.00197.Mtce&Repair Language; Subject: Update to Product Information on Maintenance and Repair Language within EEL, UDIT, LMC and Unbundled Loop General) transmitted to CLEC community.

11/08/01 - PCAT Documents posted to the Qwest Wholesale CMP Document Review WEB page [http://www.qwest.com/wholesale/cmp/review.html]. Comments from CLEC community due in 15 calendar days (11/23/01), as stated in 'Interim External Change Management Process for Qwest Initiated Product/Process Changes, Version 6, 11/26/01."

11/12/01 - Qwest and Eschelon personnel met to review the information shared in the 10/31/01 CMP Re-Design meeting and to answer additional questions.

11/13/01 - Notification prepared for transmittal to CLEC community regarding follow-up meeting scheduled for 11/26/01.

11/14/01 - CMP Meeting - Qwest advised CLEC community that PCAT documents currently are available for comment.

11/24/01 - No comments were received from the CLEC community regarding PCAT documents posted to the Qwest Wholesale CMP Document Review WEB page.

11/26/01 - Qwest conducted a follow-up meeting with the CLEC community to discuss any technical issues with the CR (primarily operational and testing issues). Responses to questions were prepared for posting on the Qwest Wholesale WEB page.

11/28/01 - "Questions & Answers for Additional Testing 11/26/01" document posted to Qwest Wholesale WEB page [http://www.qwest.com/wholesale/cmp/changerequest.html].

11/28/01 - "Additional Testing Process Document - 11/09/01" and "Additional Testing Process Presentation - 11/09/01" posted to Qwest Wholesale WEB page [http://www.qwest.com/wholesale/cmp/changerequest.html]. These documents were previously posted in the Qwest Wholesale CMP Re-Design WEB page [http://www.qwest.com/wholesale/cmp/redesign.html].

11/30/01 - Qwest IT Wholesale Communicator, November 30, 2001, Document No. SYST.11.30.01.F.02444_CEMR_UG_Update, CEMR User’s Guide Update prepared for transmittal to Qwest Wholesale Customers

12/05/01 - Formal Escalation received from Eschelon regarding implementation of CR.

12/06/01 - Qwest response sent acknowledging receipt of Formal Escalation from Eschelon (PC100101-5-E01).

12/07/01 - KMC Telecom notified Qwest to participate in the formal escalation initiated by Eschelon.

12/07/01 - Qwest publishes "QWEST - INTERNAL NOTIFICATION; Announcement Date: December 7, 2001; Effective Date: December 21, 2001; Document Number: I.PROD.12.07.01.F.00603.Pending-_ULL_EEL_LMC_UDIT; Notification Category: Product Notification; Target Audience: CLECs, Resellers; Subject: Pending Updates to Unbundled Local Loop General, EEL, LMC and UDIT Product Catalogs; Change Request Number: CR PC100101-5" for distribution to CLEC community. Notice indicates an effective date of subject updates as December 21, 2001. A fifteen-(15) day notice is provided to the CLEC community.

12/12/01 - CMP Meeting - Qwest advises CLEC community that a formal escalation has been received & that a formal escalation response is forthcoming.

12/13/01 - Qwest transmitted formal escalation response (via e-mail) to the originating CLECs (i.e., Eschelon Telcom, Inc., Covad Communications, and Allegiance Telecom Inc.) [response posted in Qwest Wholesale CMP WEB page; http://qwest.com/wholesale/cmp/escalations.html ].

12/21/01 - Eschelon reply received responding to the Qwest formal escalation response (dated 12/13/01) [reply posted in Qwest Wholesale CMP WEB page; http://qwest.com/wholesale/cmp/escalations.html ].

01/16/02 - CMP Meeting - Qwest provided status update indicating that CR is in "Escalated" status, and that Qwest is reviewing Eschelon reply (received 12/21/01).

02/20/02 - Qwest provided status update. CR remains in "Escalated" status. Meeting discussions will be set forth in the Product/Process Draft Meeting Minutes contained in the Product/Process CMP Meeting Distribution Package (03/20/02).

03/20/02 - CMP Meeting - Qwest advised that the CR was still in an Escalated status. Meeting discussions will be set forth in the Product/Process Meeting Minutes to be posted on the CMP Web site.

04/17/02 - CMP Meeting - Qwest advised that the CR was still in an Escalated status.

05/15/02 - CMP Meeting - Qwest advised that the CR was still in an Escalated status. CLECs next step would be to go to Dispute Resolution.

06/19/02 - CMP Meeting - Qwest advised that the CR was still in an Escalated status.

07/08/02 - Per the agreement reached with the CLECs in Junes Product and Process CMP meeting, regarding escalated status this CR will carry the appropriate status prior to the escalation


Project Meetings

10/31/01 - CR presented to the participating CLECs at the CMP Redesign Session. Meeting minutes to be incorporated when posted to Wholesale CMP Re-Design WEB page [ http://www.qwest.com/wholesale/cmp/redesign.html].


Open Product/Process CR PC112701-2 Detail

 
Title: Grandparent SwitchNet 56
CR Number Current Status
Date
Area Impacted Products Impacted

PC112701-2 Withdrawn
12/12/2001
Switched Service - SwitchNet 56
Originator: Olson, Skip
Originator Company Name: Qwest Corporation
Owner: Olson, Skip
Director:
CR PM:

Description Of Change

We are going to grandparent SwitchNet 56 (SN56) as of 12/31/2001 (changed to January 14, 2002). After that date, no new SN56 may be installed. We'll have a sunset clause of 12/31/2004. On that date, all SN56 must be disconnected. SN56 is a switched digital data product that runs at 56 K/bps. There are no voice capabilities with SN56.


Status History

11/27/01 - CR discussed with Qwest originator and entered into CR P&P database.

11/27/01 - Draft response received and posted in CMP database.

11/28/01 - CR Status changed to "Evaluation". CR response under internal review with Wholesale Document Control.

11/29/01 - Document control verified that Switchnet 56 is an available product under Qwest Resale.

11/30/01 - The effective date for grandparenting of Switchnet 56 has changed from 12/31/01 to 01/14/01. Response modified to reflect date change. Letter mail-out scheduled for 12/05/01.

12/06/01 - Notification Letter transmitted to Qwest SwitchNet56 customers.

12/12/01 - CMP Meeting - Judy Schultz, Qwest withdrew CR from the CMP process."CR Status" changed to "Withdrawn."


Project Meetings


CenturyLink Response

November 30, 2001 DRAFT RESPONSE For Review by CLEC Community and Discussion in the December 2001 CMP Meeting

November 30, 2001

Dear Valued Customer:

We're writing to inform you of a change to our SwitchNet 56® product offering.

Pending approval of your State’s Public Utility Commission, no orders for new SwitchNet 56 lines will be accepted as of January 14, 2002. Customers using the service on a monthly basis may, however, continue to use it for a period of three years. For these customers, SwitchNet 56 will be discontinued on December 31, 2004.

Qwest will continue to honor all SwitchNet 56 contractual agreements by making the service available to contracted customers for the length of the existing contract. Additions, rearrangements, changes or moves of existing installations for contracted customers will continue to be made where the required equipment and facilities are available.

To replace SwitchNet 56, Qwest offers ISDN Single Line Service (in most areas). ISDN provides these benefits:

- Universal standards, proven technology, world-wide availability - Handles all kinds of communications simultaneously (voice, data, video) - Inter-working with existing telephony and packet networks - Fast connect time … in milliseconds, speeds up to 512 Kbps with compression - Replaces multiple voice, fax and modem lines

Please contact your Qwest sales representative or call 1-800-743-3793 for further information on ISDN Single Line Service or other services that may meet your data needs. ISDN Single Line Service information may also be found on our web site (http://www.qwest.com/isdn).

Thank you for using Qwest. We look forward to continuing to serve your telecommunications needs.

Qwest®

SwitchNet 11/01 The letter for Colorado needs to include the following paragraph: "A copy of the filing made with the Colorado PUC is available for viewing at Qwest, 1005 17th Street, Room 200, Denver, CO 80202. You may obtain additional information by calling Qwest at (need to insert residential and/or business 800 numbers), or you may contact the PUC at 303-894-2070 or 1-800-456-0858. Customers may file a written objection with the PUC by writing to the Colorado PUC, Office Level 2, 1580 Logan Street, Denver, CO 80203 at least ten days prior to the proposed effective date."

The letter for Oregon needs to include the following paragraph: A copy of this filing is available for viewing at Qwest, 421 SW Oak, Room 8S7, Portland, OR 97204. Additional information is also available by calling the Commission at 1-800-522-2404. Customers may file a written objection with the Commission by writing to the Oregon Public Utility Commission, 550 Capitol Street NE, Salem, Oregon 97310-1380.

The letter for Washington needs to include the following paragraph: "The Commission encourages your written comments, either in favor of or in opposition to the filing. You may write or call the Commission's toll-free number listed below:

Secretary Washington Utilities and Transportation Commission P.O. Box 47250 Olympia, Washington 98504-7250 1-800-562-6150 (toll-free) E-mail: comments@wutc.wa.gov"


Open Product/Process CR PC112901-1 Detail

 
Title: Standardize Process of Receiving Jeopardy Notices
CR Number Current Status
Date
Area Impacted Products Impacted

PC112901-1 Withdrawn
12/12/2001
Other (Provisioning Process) Centrex, EEL (UNE-C), LNP, Private Line, Resale, Unbundled Loop, UNE-P, Other
Originator: Martain, Jill
Originator Company Name: Qwest Corporation
Owner: Martain, Jill
Director:
CR PM:

Description Of Change

Qwest currently offers CLECs multiple methods for receiving jeopardy notices. CLECs can receive jeopardy notices via the tool in which the LSR was processed, i.e. EDI or GUI. They also have the option of receiving jeopardy notices via e-mail or fax.

Qwest plans to move to a consistent, mechanized method of sending jeopardy notices. Jeopardy notices will be sent to the CLEC through the same tool that was used to submit the LSR. This will allow Qwest to enhance its internal jeopardy notification process leading to more consistent and timely notifications for the CLECs.


Status History

11/29/01 - CR Submitted from Jill Martain

12/12/01 - CMP Meeting: Qwest withdrew this CR. Status changed to Withdrawn.


Project Meetings


Open Product/Process CR PC091201-2 Detail

 
Title: Systems Action Item 272 Feature Verification for Large CSRs Send a notice out to CLEC's concerning how they would do a feature verification for large CSRs (Formerly Systems Action Item 272)
CR Number Current Status
Date
Area Impacted Products Impacted

PC091201-2 Completed
10/17/2001
TBD
Originator: Powers, Lynne
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM:

Description Of Change

Process to CLEC’s concerning how they would do a feature verification for a large CSR’s (Customer Service Record)

Determine a process and contact(s) that will be available to provide CSR feature verification.


Status History

06/18/01 - Mark Coyne is working on the response for the CLECs.

06/20/01 - This is related to item # 210 and # 254

07/13/01 - Notice was sent 6/20/01 on limitations for doing FV for large CSR's, see #254

07/18/01 - Qwest will develop a process for doing Feature Verification on Large CSRs in the future

09/05/01 - Draft Position response sent to Eschelon (Kathy Stichter)

09/13/01 - Notification to Eschelon, Kathy Stichter, that change request was assigned PCCR091201-2 as log number, replacing Action Item 272.

Included request if Eschelon had opportunity to review Qwest response of 9-5-01.

09/19/01 - CMP Meeting - Eschelon acknowledged Qwest's response and agreed to move CR into CLEC Test.

09/25/01 - Qwest response, dated 09/05/01, issued to CLEC Community

10/17/01 - CMP Meeting: It was agreed that the CR could be "Closed."


Project Meetings


CenturyLink Response

September 5, 2001 Wholesale Product Marketing Kathleen Stichter ILEC Relations Manager Eschelon Telecom, Inc

This letter is being sent in response to Action Item #272. Action Item #272 pertains to a request for a notice to be sent to the CLECs, regarding how they would do feature verification for large CSRs.

Response: CLEC accounts that have Large CSRs (50 pages GUI/75 pages EDI) cannot be retrieved in IMA Feature Verification. If the CLEC attempts Feature Verification for a Large CSR, they will receive the following error message CSR too Large for Feature Verification Processing CSR may be retrieved in Pre Order. When this error message is received, CLECs must follow the new process for Large CSR Feature Verification.

Requests for Large CSR Feature Verification will be submitted by the CLEC to a designated e-mail address or fax number in the ISC center. The CLECs will submit their requests to the ISC center that normally processes their LSRs.

The appropriate e-mail addresses and fax numbers for Large CSR Feature Verification follow: Denver Center e-mail: kwalden@qwest.com; fax number (303) 383-7197, Minneapolis Center e-mail: lahend1@qwest.com, rdrier@qwest.com, gfinnem@qwest.com or cranta@qwest.com; fax number (612) 663-0502.

The commitment interval for completing and responding to Feature Verification requests will be determined either by the number of pages in the CSR or individual negotiation. The standard interval for a CSR with less than 85 pages is 3-5 business days. The standard interval for a CSR with more than 85 pages is 5-7 business days. Individual negotiation for a commitment interval may be required during peak periods or for extremely large CSRs.

When the verification process is complete, the center SDC will send a response e-mail or fax (determined by how the request was received) to the CLEC that includes the verification process findings and any corrective action taken.

Sincerely

Monica Manning Process Specialist


Open Product/Process CR PC090501-1 Detail

 
Title: Determine a call back interval for the help desk to respond to CLECs
CR Number Current Status
Date
Area Impacted Products Impacted

PC090501-1 Completed
10/17/2001
Repair N/A
Originator: Thompson, Jeff
Originator Company Name: Qwest Corporation
Owner: Loftus, Lynn
Director:
CR PM: Thomte, Kit

Description Of Change

Determine a call back interval for the Help Desk to respond to CLECs. Publish a list of definitions for both Tier and Severity levels.


Status History

07/17/01 - The current call process is that a call back will be generated whenever the Ticket status is changed. Jeff Thompson is working with the Help Desk to establish a standard call back interval for all tickets

7/18/01 - There is a 30 minute call back time for the Sierra Vista Held Desk on Tier 1 issues. No commitment yet on the Tier 2 issues.

08/21/01 - Action item discussed with Qwest CR PM, submitter, owner. SME assigned.

08/22/01 - Meeting with CR PM and SME.

08/28/01 - Clarification meeting with CR PM and SME.

08/30/01 - Response completed.

09/19/01 - Response Accepted at the 09/19/2001 CMP Forum

09/19/01 - CLEC Test status agreed upon at the 09/19/2001 CMP Forum

10/17/01 - CR closed based on discussion during October 2001 CMP Monthly Meeting


Project Meetings

Tuesday, August 28, 2001, Clarification Meeting with CR PM and SME. Attendees: Peggy Esquibel-Reed and Lynn Loftus / Qwest Reviewed response.

Wednesday, August 22, 2001, Status Meeting with CR PM and SME. Attendees: Peggy Esquibel-Reed and Lynn Loftus / Qwest Lynn is currently investigating interval guidelines. Methods and Procedures have been developed and distributed to Help Desk personnel. Will also check into a document (Communicator) previously provided to Qwest Wholesale Customer's.

Tuesday, August 21, 2001, Internal clarification meeting. Attendees: Peggy Esquibel-Reed, Jeff Thompson, and Todd Mead / Qwest CR PM obtained status of investigation from IT Director. Lynn Loftus assigned as the SME.


CenturyLink Response

August 30, 2001 Information Technologies Qwest is pleased to announce improvements in our response times for the IT Wholesale Systems Help Desk. We hope the following general information will be helpful regarding our efforts to improve response times, and in working with the IT Wholesale Systems Help Desk. You may have already noticed some of these improvements, but they officially take place September 10th.

The IT Wholesale Systems Help Desk supports Competitive Local Exchange Carriers who have questions regarding connectivity, outputs, and system outages. The Help Desk serves as your first point of contact for reporting trouble. If the Help Desk is unable to assist you, they will refer information to the proper subject matter expert, also known as Tier 2 or Tier 3 support, who may call you directly. Often, however, an IT Wholesale Help Desk representative will contact you to provide information or to confirm resolution of your trouble ticket. General Information IT Wholesale Systems Help Desk Telephone Number (888) 796-9102 IT Wholesale Systems Help Desk Hours of Operation Monday-Friday 6:00 a.m. - 8:00 p.m. Mountain time Saturday 7:00 a.m. - 3:00 p.m. Mountain time

Ticket Response Times and Severity Levels The chart below indicates the response intervals a CLEC can expect to receive after reporting a trouble ticket to the IT Wholesale Systems Help Desk on a single outage. Response intervals are based on the severity level of the ticket. An explanation of severity levels is included in this Communicator. Normal business hours of operation apply to all specified time frames.

Severity Level 1: Response interval for initial ticket is immediate acceptance. Response interval for any change in status is within 1 hour. Response interval for no change in status is 1 hour. Response interval upon resolution is within 1 hour.

Severity Level 2: Response interval for initial ticket is immediate acceptance. Response interval for any change in status is within 1 hour. Response interval for no change in status is 1 hour. Response interval upon resolution is within 1 hour.

Severity Level 3: Response interval for initial ticket is immediate acceptance. Response interval for any change in status is within 4 hours. Response interval for no change in status is 48 hours. Response interval upon resolution is within 4 hours

Severity Level 4: Response interval for initial ticket is immediate acceptance. Response interval for any change in status is within 8 hours. Response interval for no change in status is 48 hours. Response interval upon resolution is within 8 hours.

A response interval is defined as the time between when a subject matter expert contacts the IT Wholesale Help Desk with new information or the resolution details of your trouble ticket, and the time the IT Wholesale Help Desk representative notifies the affected CLEC. The response intervals apply to single company tickets.

Severity Levels An outage is a critical or serious loss of functionality. Severity level is a means of assessing and documenting the impact of the loss of functionality to the customer and the impact to the business. The severity level gives restoration or repair priority to problems causing the greatest impact to the customer or business.

The guidelines for determining severity levels are listed below. Examples of some trouble ticket situations follow. Please keep in mind these are guidelines, and each situation is unique. The IT Wholesale Systems Help Desk representative will make the determination of the severity level based on the individual situation.

Severity 1 is a Critical Impact which includes high visibility, a large number of orders or customers are affected, affects online commitment, production or cycle stopped - priority batch commitment missed, major impact on revenue, major component not available for use, many and/or major files lost, major loss of functionality, problem can not be bypassed, no viable or productive work around available. Examples: Major network backbone outage without redundancy, environmental problems causing multiple system failures, large number of service or other work order commitments missed.

Severity 2 is a Serious Impact and includes moderate visibility, moderate to large number of customers, or orders affected, potentially affects online commitment, serious slow response times, serious loss of functionality, potentially affects production - potential miss of priority batch commitment, moderate impact on revenue, limited use of product or component, component continues to fail. Intermittently down for short periods, but repetitive, few or small files lost, problems may have a possible bypass; the bypass must be acceptable to the customer, major access down, but a partial backup exists. Examples: Frequent intermittent logoffs, service and/or other work order commitments delayed or missed.

Severity 3 is a Moderate Impact and includes low to medium visibility, low customer, or order impact, low impact on revenue, limited use of product or component, single client device affected, minimal loss of functionality, problem may be bypassed; redundancy in place. Bypass must be acceptable to the customer, automated workaround in place and known. Workaround must be acceptable to the customer. Example: Equipment taking hard errors, no impact yet.

Severity 4 is Minimal Impact and includes low or no visibility, no direct impact on customer, few functions impaired, problem can be bypassed. Bypass must be acceptable to the customer, system resource low; no impact yet, preventative maintenance request. Examples: Misleading, unclear system messages causing confusion for users, device or software regularly has to be reset, but continues to work.

System Event Notification - Planned/Unplanned Outages

Qwest recently announced a new System Event Notification process in Release Notification SRN060101- 4, dated June 1, 2001. The System Event Notification provides e-mail notifications regarding unplanned outages. You may subscribe to the System Event Notification list via e-mail at majordomo@qwest.com. The required subject line is "Add to wshdnoti mail list". A copy of the June 1st Communicator is attached with more details.

Qwest provides several additional ways for you to find out about severe outages affecting more than one area or company. The IT Wholesale Systems Help Desk VRU at 888-796-9102, Option 2, provides a list of current known system outages and is updated with new information as soon as it becomes available. Improvements are being made to the present VRU notification system to provide for more detail.

IMA has the capability to provide pop-up windows detailing system outage information to users of a given system. You will receive the information when trying to log on to the system. If you are already logged on to IMA however, this information will not appear unless you try to log on to the system again.

For scheduled outages, e-mail notifications are sent by the IT Wholesale Systems Communications Manager. The e-mail contains basic details of the planned outage, such as the systems affected, restore time if known, and a referral to the VRU for updated information. This e-mail distribution is for scheduled outages where at least 48 hours notice can be given. Please contact your Service Manager to be placed on this e-mail distribution list.

We hope the information in this Communicator will assist you when calling the IT Wholesale Systems Help Desk. Please see the attached Communicator dated June 1, 2001, containing all details of the System Event Notification. You are always welcome to discuss any questions with a Help Desk representative, or contact your Service Manager for assistance.

COMMUNICATOR INFORMATION To: Qwest Wholesale Customers From: Tina Hubis, Qwest IT Wholesale Systems Communications Manager Dated: June 1, 2001 Subject: System Event Notification Process

This Communicator is to advise you that effective June 5, 2001, Qwest plans to begin a new System Event Notification process. The process will provide e-mail notification regarding system events. The Qwest systems covered in this process include, Interconnect Mediated Access, (IMA)-EDI and GUI Interfaces, TELIS/EXACT, E-Commerce Gateway, Customer Electronic Maintenance and Repair (CEMR), Resale Product Database (RPD), Mediated Access (MEDIACC).

To receive e-mail notifications regarding system events, you may subscribe yourself to the notification list via e-mail. To subscribe to the notifications: 1. Send an e-mail to majordomo@qwest.com 2. The required subject line for your e-mail is: Add to wshdnoti mail list 3. In the text area of the e-mail enter only the following required command: subscribe wshdnoti 4. Send the e-mail to complete the process.

NOTE: There are a number of points to consider before you subscribe to this new notification list: The e-mail address of the sender will be added to the distribution list so be sure to send the request from the e-mail address you want the notifications sent to. Those who subscribe to the list will receive notifications on all the included systems. It is not possible to request only specific systems. To ensure timely receipt of these notifications, Qwest recommends that each company have at least two people subscribe to the list. This information will be of most value to those personnel in your operations centers. These may not be the same people who currently receive notifications through the Co-Provider Industry Change Management Process (CICMP).

If you need to remove yourself from the notification list at a later time: 1. Address an e-mail to majordomo@qwest.com 2. The required subject line for your e-mail is: Changes to wshdnoti mail list 3. In the text area of the e-mail enter only the following required command: unsubscribe wshdnoti 4. Send the e-mail to complete the process.

If you need to change your e-mail address at a later time: 1. Address an e-mail to majordomo@qwest.com 2. The required subject line for your e-mail is: Changes to wshdnoti mail list 3. In the text area of the e-mail enter the first required command: unsubscribe wshdnoti This is will remove your old e-mail address. 4. Enter a second required command: subscribe wshdnoti to subscribe your new e-mail address. 5. Send the e-mail to complete the process.

If you need any further assistance on this process, please contact the Qwest Wholesale Systems Help Desk at 1-888-796-9102 and select Option 3.

Prepared by: Jeffery Thompson, Information Technologies Director


Open Product/Process CR PC090501-2 Detail

 
Title: How should custom Ring TN be handled in the Service Centers today and after IMA 8.0
CR Number Current Status
Date
Area Impacted Products Impacted

PC090501-2 Completed
1/16/2002
Ordering N/A
Originator: Thompson, Jeff
Originator Company Name: Qwest Corporation
Owner: Coyne, Mark
Director:
CR PM:

Description Of Change

How should Custom Ring TN be handled in the Service Centers today and after IMA 8.0? Eschelon would like the Custom Ring ordering process documented and made available on the web. Eschelon does already have some information. Eschelon will close out Action 310 after the documentation appears on the web. Tentative close date, from Eschelon, is October 5, 2001.

08/30/01 - Eschelon would like the Custom Ring ordering process documented and made available on the web.


Status History

07/13/01 This procedure is currently being reviewed with the External documentation team. Will have update by Sept 28

08/20/01: Action item discussed with Qwest CR PM, submitter and owner.

08/22/01: External documentation SME assigned.

08/23/01: Meeting with CR PM and external documentation SME.

08/24/01: Alignment meeting held.

08/27/01: Response prepared.

08/30/01: Response emailed to Kathy Stichter & Bonnie Johnson at Eschelon.

09/06/01 - Email received from Kathy Stichter asking if Custom Ring will be identified as a number or feature. If Custom Ring did not change with the IMA 8.0 release this will satisfy Eschelon.

09/06/01 - Sent email to Kathy Stichter advising that Custom Ring is still ordered as a feature and was not changed with the IMA 8.0 release.

09/07/01 - Email received from Kathy Stichter advising their request has been answered.

09/10/01 - Confirmed with Qwest External Documentation group that the internal reviews are beginning today. All is on schedule for the September 28th date for the documentation to be out on the web site.

09/12/01 - Update from External Documentation Group

09/19/01 - Documentation reviews completed by the Qwest External Documentation Group. Documentation on schedule for the September 28, 2001 implementation date

09/19/01 - Response Accepted at the CMP Forum, CR now in Development status.

09/28/01 - Documentation posted to the web.

10/03/01 - Custom Ring documentation appear on the web at URL http://www.qwest.com/wholesale

10/17/01 - CMP Meeting: It was agreed that the CR could move to CLEC Test.

10/17/01 - CMP Meeting: Eschelon stated that the web documentation does not contain information on ordering the Custom Ring feature. MarkCoyne/Qwest referenced several areas in the documentation that pertain to ordering of custom ringing. Eschelon would like CR in CLEC Test status.

11/14/01 - CMP meeting: CR will remain in CLEC Test while Qwest investigates the inconsistencies between IMA and the documentation on the web.

12/12/01 - CMP Meeting: External documentation will be updated by 12/21/01. CLECs to review before January CMP meeting.

12/21/01 - Web Document updated. See: http://www.uswest.com/wholesale/clecs/features/customringing.html

01/16/02 - January CMP meeting. CLECs have reviewed documentation on the web and agreed to close CR. CR status changed to "Completed"


Project Meetings

11/14/01 CMP Meeting Stichter-Eschelon stated that the information on the Web was different from what IMA will accept. She stated that Qwest was working to correct the problem. Coyne-Qwest stated that Qwest had issued an UR to fix the inconsistencies, and that a projected completion date was not yet available. Schultz-Qwest stated that the CR would remain in CLEC test.

09/12/01 - Update from External Documentation Group The features are listed in the UNE-P PCAT and when you click on a particular feature in the UNE-P PCAT, it will take you to the specific feature documentation. CLEC's will have formal notification of Web Posting on 09/26/01

Friday, August 24, 2001, Alignment Meeting Attendees: Richard Martin, Kate Spry, Peggy Esquibel-Reed, Lynn Stecklein, Todd Mead, Jerri Brooks, Dave Maier, Pete Wirth / Qwest, and Kathy Stitcher / Eschelon CLEC Expectations: Kathy advised that the question is as to when the Custom Ringing documentation will be available on the web site. There is no question regarding the actual content.

The IMA 8.0 release did not impact how the Custom Ring feature is ordered or requested. Qwest will publish documentation on the Custom Ring feature, including how it is to be ordered. This documentation will be available to the CLECs on September 28, 2001 at the Qwest web site, URL: http://www.qwest.com/wholesale Action Plan: The draft of the Custom Ring feature document will be completed September 7, 2001. Internal reviews/walk through's of the Custom Ring feature documentation will be conducted, beginning on September 10, 2001. This documentation will be reviewed by Qwest personnel, which will include Product Management and Senior Management. Revisions to the document will then be made, if applicable, and approved by September 26, 2001.The document will be sent to the Qwest web group by September 27, 2001.The documents will be posted to the web site and available to the CLECs on September 28, 2001. Thursday, August 23, 2001, Meeting with Qwest External Documentation SME Attendees: Peggy Esquibel-Reed and Janice Cuba / Qwest Documentation on features, including Custom Ringing, is currently being developed and will be available on the external web site on September 28, 2001. This documentation will include ordering information. Internal reviews will be held with Product and Senior Management. Once approval is received, the documents will be sent to the Qwest web group and will appear on the web site on September 28th. The web site URL is http://www.qwest.com/wholesale


CenturyLink Response

08-27-01 The IMA 8.0 release did not impact how the Custom Ring feature is ordered or requested. Qwest will publish documentation on the Custom Ring feature, including how it is to be ordered. This documentation will be available to the CLECs on September 28, 2001 at the Qwest web site, URL: http://www.qwest.com/wholesale The draft of the Custom Ring feature document will be completed September 7, 2001. Internal reviews/walk through’s of the Custom Ring feature documentation will be conducted, beginning on September 10, 2001. This documentation will be reviewed by Qwest personnel, which will include Product Management and Senior Management. Revisions to the document will then be made, if applicable, and approved by September 26, 2001. The document will be sent to the Qwest web group by September 27, 2001. The documents will be posted to the web site and available to the CLECs on September 28, 2001.


Open Product/Process CR PC090601-2 Detail

 
Title: Access to DSL pre qualification information (Formerly Systems Action Items 309 & 319)
CR Number Current Status
Date
Area Impacted Products Impacted

PC090601-2 Completed
10/17/2001
TBD
Originator: Thompson, Jeff
Originator Company Name: Qwest Corporation
Owner: Raible, Julie
Director:
CR PM: Thomte, Kit

Description Of Change

AI - 309 - Get with Julie Raible on Eschelon examples for CR 5578937

AI - 319 - Call Karen Clauson at Eschelon to discuss the fix going in for MegaBit (Qwest DSL) LoopQual and make sure that it addresses Eschelons concerns.

Call Karen at Eschelon to discuss the fix going in for Megabit (Qwest DSL) Loop Qual and make sure that it addresses Eschelon’s concerns. This was listed as item AI 319 but was subsequently merged with AI 309


Status History

8-20 Julie Raible sent an e-mail notifying Eschelon that Qwest had reviewed the data that had been provided. Analysis of the data did not provide any insight regarding the problem they were seeing and Julie verified with Brad that he is only accessing systems that are accessible by IMA

The IMA release 8.0 went in on 8-18 and some of the issues might be addressed in that release.

08/27/01 - Qwest email response submitted to Eschelon

8-30 Eschelon advised that more problems had been identified on 8-23 after the 8.0 release. She provided an e-mail late in the day I will forward to Julie.

09/12/01 - Walk-Through on Qwest's responses held with Eschelon

09/19/01 - CMP Meeting -Eschelon advised that they acknowledged Qwest's responses and the CR could be placed into CLEC Test.

10/17/01 - CMP Meeting: It was agreed that the CR could be closed.


Project Meetings

09/12/2001 11:33 AM - Email Subject: Megabit PreQual Tool Action Item 309 SCR 090601-1

Introductions were made from Qwest and Eschelon. In attendance Kathy Stichter, Ann G, Jenny D, Kit Thomte, Ric Martin, Julie Raible, Lane Jones and Russ Urevig.

We read the initial statement associated with the CR. Julie Raible explained her e-mail response to Eschelon.

Kit outlined the most recent problem that had been identified by Kathy. This outlined a scenario (Engineering Economics) where it appeared that internal systems might be providing a different response to inquiries than external sources. The information provided by Lane and Russ did not indicate inconsistencies. The group agreed it was not relevant to pursue this specific case.

Kathy indicated they were having for specific areas with problems. 1. When they install a loop, the TN is not in the system for 3days to 2 weeks after the five day requirement. Qwest requested examples of items that don't show up within the standard interval for the product.

2. They consistently get "undetermined status" with no explanation approximately 90% of the requests. Julie indicated that once the 8.0 release was installed that they should only put in the TN not TN and Address. Eschelon indicated they would track post 8.0 issues and send examples. Julie explained when LFACs data anomalies occur the capability exists to send an e-mail to Qwest for manual updates.

3. Eschelon gets a No status in Megabit and a Yes in Unbundled ADSL. Julie indicated that the Unbundled tool would advise if a lower speed DSL might be available.

4. The tools are so inaccurate that they are sending numerous examples to Brad. Qwest requested that examples be provided to allow research into the issue. Julie indicated that Brad does not use any system that is not available via IMA.

Julie reviewed some of the changes that were implemented with the 8.0 release. These changes were originally scheduled for 9.0 but were moved to 8.0.

In closing it was agreed that Eschelon accepted our previous e-mail responses. Qwest would document the discussion that took place in this working session. The CR would be left open for 2 weeks pending any other issues. Other issues would be forwarded to Kit.

Thanks Kit Thomte

08/30/2001 03:56 PM Email Kathleen Thomte To: klstichter@eschelon.com

Subject: For Action 309

Kathy,

I believe that the response that Julie Raible provided on August 20th addressed many of the issues that existed prior to the 8.0 IMA release. It is Quest's belief that Julie Raibels e-mail and the 8.0 release have addressed the issues associated with systems action items 309 and 319. However as we discussed today, since that release Eschelon has identified one or more specific issues that need to be addressed. I would like to use our meeting on September 11th to work through those issues. If other items are identified that can be reviewed in that session I would appreciate some information in advance so we can research the issue and make this more of a working session.

Thanks, Kit Thomte 303 896-6776


CenturyLink Response

08/27/2001 12:05:29 PM Julie Raible on To: kthomte@qwest.com Subject: For Action 309

Content-Type: multipart/mixed; boundary=" This is a multi-part message in MIME format. Content-Transfer-Encoding: 7bit Content-Type: text/plain; charset=us-ascii

Kathy,

Attached is the list of Addresses/TNs that you sent to Qwest. I did some analysis on the list and added a Qwest Comments Column. Also, we did some further analysis on the numbers we couldn't find and that document is also attached.

We also checked with Brad Butturff and verified that he is not using any system that IMA does not access for Loop Qualification and RLD. He is mainly using QSERV, which is the same system used for IMA Megabit Loop Qual. He sometimes uses Facility Check when the CLEC requests an Unbundled Data Loop Qualification which is the same system used for IMA Unbundled ADSL Loop Qualification.

Please call me with any questions and let me know if you would like me to set up a conference call to discuss the results. My number is 303-965-4261.

Thanks, Julie


Open Product/Process CR PC100401-2 Detail

 
Title: Provision of Rated vs. Un rated usage, when applicable, regardless of CLEC status (resale, facility based, etc.). (Reference Systems CR # SCR112101 1)
CR Number Current Status
Date
Area Impacted Products Impacted

PC100401-2 Completed
12/14/2001
Billing
Originator: Dampier, Reginald
Originator Company Name: SBC
Owner: Zimmerman, Alan
Director:
CR PM:

Description Of Change

SBCT is receiving unrated EMI records for coin/inmate calls (10-01-31 records with Indicator 01=1 and Indicator 16=2). The billing telephone numbers are SBCT's customers. But since SBCT does not offer an "inmate" type of service to its customers, we verified the originating telephone numbers for these records and found these originating numbers not to be SBCT's customers.

Given the above, we believe that QWEST should send us rated usage records so that we can, on QWEST behalf, bill the SBCT customer that apparently accepted the call. In other words, we should receive rated records from QWEST via the standard incollect/outcollect process that is handled through CMDS. QWEST was also billing these calls on our paper bills (at a resale discount), but this is incorrect, these calls are not subject to a resale discount, since the calls were made not on a resale or facilities basis. Qwest did state that the discounted rates should have not been applied (which SBCT agrees w/). We dispute Qwest billings to SBCT of these calls.

Qwest is the only ILEC in that their daily usage file doesn’t contain rated records, and in addition, Qwest has told SBCT that we should use the calls reported on the summary bill and bill SBCT's customer at SBCT's rates.

We again explained that we could not rate the call, since the charges are QWEST's. We noted that we are not able to use the summary bill that QWEST talked about and indicated that industry practice would be for QWEST to send rated EMI records.


Status History

10/02/01 - CR received from Reggie Dampier of SBC

10/04/01 - CR Status changed to Submitted

10/04/01 - Updated CR sent to Reggie Dampier of SBC

10/16/01 - Requested "Clarification Meeting" with SBC. SBC (Reggie Dampier) to provide several time frames for scheduling purposes.

10/17/01 - CMP Meeting: Reggie Dampier, SBC Telecom presented CR as a walk-on agenda item for clarification.

10/25/01 - Letter received from SBC providing additional clarification of CR.

10/29/01 - Clarification meeting conducted with submitting CLEC (Reggie Dampier, SBC).

10/31/01 - Clarification response received from SBC.

11/14/01 - CMP Meeting - CR was clarified with the CLECs. CLECs are to assess internally how they want to be rated. Qwest to prepare its draft response and open a systems CR.

11/21/01 - Systems CR drafted by CRPM and submitted ( SCR112101-1).

12/06/01 - Qwest Draft Response (dated 12/05/01) transmitted to SBC Telecom.

12/12/01 - CMP Meeting - Alan Zimmerman, Qwest provided status on the Qwest response indicating that the Rated vs. Un-rated Usage would be address under Systems CR no. SCR112101-1. SBC (originating CLEC) was not in attendance. Judy Schultz, Qwest indicated that SBC would be contacted to determine if "CR Status" could be changed to "Completed" prior to the next monthly meeting.

12/14/01 - Reggie Dampier (SBC) contacted via telephone & indicated that "CR Status" can be changed to "Completed."

12/19/01 - Qwest response (dated 12/5/01) posted in CMP data base.


Project Meetings

This e-mail below from SBC. It provides responses to questions raised in the clarification meeting held on 29-Oct-01.

Subject: FW: Clarification of unrated vs. rated calls, Qwest Change Date: Wed, 31 Oct 2001 10:05:59 -0600 From: "DAMPIER, REGGIE (SBCSI)" To: "Zimmerman, Alan" ,"'pwirth@qwest.com'" CC: "NAPPIER, THOMAS G (SBCSI)" ,"MUELLER, KAREN (SBCSI)" ,"DAMPIER, REGGIE (SBCSI)"

Our SME states that if a call originates w/ a Qwest customer, such as these particular collect inmate calls do, OBF standards should be followed and the calls should be rated (this is response for Questions: 1) is this change request just for the inmate collect coin calls OR is our change request pertain to ALL incollects calls? and 2) the request to rate these types of calls pertains to resale, UNE, and facility-based (same as UNE)?

Reggie Dampier OBC 905 Chestnut, Suite 26-T-03 St. Louis, MO 63101 314-235-6369 RD5335@momail.sbc.com

-- Alignment/Clarification Meeting 1:30 p.m. (MT) / Monday 29th October 2001

1-866-289-7092 PC741-1286 # PCCR100401-2 Provision of Rated vs. Unrated usage, when applicable, regardless of CLEC status (resale, facility based, etc.)

Attendees: Peter Wirth - Qwest Alan Zimmerman - Qwest Reggie Dampier - SBC Telecommunications

Meeting Agenda: 1.0 Introduction of Attendees All attendees introduced. 2.0 Review Requested (Description of) Change {review long description from change request, confirm with all parties there is agreement on the change requested} CR description discussed & reviewed by all parties. Additional clarification from SBC required for the following: 1) Does provision of rated vs. unrated usage address all incollect or just inmate calls?; and 2) Does rated vs. unrated usage address resold or UNI, or both? SBC to provide input back to Qwest.

3.0 Confirm Areas & Products Impacted {read from change request, modify if needed} Billing.

4.0 Confirm Right Personnel Involved {ensure the Qwest SME can fully answer the CLEC request. Confirm whether anyone else within Qwest has been involved with this issue, or whether we need to bring anyone else in} Parties agreed correct personnel were on call. Karen Mueller, SBC identified as SBC SME for purposes of this CR. Contact: (314) 235-0880.

5.0 Identify/Confirm CLEC’s Expectation {Identify specific deliverables from CLEC – what does Qwest have to do in order to close this CR? (in measurable terms ie provide a documented process, change a process to include training etc)} Obtain rated equivalents for applicable records currently unrated originating from Qwest.

6.0 Identify any Dependent Systems Change Requests {Note any connected CRs and the potential impacts} None identified.

7.0 Establish Action Plan (Resolution Time Frame) {state action required, who will be responsible and by when} Proceed with CR evaluation and response development.

- Letter (email) from Debbi Soriano, SBC, dated Oct 25, 2001, regarding PCCR 100401-2 To our fellow CLECs, operating within Qwest franchised territories:

I send you greetings, and wish you well.

As the billing Subject Matter Expert for SBC Telecom, Inc. (SBCT), my job duties include reviewing interconnection agreements to ensure that our billing organization has the appropriate language in place to process our end-user data, access data, reciprocal compensation data, and to ensure that our billing, and data feeds are correctly addressed.

The purpose of this letter is to provide clarification of a process change that SBCT has submitted via Qwest's change management process.

Qwest personnel have yet to contact me (as per their guidelines), to clarify this new issue. Therefore, I've included additional verbiage below, in order to help clarify the issue generating SBCT’s change request. SBCT would like your support on this issue, since it is likely your company is experiencing the same difficulty. It is SBCT’s goal to have Qwest resolve the issue in such a way that industry guidelines are met so that each company can accurately and effectively bill its end user customers.

In short, the issue is that alternately billed calls originated by Qwest end-user customers, and billed to SBCT end-user customers are being sent as unrated EMI records off of the daily usage file. Specifically, the calls that are of concern to SBCT are collect coin/inmate calls (10-01-31 records with Indicator 01=1 and Indicator 16=2). SBCT has verified that the billing (and terminating) telephone numbers are SBCT’s end-user customers. SBCT has also verified that the originating numbers are inmate facilities served by Qwest.

Normally, in the voice telephony world, all of us bill on behalf of other telco companies, since our end-user customers frequently travel to other places and have a need to place alternately billed calls. Therefore, a process, such as CMDS, has been put in place to assist in the billing and revenue settlements associated with these calls. Each of us uses either direct feeds or CMDS to deliver these types of calls to each other. The expectation being that the originating company will send rated EMI records to the billing company to eliminate the need for each of the companies to have to maintain rating tables for the entire country and to ensure that the company who incurs the cost for transporting the call also receives the revenue.

SBCT contends that Qwest is not relieved of this obligation just because a CLEC is serving its end-user customers via resale of Qwest service. The alternately billed calls in question still belong to Qwest. Since these calls are originated by Qwest customers and transverse the Qwest network, Qwest is entitled to the revenue. Only Qwest is able to determine what rates should be charged to recover the cost of setting up and transporting the call. Therefore Qwest should send rated EMI records via a CMDS or a direct feed process just as they would if the billed customer were not served via resale of Qwest service.

The process Qwest is using is wrong. Qwest is treating the rating and billing of alternately billed calls differently depending upon whether a CLEC customer to be billed, is provided service via resale of Qwest facilities or using its own facilities or being 3rd number billed for calls that do not fall under the scope of an ICA (e.g., our end-user customer has accepted charges for a call incurred within Qwest territory by a Qwest end-user customer). SBCT has repeatedly explained to Qwest personnel that SBCT could not rate the calls, since the charges are Qwest's. SBCT noted that industry practice would be for Qwest to send rated EMI records. Qwest did not agree.

Furthermore, Qwest personnel indicated that a CLEC should use the CLEC’s rates for the calls that Qwest bills on SBCT’s summary paper bills, and transpose those rates onto each call recording to bill its end-users customers. This is somewhat difficult to do. First, SBCT (or any other CLEC) would have to examine each summary bill received from Qwest and rate the unrated calls received via the daily usage file. Then get the SBCT rated calls into the files in order to guide and bill these calls to the end-user customers on behalf of Qwest.

In short, the solution to this problem is simple. Qwest should record and rate calls that belong to Qwest, and correct the edits in place at Qwest that incorrectly guide these unrated calls to any CLEC, e.g., do not use the billing telephone number edit that incorrectly guides these unrated calls to a CLEC. Furthermore, Qwest should deliver the rated calls per normal industry practices (as we all do), so these rated calls can be placed on the end-user customer's bills by the 'bill to' company.

If you have any comments, suggestions, etc., I can be reached at the below contact numbers.

Sincerely,

Reggie Dampier

Reggie Dampier OBC 905 Chestnut, Suite 26-T-03 St. Louis, MO 63101 314-235-6369 RD5335@momail.sbc.com


CenturyLink Response

December 5, 2001

Reggie Dampier, Business Manager SBC Telecom, Inc.

Cc: Susan Burson Michael Buck

This letter is in response to your CLEC Product & Process Change Request (CR) Form No. PC100401-2 "Provision of Rated vs. Unrated usage, when applicable, regardless of CLEC status (resale, facility-based, etc.)."

In order to accomplish this request, modifications are required in the Qwest Customer Records Network Information (CRIS) system. Hence, this request needs to be considered as part of the Qwest Systems Change Management Process. Qwest is proposing to close out this Product & Process CR, and has opened CR No. SCR112101-1 in the Systems Change Management forum so that the system issues can be properly considered.

Sincerely,

Alan Zimmerman Qwest Wholesale Billing Manager


Open Product/Process CR PC091001-1 Detail

 
Title: Mandatory tagging of both ILEC and CLEC circuit Ids at installation
CR Number Current Status
Date
Area Impacted Products Impacted

PC091001-1 Completed
1/17/2002
Installation WFA-C and T1s
Originator: Kratzer, Walter
Originator Company Name: SBC
Owner: Meehan, Terrance
Director:
CR PM:

Description Of Change

Have Qwest installers tag both ILEC and CLEC circuit Ids when new circuit installed.


Status History

09/07/01 - CR Received from Walter Kratzer of SBC Telecom

09/10/01 - CR status changed to New - to be Reviewed

09/10/01 - Updated CR sent to Walter Kratzer of SBC

09/19/01 - Qwest requested and obtained clarification from SBC.

09/27/01 - Held Clarification Meeting with SBC.

10/09/01 - Draft Response posted to database.

10/17/01 - Draft response presented. Qwest issued formal response to CLEC community. Status changed to CLEC Test.

11/14/01 - SBC respresentative was not available at the November CMP meeting to respond to Qwest on this CR.

12/12/01 - CMP Meeting - CLEC participants agreed to have Qwest confirm with SBC whether the CR can be closed.

12/17/01 - Telephone conversation with Walter Kratzer, SBC. SBC hasn't had the opportunity to process an order under the process. They would like to have the CR left open and in CLEC Test.

01/16/02 - CMP Meeting - SBC's Walter Kratzer wasn't present at the meeting and it was requested that Qwest confirm with Mr. Kratzer whether the CR can be closed.

01/17/02 - Voice mail received from Walter Kratzer advising that the CR can be closed. Qwest left return voice mail requesting e-mail confirmation.

01/17/02 - Received e-mail confirmation from Walter Kratzer, SBC, that the CR can be closed.


Project Meetings

Subject: Circuit Tagging Date: Thu, 17 Jan 2002 16:19:57 -0600 From: "KRATZER SR, WALTER J (SBCTI)" To: rhmart2@qwest.com

Rick: Please close CR PC091001-1 in which we asked Qwest to tag our circuits with both Qwest and SBC Telecom IDs. Thanks, Wally

Walter J. Kratzer Sr. Network Service Center SBC Telecom, Inc. Office: 214-689-7443 Pager: 888-472-1990

-

Thursday, September 27, 2001, 10:00 p.m. (MDT)

Alignment/Clarification Meeting Introduction of Attendees Walter Kratzer, wk4736@txmail.sbc.com, SBC Telecom Terry Wicks, terry.wicks@algx.com, Allegiance Terry Meehan, tmeehan@qwest.com, Qwest Cindy Buckmaster, cbuckma@qwest.com, Qwest Kate Spry, kspry@qwest.com, Qwest Wally, Terry W., Terry M., Cindy, and Kate Review Requested (Description of) Change At demark, SBC Telecom would like both of the Qwest’s and CLEC circuit IDs on smart jacks to be tagged at installation. Confirm Areas & Products Impacted Areas: Installation Products: WFA-C Confirm Right Personnel Involved Terry Meehan is the ‘owner’ of this CR and will be the point of contact for future problems of this nature until the root cause is established and draft response issued. Cindy will forward necessary System Contact information to Kate. Terry Wicks would like to stay informed as to response. Kate will coordinate all necessary clarification meetings, complete meeting minutes, and review, forward, and send information to Michael Belt and Matt Rossi to store to database. Identify/Confirm CLEC’s Expectation Per SBC Telecom, they want both SBCT and Qwest circuit Ids tagged at the demarc. For example, both Ids should be placed on a smart jack on a T1 installation or the Subscriber Network Interface on a UNE loop. Allegiance mentioned they would like phone numbers on their circuit Ids as well. Per Terry M., we do not tag circuit Ids currently because we are not provided with the information from the CLECs to do so, or it is not consistent. Per Cindy, when information is populated into the system by the CLECs, the information field that would provide the ID #s is not active for the CLECs. Qwest needs to find out if this is something that we can change. Cindy will look into who could answer that system question for us. She believes it is Jim Benedict with WFA-C. Terry M. stated that Qwest has no problems tagging with circuit Ids if we have the information at the time, however we will not search for the Id numbers if they aren’t provided and we also won’t go back and retag if all circuit Ids are provided. Also, the CLECs are welcome to tag Ids if they are at the sites. Identify any Dependent Systems Change Requests No related system CR’s were identified Establish Action Plan (Resolution Time Frame) Terry M. will clarify this process via a written formal response draft. After clarification is received regarding possible system changes. He will forward this documentation to Kate by 10/19/01. Cindy will look into who could answer that system question for us and forward the information to Kate by 10/5/01. Kate will arrange to hold a systems meeting with Terry M and the identified, Qwest systems personnel to discuss response options. Kate will review and forward the response draft to Michael Belt and Matt Rossi to store in the CR database by 10/19/01 for CLEC review. The web location will be noted in Matt Rossi’s email regarding the response document by 10/22/01. This information can then be reviewed and discussed by the CLEC Community at the following CMP Meeting. Wally can view this information on the CR database and this CR can then be reviewed and discussed by the CLEC Community at the following CMP Meeting. Corrections/updates can then be made at that time.

Date: Wed, 19 Sep 2001 10:38:53 -0500 From: KRATZER SR, WALTER J (SBCTI) To: kspry@qwest.com CC: SORIANO, DEBBI (SBCTI)

Kate: We want both SBCT and Qwest circuit IDs tagged at the demarc. For example, both IDs should be placed on a smart jack on a T1 installation or the Subscriber Network Interface on a UNE loop. The locations you mention appear to be internal Qwest locations which you need not tag with our IDs. When I was a technician with SWBT's InterExchange Carrier Center in St. Louis tagging with the SWBT ID and the IEC ID was a requirement for SWBT installers. This was done as tagging both IDs at the demarc facilitates both companies trouble shooting. Thanks, Wally

From: Kate Spry [mailto:kspry@qwest.com] Sent: Wednesday, September 19, 2001 10:02 AM To: KRATZER SR, WALTER J (SBCTI) Subject: PCCR091001-1 Tagging ILEC & CLEC circuit IDs Walter,

I received your change request #PCCR091001-1 for the mandatory tagging of both ILEC and CLEC circuit ID's at installation. I have been trying to find an owner for this CR however there are a number of questions coming up before we can assign this to someone:

Is this at the circuit level? Where go you want these tagged (i.e. splitters for dsl, CFA block, 4-10 blocks, unbundled, tagged in db)?

We really need more information on this CR before we can process it. Please let me know. Thanks.

Kate Spry (303) 896-0547


CenturyLink Response

10/09/01 Final Response Kratzer, Walter SBC

CC: Fred Aesquivel

This letter is in response to your CLEC Change Request Form, number PC091001-1 dated 09/07/01 Mandatory tagging of both ILEC and CLEC circuit ids at installation.

Qwest will not require "mandatory" tagging of both ILEC and CLEC circuit ids at installation, because the ID numbering information is passed by the CLEC to Qwest via the LSR CKR field. This is currently only an optional data field on the LSR and the information is not consistently received by all CLECs. A recent sample indicated that this information was only available approximately half of the time. On field dispatched provisioning orders, Qwest has no problems with tagging both circuit IDs when the CLEC completes the CKR field with the ID numbering information via the WORD document, although we will not delay the provisioning process seeking this information. Qwest also has no problems with the CLEC tagging the IDs if they happen to be on site.

Another option would be to make the CKR field on the LSR a "required" field, however this would impact all CLECs and all CLECs would have to agree to this process of providing this data on every order. If all CLECs agree to make the CKR field a required data field, then this CR would roll into a systems change request for coding updates.

Sincerely,

Terrance Meehan Lead Process Analyst


Information Current as of 1/11/2021