ARCHIVED - Telecom Procedural Letter Addressed to Distribution List
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Ottawa, 30 April 2018
Our references: 8740-B2-201606873, 8740-C6-201606831, 8740-M59-201606980, 8740-R28-201606808, 8740-S22-201606823, 8740-S9-201606790, 8740-T66-201606815, 8740-V3-201606849, 8740-E17-201610262, 8740-B2-201703447
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To Distribution List:
Re:Extension Request Associated with Follow-up to Telecom Order CRTC 2016-396 and Telecom Order CRTC 2016-448 and Follow-up to Telecom Decision CRTC 2016-379 – Requests for information (Aggregated wholesale HSA service)
The Commission is in receipt of a letter, dated 25 April 2018, from Bell Canada requesting an extension for submission of responses to the requests for information posed to parties by the Commission on 2 March 2018 in the above proceedings.
Bell Canada submitted that it had discovered certain errors, omissions, or other required revisions to some of its costs studies and due to the complexity of the models and to ensure that accurate information is filed, it will not be able to complete their responses by 4 May 2018 and requested an extension to 18 May 2018.
The Commission is in receipt of letters, dated 26 April 2018, from Rogers Communications Canada Inc. (RCCI), Cogeco Communications Inc (Cogeco), and Saskatchewan Telecommunications (SaskTel), where RCCI, Cogeco, and SaskTel did not object to Bell Canada’s extension request.
Commission staff acknowledges Bell Canada’s rationale to seek for an extension which is specifically to address errors, omissions and other required revisions to a number of its cost studies, mainly for its disaggregated wholesale high-speed access service.
In this regard, Commission staff notes Bell Canada’s commitment to submit an Appendix to their responses to the RFIs explaining each of these errors, omissions and other required revisions. For efficiency purposes and to allow for a meaningful record, Commission staff expects that the Appendix to be filed by Bell Canada will reflect the level of detail as identified in Attachments 1, 2 and 3.
In light of these circumstances, Commission staff considers that the extension request is reasonable. This determination applies to the process related to the follow-up to Telecom Order CRTC 2016-396 and Telecom Order CRTC 2016-448 and also applies to all parties.
The process for filing responses to the requests for information and subsequent requests for disclosure of information that is designated as confidential in the responses is revised as follows:
- Responses to requests for information are to be filed with the Commission and served on all other parties, by 18 May 2018.
- Parties may request public disclosure of information that is designated confidential in the responses to requests for information, setting out in each case the reasons for disclosure. These requests must be filed with the Commission, and served on the parties to whom they are addressed, by 8 June 2018.
- Responses to requests for public disclosure must be filed with the Commission, and served on the parties making the requests, by 22 June 2018.
Further process associated with the relevant tariff filings will be established after the disclosure process is completed.
Where a document is to be filed or served by a specific date, the document must be actually received, not merely sent, by that date.
Please contact Abderrahman El Fatihi (Abderrahman.elfatihi@crtc.gc.ca) at (819) 953-3662, Tom Vilmansen (tom.vilmansen@crtc.gc.ca) at (819) 997-9253 or myself (lyne.renaud@crtc.gc.ca) at (819) 953-5414 should you have any questions in regards to this letter.
Sincerely,
Original signed by
Lyne Renaud
Director, Competitor Services and Costing Implementation
Telecommunications Sector
Attach. (3)
DISTRIBUTION LIST
Lyne Renaud, CRTC, lyne.renaud@crtc.gc.ca;
Abderrahman El Fatihi, CRTC, abderrahman.elfatihi@crtc.gc.ca;
David Mah, CRTC, david.mah@crtc.gc.ca;
Ramin Adim, CRTC, ramin.adim@crtc.gc.ca;
Pilon Marc, CRTC, marc.pilon@crtc.gc.ca ;
Bell Canada: bell.regulatory@bell.ca;
MTS Inc.: regulatory@mts.ca ;
Zayo Canada Inc.: regulatory@zayo.com ;
Saskatchewan Telecommunications: document.control@sasktel.com ;
TELUS Communications Company: regulatory.affairs@telus.com ;
Cogeco Cable Inc.: telecom.regulatory@cogeco.com ;
Quebecor Media Inc. (Videotron): regaffairs@quebecor.com ;
Rogers Communications Canada Inc.: barry.choi@rci.rogers.com ; david.watt@rci.rogers.com ;
Nathan Jarret: nathan.jarrett@rci.rogers.com; rwi_gr@rci.rogers.com ;
Shaw Cablesystems G.P.: Regulatory@sjrb.ca ;
CNOC Regulatory: regulatory@cnoc.ca ;
TekSavvy Solutions Inc.: regulatory@teksavvy.com ;
Vaxination Informatique: jfmezei@vaxination.ca ;
VMedia Inc.: george.burger@vmedia.ca ;
Steve Sorochan: steve.sorochan@gov.yk.ca ;
Darren Parberry: metisbus@yahoo.ca ;
Marcus Schultze: marcus.p.schultze@gmail.com ;
Kathleen Turnsek: regulatory@vianet.ca ;
Eastlink: Regulatory.Matters@corp.eastlink.ca ;
Tacit Law: ctacit@tacitlaw.com ;
Distributel Communications Limited: regulatory@distributel.ca;
Public Interest Advocacy Centre (PIAC); jlawford@piac.ca
ATTCHMENT 1/3
Cost Study | Present Worth (PW) of Total Proposed Cost | PW of Total Revised Proposed Cost | Percent Change |
---|---|---|---|
GAS-FTTN access monthly recurring charge | |||
GAS -FTTN Bonded Access monthly recurring charge |
ATTACHMENT 2/3
Cost Study | Description (Note 1) |
Specify Error, Omission or Required Revision | Existing Value | Revised Value | Related RFIs |
---|---|---|---|---|---|
e.g. GAS- FTTN Access monthly | e.g. Capital unit cost | e.g. error | e.g. +$10K/Mbps | e.g. +$8K/Mbps | |
e.g. Maintenance cost | e.g. omission | e.g. +$0K | e.g. +$10K | ||
e.g. W&D factor | e.g. revision | e.g. 2% | e.g. 1.7% | ||
e.g. GAS-FTTN Bonded Access monthly | e.g. Capital unit cost | e.g. error | e.g. +$10K/Mbps | e.g. +$8K/Mbps | |
e.g. Maintenance cost | e.g. omission | e.g. +$0K | e.g. +$10K | ||
e.g. W&D factor | e.g. revision | e.g. 2% | e.g. 1.7% |
ATTACHMENT 3/3
For each error, omission or revision identified in the table in Attachment 2 above:
- A description of the error, omission or required revision.
- An explanation of what led to the identification of error, omission or required revision.
- An explanation of how the error/omission has been corrected or how the required revision has been made, as applicable.
(Explanation should include: (i) if any cost are revised, these should be supported with evidence and rationale, and if any methodology and assumptions are changed, these should be supported with detailed explanations and (ii) if any new costs are included as a result of omission, provide methodology, assumptions and supporting rationale.
- A table comparing existing value and revised value:
Table comparing existing value and revised value Description Specify unit of measure
(i.e. $, %, $ / Mbps, etc.)Specify Error, Omission or Required Revision Cost Study Existing Value Revised Value e.g. Capital Unit Cost e.g $ / Mbps e.g. error e.g. GAS – FTTN Access monthly e.g. +$10K/Mbps e.g. +$8K/Mbps
- Date modified: