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Order Instituting Rulemaking on the Commission's own Motion Into Competition for Local Exchange Service.

R.95-04-043

(Filed April 26, 1995)

   

Order Instituting Investigation on the Commission's own Motion Into Competition for Local Exchange Service.

I.95-04-044

(Filed April 26, 1995)

   
   

EXECUTIVE SUMMARY

Like much of the country, California currently is experiencing a numbering crisis. From 1947 to January 1997, the number of area codes in this state increased gradually from 3 to 13. During the next three years, however, the number of area codes in California nearly doubled. By the end of 1999, California had 25 area codes statewide. The California Public Utilities Commission (CPUC) recently has implemented several measures intended to ensure efficient use of telephone numbers. Without these measures, the CPUC projects that 16 more area codes would need to be opened by the end of 2002, resulting in a statewide total of 41 area codes.

The utilization study sheds new light on the numbering crisis in the 714 area code. The data reveals that despite increasing demand for numbers, the 714 area code is not fully utilized. The study found that of the 7.7 million useable numbers in the 714 area code, approximately 3.9 million, or slightly more than half, presently are not in use. The data further establishes that the 714 area code possesses considerable room for growth, and thus, aggressive measures such as splits or overlays are not yet warranted in the 714 area code. The report further urges the CPUC to seek from the FCC authority to implement Unassigned Number Porting (UNP) as a means to more efficiently use numbers still available in the 714 area code.

This report is filed in compliance with CPUC Decision (D.) 99-12-051, and with AB 406, enacted by the California Legislature in the 1999 legislative session. (Chapter 99-809, 1999.) AB 406, codified as Public Utilities Code Section 7937, requires the CPUC to obtain historical telephone number use data from every telecommunications company in California. The CPUC's Telecommunications Division (TD) first obtained and analyzed data from the 310 area code in Los Angeles late in 1999, and produced a utilization report on 310 in March 2000. In November 2000, TD completed utilization reports covering the 415, 510, 818, and 909 area codes. This report on the 714 area code continues TD's analysis covering specific area code number utilization levels.

FINDINGS

The 714 area code contains approximately 7.7 million telephone numbers. These numbers are available to telecommunications companies that obtain the numbers from the North American Numbering Plan Administrator (NANPA),1 and in turn, assign the numbers to their customers for their immediate use. Alternatively, companies may reserve numbers for future use, or retain numbers for some internal (administrative) use. Some companies provide blocks of numbers to resellers or "dealers", which then assign those numbers to customers. The FCC deems numbers that companies allocate to resellers to be "intermediate" numbers. In addition, each assigned number, after disconnection, must "age" during a transition period before assignment to the next customer. Many companies have inventories of numbers in the "aging" process. Finally, some numbers in this area code are not available for public use, as they have been set aside for emergency purposes, for technical network support, or for other reasons.

The FCC has determined that numbers in these five categories - assigned, administrative, reserved, intermediate, or aging - are unavailable, either because they are already in use or are designated for some present or future use. Of the 3.9 million available numbers, 790,000 are available for use in the 714 lottery for companies seeking numbers, and 390,000 numbers have been set aside for donation to the 714 number pool.2 Companies possess the remaining 2.7 million unused numbers. Wireline carriers, such as Pacific Bell and many competitive local exchange carriers, hold roughly 1.9 million available numbers, while wireless carriers and Type 1 carriers hold approximately 790,000 available numbers.

CHAPTER ONE: OVERVIEW OF NUMBERING

A. INEFFICIENT USE AND INCREASING DEMAND FOR NEW NUMBERS IN CALIFORNIA IS CAUSING AREA CODE PROLIFERATION

B. 714 HISTORY AND CPUC DECISIONS

C. CPUC EFFORTS TO RESOLVE AREA CODE PROLIFERATION

· Companies are required to return to the NANPA any prefix held for more than six months without being used.

· "Imminent exhaust criteria" are established in all area codes with lotteries or pooling trials. In each rate center in which companies request additional numbers, they must as a prerequisite supply NANPA with a form demonstrating they will be out of numbers within three months.

· Companies must satisfy a minimum 75% fill rate requirement before being eligible to request a growth code in any area code in rationing and before being eligible to receive a thousand-block through the number pool. Companies must assign numbers in thousand block sequence, moving to the next block only once a 75% fill rate has been attained in the prior block.

CHAPTER TWO: 3.9 MILLION UNUSED NUMBERS IN
THE 714 AREA CODE

A. THE SCOPE OF THE UTILIZATION STUDY

    1. Distribution Statistics of Prefixes

· The CPUC should direct the NANPA to withhold issuing prefixes to PageCell, PagePrompt, and Paging Dimensions until the required information is submitted. The CPUC should also consider levying fines or other penalties for failure to comply. If these prefixes are not being used for customers, the CPUC should direct the NANPA to reclaim the prefixes as soon as possible.

B. 3.9 MILLION NUMBERS AVAILABLE IN THE 714 AREA CODE

C. ANALYSIS OF "AVAILABLE" NUMBERS

      1. Analysis of Wireline Carriers' Contamination Rates

 

0%

>0% - 10%

>10% - 15%

>15% - 20%

>20% - 25%

ANAHEIM

97,000

74,125

15,022

11,229

3,171

BREA

37,000

18,541

3,545

838

799

BUENA PARK

41,000

29,098

2,666

3,236

757

CAPISTRANO VALLEY

         

CYPRESS

48,000

29,163

4,428

6,433

1,546

FULLERTON

63,000

42,881

4,405

1,600

2,335

GARDEN GROVE

66,000

27,280

3,517

6,567

794

HUNTINGTON BEACH

81,000

52,383

6,162

4,898

3,844

IRVINE

0

0

0

0

0

LAGUNA BEACH

         

ORANGE

59,000

49,792

9,690

4,140

4,660

PLACENTIA

45,000

36,703

6,209

1,600

2,336

SADDLEBROOK VALLEY

         

SANTA ANA

147,000

63,010

11,442

12,936

3,929

SILVERADO

27,000

8,892

0

0

761

WESTMINSTER

48,000

16,417

2,641

3,209

2,343

YORBALINDA

50,000

15,685

1,793

2,413

0

GRAND TOTALS

809,000

463,970

71,520

59,099

27,275

· The CPUC should petition the FCC to increase the contamination level for pooling to 25%. If the FCC grants the petition, the CPUC should increase the maximum contamination level of donated blocks from 10% to 25% for all LNP capable carriers.

    2. Analysis of Wireless Carriers' Contamination Rate

 

0%

>0% - 10%

>10% - 15%

>15% - 20%

>20% - 25%

ANAHEIM

135,000

53,541

13,129

20,466

12,452

BREA

7,000

950

0

0

0

BUENA PARK

         

CAPISTRANO VALLEY

0

0

0

0

0

CYPRESS

         

FULLERTON

19,000

0

0

0

0

GARDEN GROVE

         

HUNTINGTON BEACH

11,000

921

899

0

0

IRVINE

         

LAGUNA BEACH

0

0

0

824

0

ORANGE

0

0

0

0

0

PLACENTIA

         

SADDLEBROOK VALLEY

0

0

0

0

0

SANTA ANA

29,000

5,840

0

0

0

SILVERADO

         

WESTMINSTER

25,000

3,996

0

0

0

YORBALINDA

9,000

0

0

0

0

GRAND TOTALS

235,000

65,248

14,028

21,290

12,452

· When cellular and PCS companies become LNP capable in November 2002, the CPUC should direct those wireless carriers to donate to and participate in the pool.

· The CPUC should adopt a 25% contamination threshold for donated blocks from wireless carriers to the pool.

· The CPUC should solicit comments on the feasibility of paging companies becoming LNP capable and participating in pooling, as well as other methods of reducing the number of stranded numbers held by paging companies.

· If deemed feasible, the CPUC should petition the FCC to rescind the paging companies' indefinite exemption on becoming LNP capable.

    3. Potential Block Contamination Abuses

· The CPUC should monitor compliance with its fill rate and sequential numbering policies through future number utilization filings and audits.

· The CPUC should establish penalties for non-compliance with fill rate and sequential numbering policies adopted in Decision 00-07-052.32

    4. Reclamation of Prefixes

________________________________________________________________________

D. ANALYSIS OF 3.8 MILLION "UNAVAILABLE" NUMBERS

· Non-working wireless numbers should be treated as reserved numbers and limited to 180 days, after which they should become available for assignment to customers.

· Companies should be required to maintain and update regularly the inventory records of all equipment assigned non-working wireless numbers along with the number assigned, and to submit such records to the CPUC upon request.

· The CPUC should continue to monitor non-working wireless numbers in the near term by reviewing future utilization filings, and should include this category of numbers in any audits conducted of wireless carrier number use.

      b. Eliminating Interim Number Portability Releases Numbers for Reallocation

· The CPUC should require companies to transition from INP to LNP in the 714 area code and implement a monitoring mechanism to ensure compliance.

· The CPUC should adopt a schedule for transitioning INP arrangements to LNP in all other California area codes.

      c. Expanded Use of the 555 Prefix Could Release Other Prefixes Dedicated to Special Uses

· TD recommends that the CPUC initiate an investigation into the possibility of moving the numbers for time and emergency preparedness into the 555 prefix.

· TD recommends that the CPUC include in its investigation the broader use of the 555 prefix in California's area codes by providing standard 555 numbers in every California area code to provide time, emergency preparedness, and weather information.

· TD recommends that the CPUC require companies to assign numbers sequentially in special use prefixes. Where the numbers are presently assigned randomly, TD recommends that these numbers be moved and consolidated in one thousand-block in order to free more blocks for number pooling.

      2. Reserved Numbers Are a Potential Source of Additional Numbers

· The CPUC should monitor reserved number use for all companies by reviewing future utilization data to ensure companies are complying with the FCC's 180-day requirement.

· The CPUC should adopt efficient number use practices specific to companies' reserved number holdings. In developing these practices, the CPUC should investigate various alternatives including, but not limited to, 1) limits on the quantity or percentage of reserved numbers companies can hold, and 2) requirements for using reserved numbers prior to requesting new numbers.

    3. Restrictions on Administrative Numbers Could Yield More Numbers

· The CPUC should develop criteria by which companies assign administrative numbers. The CPUC should consider placing a limit on the quantity or percentage of administrative numbers companies are allowed to hold.

· The CPUC should develop rules that require companies to limit administrative number assignments within certain blocks in a given prefix. In cases in which companies hold multiple prefixes in a single rate center, the CPUC should develop rules that require companies to limit administrative number assignments within prefixes.

    4. Intermediate Numbers

· The CPUC should monitor intermediate number use for all companies by reviewing future utilization filings to test whether potential abuses in this reporting category occur.

      a. Type 1 Numbers

· Wireline and wireless carriers should improve Type 1 number inventory management. Wireline carriers should perform an annual inventory check of wireless Type 1 numbers to verify their records match that of the wireless Type 1 carriers' records. Companies should make inventory data available to the CPUC upon request. Wireline carriers should recover and add to their inventories any Type 1 numbers lying dormant.

· Type 1 carriers should be subject to number conservation techniques such as sequential numbering and fill rates. A system to ensure compliance with Type 1 number conservation measures should be developed.

· The CPUC should consider Type 1 numbers as potential donations to the number pool. Excess and unused Type 1 numbers should be returned to the wireline carriers and either used to serve customers or donated to the number pool.

    5. Aging Numbers

Recommendation for Aging Numbers

· Although the CPUC has required all companies to differentiate aging numbers between residential and business and track the two categories separately, Pacific Bell has not complied with these requirements. Pacific Bell should be redirected to differentiate aging numbers between business and residential, track them separately, and report on each category accurately. The CPUC should assess penalties for failure to comply.

    6. The Need to Audit the Data

Recommendation for Audits

· The CPUC should audit the data submitted by companies in this study and future area codes number utilization studies.

E. INTRODUCTION

F. NUMBER POOLING

· The CPUC should work with industry groups and the Pooling Administrator to develop specific rules for companies pertaining to forecasting a six-month inventory when a number pool is authorized in a particular area code.

G. LACK OF LOCAL NUMBER PORTABILITY STANDS AS A KEY BARRIER TO POOLING

· The CPUC should request that non-LNP capable wireline carriers in the 714 area code become LNP capable.

H. UNASSIGNED NUMBER PORTING

· The CPUC should petition the FCC for authority to implement UNP statewide.

· The CPUC should solicit comments in order to develop rules and practices necessary to implement UNP.

I. CONSOLIDATION OF RATE CENTERS TO MAXIMIZE NUMBER USE

· The CPUC should undertake further investigation by ordering the telecommunications industry to develop a plan, within 180 days, for rate center consolidation.

J. SHARING PREFIXES MAY YIELD MORE EFFICIENT NUMBER USE

· The CPUC should further explore sharing of prefixes as a means to more efficiently utilize numbers in all area codes

CONCLUSION

For convenience, "other administrative numbers" are reported as a group for purposes of the Utilization Study

· Remote Call Forwarding allows a customer to have a local telephone number in a distant location. Every time someone calls that number, that call is forwarded to the RCF customer in the distant location. Remote call forwarding is similar to call forwarding on a residential line, except that the RCF customer has no phone, no office and no physical presence in that location.

· A DID (Direct Inward Dial) trunk is a trunk from the Central office which passes the last two to four digits of the Listed Directory Number into the PBX, thus allowing the PBX to switch the call to and thus ring the correct extension" without the use of an attendant (Newton's Telecom Dictionary). Existing DID retail service is limited to PBX services. For purposes of providing INP, Pacific and GTEC will use the DID switch functionality to provide INP to any CLC customer regardless of the type of terminal equipment used on the customers' premises.

· For the purposes of the Utilization Study, each carrier must report the quantity of its assigned numbers that are dedicated to providing INP under Assigned Numbers in Part 1-Section A and separately identified in Part 2.

TABLE G-1

AGING NUMBERS IN THE 714 AREA CODE

 
 

RESIDENTIAL

BUSINESS

TOTAL

       

WIRELINE

7,079

116,401

123,480

       

WIRELESS

39,411

54,836

94,247

       

TOTAL NUMBERS

46,490

171,237

217,727

415 Pooling Updates (as of October 1, 2000)

 

1

2

3

4

5

6

Rate Center

Forecast Blocks by Carriers for 2000 Q3

Blocks Assigned by Pooling Administrator

for 2000 Q3

Initial Blocks Forecasted by Carriers

Year -to-Date

Blocks Assigned by Pooling Administrator Year -to-Date

Blocks Remaining from Carrier- Donation to

the 415 pool

BELVEDERE

3

1

3

1

21

CORTEMADRA

6

4

6

4

35

IGNACIO

6

4

6

4

39

IVERNESS

3

0

3

0

27

MILL VALLEY

6

3

6

3

37

NICASIO

3

0

3

0

21

NOVATO

8

5

8

5

32

POINT REYES

3

0

3

0

25

SAN RAFAEL

6

4

6

4

64

SAUSALITO

5

0

5

0

37

SNFC CNTRL

75

1

75

1

109

SNFC JUNIPER

16

5

16

5

72

SNFC MT-EV

21

3

21

3

69

STNSN-BLNS

3

0

3

0

31

TOTAL

164

30

164

30

619

           

One Block = 1 thousand numbers

     

Pooling Updates (as of December 12, 2000)

             
 

2000 Q1

 

2000 Q2

 

2000 Q3

 

2000 Q4

 

Year-to-Date

 

NPA

Blocks Forecast by Carriers

Blocks Assigned by Pooling Administrator

Blocks Forecast by Carriers

Blocks Assigned by Pooling Administrator

Blocks Forecast by Carriers

Blocks Assigned by Pooling Administrator

Blocks Forecast by Carriers

Blocks Assigned by Pooling Administrator

Initial Blocks Forecasted by Carriers Year -to-Date

Blocks Assigned by Pooling Administrator Year -to-Date

Blocks Remaining from Carrier- Donation to the 415 pool

310 (pool began 3/18)

225

73

199

29

286

26

198

32

908

160

653

                       

415 (pool began 7/29)

       

164

30

193

8

357

38

623

                       

714 (pool began 9/29)

           

224

34

224

34

633

                       

909 (pool began 12/1)

           

143

19

143

19

996

TOTAL

               

1632

251

 
                       

One Block = 1 thousand numbers

                 
                       

· The CPUC should direct the NANPA to withhold issuing prefixes to PageCell, PagePrompt, and Paging Dimensions until the required information is submitted. The CPUC should also consider levying fines or other penalties for failure to comply. If these prefixes are not being used for customers, the CPUC should direct the NANPA to reclaim the prefixes as soon as possible.

· The CPUC should petition the FCC to increase the contamination level for pooling to 25%. If the FCC grants the petition, the CPUC should increase the maximum contamination level of donated blocks from 10% to 25% for all LNP capable carriers.

· When cellular and PCS companies become LNP capable in November 2002, the CPUC should direct those wireless carriers to donate to and participate in the pool.

· The CPUC should adopt a 25% contamination threshold for donated blocks from wireless carriers to the pool.

· The CPUC should solicit comments on the feasibility of paging companies becoming LNP capable and participating in pooling, as well as other methods of reducing the number of stranded numbers held by paging companies.

· If deemed feasible, the CPUC should petition the FCC to rescind the paging companies' indefinite exemption on becoming LNP capable.

· The CPUC should monitor compliance with its fill rate and sequential numbering policies through future number utilization filings and audits.

· The CPUC should establish penalties for non-compliance with fill rate and sequential numbering policies adopted in Decision 00-07-052.68

· Non-working wireless numbers should be treated as reserved numbers and limited to 180 days, after which they should become available for assignment to customers.

· Companies should be required to maintain and update regularly the inventory records of all equipment assigned non-working wireless numbers along with the number assigned, and to submit such records to the CPUC upon request.

· The CPUC should continue to monitor non-working wireless numbers in the near term by reviewing future utilization filings, and should include this category of numbers in any audits conducted of wireless carrier number use.

· The CPUC should require companies to transition from INP to LNP in the 714 area code and implement a monitoring mechanism to ensure compliance.

· The CPUC should adopt a schedule for transitioning INP arrangements to LNP in all other California area codes.

· TD recommends that the CPUC initiate an investigation into the possibility of moving the numbers for time and emergency preparedness into the 555 prefix.

· TD recommends that the CPUC include in its investigation the broader use of the 555 prefix in California's area codes by providing standard 555 numbers in every California area code to provide time, emergency preparedness, and weather information.

· TD recommends that the CPUC require companies to assign numbers sequentially in special use prefixes. Where the numbers are presently assigned randomly, TD recommends that these numbers be moved and consolidated in one thousand-block in order to free more blocks for number pooling.

· The CPUC should monitor reserved number use for all companies by reviewing future utilization data to ensure companies are complying with the FCC's 180-day requirement.

· The CPUC should adopt efficient number use practices specific to companies' reserved number holdings. In developing these practices, the CPUC should investigate various alternatives including, but not limited to, 1) limits on the quantity or percentage of reserved numbers companies can hold, and 2) requirements for using reserved numbers prior to requesting new numbers.

· The CPUC should develop criteria by which companies assign administrative numbers. The CPUC should consider placing a limit on the quantity or percentage of administrative numbers companies are allowed to hold.

· The CPUC should develop rules that require companies to limit administrative number assignments within certain blocks in a given prefix. In cases in which companies hold multiple prefixes in a single rate center, the CPUC should develop rules that require companies to limit administrative number assignments within prefixes.

· The CPUC should monitor intermediate number use for all companies by reviewing future utilization filings to test whether potential abuses in this reporting category occur.

· Wireline and wireless carriers should improve Type 1 number inventory management. Wireline carriers should perform an annual inventory check of wireless Type 1 numbers to verify their records match that of the wireless Type 1 carriers' records. Companies should make inventory data available to the CPUC upon request. Wireline carriers should recover and add to their inventories any Type 1 numbers lying dormant.

· Type 1 carriers should be subject to number conservation techniques such as sequential numbering and fill rates. A system to ensure compliance with Type 1 number conservation measures should be developed.

· The CPUC should consider Type 1 numbers as potential donations to the number pool. Excess and unused Type 1 numbers should be returned to the wireline carriers and either used to serve customers or donated to the number pool.

Recommendation for Aging Numbers

· Although the CPUC has required all companies to differentiate aging numbers between residential and business and track the two categories separately, Pacific Bell has not complied with these requirements. Pacific Bell should be redirected to differentiate aging numbers between business and residential, track them separately, and report on each category accurately. The CPUC should assess penalties for failure to comply.

Recommendation for Audits

· The CPUC should audit the data submitted by companies in this study and future area codes utilization studies.

· The CPUC should work with industry groups and the Pooling Administrator to develop specific rules for companies pertaining to forecasting a six-month inventory when a number pool is authorized in a particular area code.

· The CPUC should request that non-LNP capable wireline carriers in the 714 area code become LNP capable.

· The CPUC should petition the FCC for authority to implement UNP statewide.

· The CPUC should solicit comments in order to develop rules and practices necessary to implement UNP.

· The CPUC should undertake further investigation by ordering the telecommunications industry to develop a plan, within 180 days, for rate center consolidation.

· The CPUC should further explore sharing of prefixes as a means to more efficiently utilize numbers in all area codes

1 NANPA is a role performed by NeuStar, Inc. The FCC chose NeuStar, formerly Lockheed Martin, to perform the functions of numbering administration and area code changes nationwide. 2 Historically, telephone numbers have been allocated to companies in blocks of 10,000, as a complete prefix, such as (408)703-XXXX. Number pooling allows companies to obtain numbers in blocks of 1,000 or even fewer numbers. 3 At present, only wireline carriers are required to participate in number pooling. The FCC has granted most wireless carriers an extension of time, until November 2002, to implement the technology that will support number pooling. The FCC has permanently exempted paging companies from implementing the technology necessary to pool. 4 The percentage of numbers in use in a particular block of 1,000 numbers is referred to as the "contamination" level. 5 Today called the Incumbent Local Exchange Carrier (ILEC) 6 Today called Competitive Local Exchange Carriers (CLEC)

7 In addition, the California state legislature enacted Section 7937 of the California Public Utilities Code. Effective on January 1, 2000, Section 7937 requires the CPUC to prepare and submit to the Legislature, by July 1, 2001, a study of the telecommunications industry's usage rates of telephone numbers in all California area codes. This report also complies with that legislative requirement with respect to the 714 area code.

8 A company's request for its first prefix in the rate center is considered an initial request; requests for additional prefixes are considered growth requests. 9 See Chapter Three of this report for a discussion of LNP. 10 FCC's Opinion and Order on Telephone Number Portability FCC 97-74, issued March 6, 1997 11 Cellular companies, PCS companies, and paging companies comprise the wireless category. 12 ILECs and CLECs 13 Report and Order and Further Notice of Proposed Rulemaking, CC Docket No. 99-200 FCC 00-104 (released March 31, 2000). 14 Wireline carriers include both ILECs and CLECs. 15 The one special code area is used for directory assistance, i.e. a special use prefix described in Section D.1.c of this chapter. 16 A detailed break-down of the available 2.7 million numbers is shown in Table B-1 in Appendix B. 17 Currently, a total of 1,057 thousand-number blocks are available for the 714 number pooling trial. The 1,057 blocks include 390,000 numbers from the 390 blocks that were set aside by the CPUC as well as 667 blocks donated by wireline carriers. 18 Type 1 carriers are not considered wireline or wireless companies. Type 1 numbers are programmed in the wireline company's end office, but are used by a wireless company. 19 1.8 million numbers are comprised of a maximum of 667,000 donated by companies, plus 390,000 initially set aside by the CPUC for pooling, plus 790,000 available through lottery. 20 Recommendations dealing with receiving authority from the FCC to increase contamination threshold rates (25%) for pooling purposes, recovering blocks from special use codes, and recovering unused numbers from non-LNP capable carriers and Type 1 carriers as described later in this report. 21 See Table B-2 in the appendix for a detailed breakout of the 3.0 million numbers. 22 Although all wireline carriers are required to be LNP capable, one wireline carrier in the 714 area code remains non LNP-capable. 23 10% or less contaminated means that out of 1000 numbers in a block, 100 numbers or less have been classified as unavailable. 24 Future need may include serving new customers or offering new services. 25 As of December 12, 2000, 34 blocks have been assigned to companies with 633 blocks available for assignment. 26 See Table B-1 in Appendix B. The 636,000 is comprised of 71,520 which are in blocks that are 10-15% contaminated, 59,099 from 15-20% contaminated, 27,275 from 20-25% contaminated, and 477,923 numbers which are in blocks that are more than 25% contaminated. Later in this chapter, TD recommends additional steps that can be implemented to make more of the 636,000 numbers available for number pooling. 27 For a discussion of numbers held for special uses, see Section D.l.c of this chapter. 28 INC's Thousand Block (NXX-X) Pooling Administration Guidelines, dated January 10, 2000, state that carriers should donate specified thousand blocks. 29 Only wireless carriers hold prefixes in these three rate centers. 30 Additional numbers from the last three columns of Table 2-5: 71,520+59,099+27,275=157,894 31 See Table B-2 of Appendix B. 32 See Chapter 1 for the discussion on Decision 00-07-052. 33 This includes the 5 prefixes held by the companies who did not report utilization data. 34 FCC 00-104, Paragraphs 237, 238, and 241 35 Remote Call Forwarding allows a customer to have a local telephone number in a distant location. RFC is similar to call forwarding on a residential line, except that the RCF customer has no phone, no office and no physical presence in that location. Direct Inward Dialing uses a trunk from the central office which passes the last two to four digits of the Listed Directory Number into the PBX, thus allowing the PBX to switch the call to the correct extension without the use of an attendant. Existing DID retail service is limited to PBX services. For purposes of providing INP, DID switch functionality is used to provide INP to any CLC customer regardless of the type of terminal equipment used on the customer's premises. 36 However, one wireline carrier still remains non-LNP capable. 37 The emergency preparedness prefixes are for services other than 911. 38 The number used for inter-area code directory assistance, which is uniform throughout California, is 1-XXX- 555-1212. This number has been designated for this use at the federal level. 39 An example would be a customer request for 2,500 numbers to be used in 2000, coupled with a request to have the next 2,500 numbers in sequence "reserved" for the customer to use in 2001. 40 Central Office Code (NXX) Assignment Guidelines, prepared by the Industry Numbering Committee, January 27, 1999 version, Section 4.4. 41 FCC Order 00-280, CC Docket No. 99-200, adopted and released on July 31, 2000. 42 See FCC Order 00-129, Paragraph 114. 43 See Appendix D for a breakdown of reserved numbers reported in the 714 NPA by rate center. 44 Wireline carriers serving the Westminster rate center reported 1,753 reserved numbers and wireline carriers serving the Buena Park rate center reported 9,412 reserved numbers. 45 See Appendix F for a breakdown of intermediate numbers held by wireline and wireless carriers. 46 Type 1 numbers are programmed in the wireline carrier's end office, but are used by a wireless carrier. 47 152,700 out of a total of 286,600 Type 1 numbers are unaccounted for or mismatched. 48 Type 1 numbers may go unused because wireless carriers go out of business or because of inadequate record keeping. 49 The 714 study revealed that Type 1 numbers given to wireless carriers are from prefixes in which the wireline carriers have already initiated LNP. Because Type 1 numbers reside in the wireline carrier's end office, Type 1 numbers are LNP-capable and thus suited for pooling. 50 These blocks are 10% or less contaminated. 51 In the first NRO Order, both 360 days and 365 days were used as the time period for aging business numbers. In a clarifying order, the FCC adopted 365 days as the aging period for business numbers. When the CPUC sent out the parameters for utilization data for this study, the 360 day time period for aging business numbers was used. In order to be consistent with the time frames the FCC adopted, the CPUC is now using the 365 time period for aging business numbers. 52 Two prefixes have been opened in the 310 pool for LRN assignment purposes. 53 As of December 18, 2000. 54 Three prefixes have been opened in the 415 pool for LRN assignment purposes 55 Before a whole prefix is activated, the prefix must be first listed for 66 days in the Local Exchange Routing Guide (LERG), stating the rate center where the prefix will be located. 56 Data can be found in Pooling Appendix. 57 Sections 6.1.4 & 6.1.5 in INC 99-0127-023, January 10, 2000 58 FCC 96-286 in CC Docket No. 95-116. 59 FCC 99-19, WT Docket 98-229; CC Docket No. 95-116, Released: February 9, 1999. Paging companies are indefinitely exempt from becoming LNP-capable. 60 Further Comments of the California Public Utilities Commission and the People of the State of California in CC Docket No. 99-200, submitted May 19, 2000. 61 See INC Contribution #336R of September 29, 2000, "UNP Architecture With Minimal Administrative Structure" and Focal and MCIWorldcom's Report on UNP Trial 62 First NRO Order, FCC 00-104, CC Docket 99-200, ¶ 230. "We reiterate our finding that UNP and ITN [individual telephone number pooling] are not yet sufficiently developed for adoption as nationwide numbering resource optimization measures and conclude that ITN and UNP should not be mandated at this time.". 63 See ¶ 231: "We permit carriers, however, to engage voluntarily in UNP where it is mutually agreeable and where no public safety or network reliability concerns have been identified." 64 For example, while the ILECs still control roughly 95% of the residential toll market, competitors have succeeded in making significant inroads into the business toll market, where the ILECs now hold only 50% of the market. If the CPUC were to decide that the ILECs should be "made whole" for any lost toll revenues, then other companies legitimately could demand a mechanism to make them whole as well. Alternatively, if the competitors cannot practically be reimbursed for lost revenues, then as a policy matter, the CPUC must decide if it is reasonable to allow only the ILECs to recover such revenue.

65 "Where Have All the Numbers Gone?" (Second Edition), The Ad Hoc Telecommunications Users Committee, prepared by Economics and Technology, Inc., June 2000. The estimate of $5.56 may be conservative.

66 The last major rate design proceeding undertaken for Pacific Bell and Verizon, then GTEC, was the Implementation and Rate Design (IRD) phase of the New Regulatory Framework proceeding, 1.87-l l-033. 67 Prior to the opening of the 714 number pool on September 29, 2000, all companies requesting telephone numbers got prefixes from the NANPA. Currently, only non-LNP capable carriers receive prefixes from the NANPA, while LNP capable carriers receive thousand-number blocks from the pooling administrator. 68 See Chapter 1 for the discussion on Decision 00-07-052.

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