On Wed, Feb 16, 2022 at 11:20 PM <hak@cooper.edu> wrote:

>I believe that should be 19-72A1.
>
>https://docs.fcc.gov/public/attachments/FCC-19-72A1.pdf
>
>Essentially, all services must be transitioned to fiber or wireless by August 2nd, 2022.

I'm reading that document and that's not what it appears to say at all.

As someone who participated in that proceeding, your reading is not totally correct, but much more accurate.  

This seems to be about discontinuing the artificial price restrictions of
2 and 4 wire dry pair loops that LECs resell to service providers, e.g.
competitive DSL providers.

It goes a bit further than that. Their prices are no longer regulated, under this particular regime but maybe others, and they can not offer the unbundled copper loop service at all.

A key point is that copper loop Unbundled Network Elements (UNE) are no longer required to be offered in urban areas. Key distinction. In suburban and rural areas, UNE DS0 (copper loops) are still a required element.

I don't see anything in this order which would mandate that LECs discontinue
their own DSL or POTS services.  It would be especially ludicrous since in
many parts of many markets, there is no alternative at this time.

True. And for this reason suburban and rural UNE DS0 are still required.

For what it is worth, we fought against this discontinuance.
 
Shane


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Fletcher Kittredge
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