Date Filed | Summary | Pages |
03/10/1994 | Opinion & Order that GTE North failed to sustain its burden of proof and, therefore, its complaint is dis- missed. | 0 |
04/30/1992 | Memorandum in response to GTE North, Inc.'s motion to strike, filed on behalf of respondent, Ohio Bell, by C. Rawlings. | 0 |
04/22/1992 | Motion to strike and memorandum in support filed on behalf of complainaint, GTE North, by J. Stewart. | 0 |
04/16/1992 | Letter regarding the brief of Toledo Edison Company, filed on behalf of Warren County Communications by M. Christensen. | 0 |
04/13/1992 | Reply to the response of The Ohio Bell Telephone Company to GTE North's motion to strike or, in the alternative, memo- randum contra for leave to file a brief instanter of The Toledo Edison Company, filed on behalf of complainant, GTE North, by J. Stewart. | 0 |
04/06/1992 | Response to GTE North, Inc.'s motion to strike or, in the alternative, memorandum contra motion for leave to file a brief instanter of the Toledo Edison Company, filed on behalf of respondent, Ohio Bell, by C. Rawlings. | 0 |
03/23/1992 | Motion to strike or, in the alternative, memorandum contra motion for leave to file a brief instanter of The Toledo Edison Company and memorandum in support filed on behalf of respondent, GTE North, by J. Stewart. | 0 |
03/23/1992 | Response to motion and briefs of The Toledo Edison Company filed on behalf of respondent, Ohio Bell, by C. Rawlings. | 0 |
03/06/1992 | Motion for leave to file a brief instanter, filed on behalf of Toledo Edison by M. Regulinski. | 0 |
03/06/1992 | Brief filed on behalf of Toledo Edison Company by M. Regulinski. | 0 |
07/03/1990 | Reply brief filed on behalf of respondent, Ohio Bell, by C. Rawlings. | 0 |
07/03/1990 | Reply brief filed on behalf of complainant by J. Stewart. | 0 |
06/08/1990 | Initial brief filed on behalf of Ohio Bell by C. Rawlings. | 0 |
06/08/1990 | Post hearing brief filed on behalf of complainant by J. Stewart. | 0 |
05/14/1990 | Transcript filed for hearing held 4/24/90, (SW), 161-359 pgs, Con't. | 0 |