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Case Record For:

03-0888-AU-ORD

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Case Title: COMMISSION'S REVIEW OF ITS RULES AT CHAPTERS 4901-17 AND 4901-1-18, O.A.C.
Status: AR-Archived
Industry Code: AU-MORE THAN TWO UTILITIES
Purpose Code: ORD-Administrative order
Date Opened: 4/2/2003
Date Closed:
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Date FiledSummaryPages
08/11/2009Memo automatically archiving case with an effective date of 8/10/09.1
08/07/2009Memo automatically closing and archiving case with an effective date of 8/7/09.1
07/26/2007Service Notice13
07/25/2007Entry ordering that Embarq's July 16, 2007, requests to withdraw its waiver applications in these cases are granted.3
07/16/2007Request that the motion be withdrawn on behalf of United Telephone Company of Ohio dba Embarq, filed by B. Donahue.2
07/09/2007Memorandum Contra Embarq's application for waivers of various disclosure requirements by the Office of the Ohio Consumers' Counsel, The Appalachian People's Action Coalition, and Board of County Commissioners, Lucas County, Ohio filed by T. Etter.34
06/20/2007Application for waiver of United Telephone Company of Ohio dba Embarq filed by J. Stewart.10
02/28/2007Entry ordering that KNG's request for waiver of Rule 4901:1-13-11(B)(21), O.A.C. which requires that PIPP information be included on customer bills is granted and proposed bill formats be approved.4
02/28/2007Service Notice15
01/17/2007Motion for waiver of KNG Energy, Inc. and memorandum in support filed by B. Royer.4
11/28/2006Entry ordered that Northeast's request for a waiver be granted.4
11/28/2006Service Notice.15
09/29/2006Letter stating that DP&L will continue its current disconnection procedures and provide additional interactive voice recorder (IVR) phone contact during the coming winter heating season filed by D. Seger-Lawson.1
02/01/2006Entry ordered; that the Clearfield Companies' April 7, 2005 request for waivers in 03-888 of Rule 5(A)(5)(c) through (e) and (i) and Rule 9(B)(4), (5), and (21) are no longer necessary as the Companies have proposed acceptable bill formats; that the request for a waiver of Rule 9 (B)(24), which requires that historical consumption information be listed on the customer bill, are granted contingent upon the companies providing such information to customer upon request; that subject to today's ruling, the revised proposed bill formats and disconnection notice in 05-1312 are approved.5
02/01/2006Entry ordered; that Northeast's request for a permanent waiver of Rule 5(A)(5)(e) is granted contingent upon the company's implementation of a $100 maximum residential security deposit to restore service; that the proposed disconnection notices are approved.5
01/04/2006Entry ordered; that OCC's motion to intervene is denied, that DP&L's request for a waiver of Rule 18-05(B)(1) is granted in accordance with Finding (12).7
01/04/2006Entry ordered that OCC's motion to intervene is denied; that AEP Ohio's request for a waiver of Rule 18-05 (B) (1) is denied; that AEP Ohio shall implement the necessary changes to comply with this order as expeditiously as possible.7
12/09/2005A sample of the proposed disconnection notice filed on behalf of Northeast Ohio Natural Gas Corp by B. Royer.3
12/09/2005Entry ordering that automatic approval of the Clearfield Companies' new bill and disconnection notice formats be suspended until the Commission, specifically orders otherwise. (GS)2
11/29/2005Entry ordering that Ohio Valley's request for a temporary waiver of certain sections of Rule 4901:1-18-09(B), O.A.C., is moot; that Ohio Valley's proposed bill formats filed on August 15, 2005, as amended on August 19, 2005, are approved; that this case be closed of record.3
11/29/2005Entry ordering that Oxford's request for a permanent waiver of Rule 4901:1-18-09(B)(13), O.A.C., is granted that Oxford's proposed bill formats filed on August 17, 2005 are approved: that case be closed of record.4
11/09/2005Entry ordering that applications for rehearing filed by OCC, NOPEC, and LICA are denied.7
11/08/2005Letter in response to the Commission's order on amended rules in Chapter 4901:1-17 and 4901-:1-18 filed by V. Lago on behalf of Americatel.2
11/04/2005Motion and memorandum in support of the Oxford Natural Gas Company for a waiver from compliance with the Commission's disconnect notice requirements filed by B. S. Boster.9
11/02/2005Letter informing that Ohio Partners for Affordable Energy will not be filing any pleadings; that the request for waiver provided by the applicant, Northeast Ohio Natural Gas Group is reasonable and it satisfies the proposal provided filed by D. Rinebolt. (original)1
11/01/2005Letter stating that Ohio Partners for Affordable Energy will not be filing any pleadings in this case filed by D. Rinebolt. (FAX)1
11/01/2005Letter showing that the amended disconnection notice format has been modified to reflect that the 1/3 payment plan is in effect from November through April 15th filed by L. McAlister on behalf of the Clearfield Companies.7
10/28/2005Motion for waver of Northeast of Ohio Natural Gas Corp. and memorandum in support filed by B. Royer.11
10/27/2005Entry granting DP&L's request for an extension of time until November 17, 2005 to file its reply memorandum to OCC's October 6, 2005 memorandum contra. (JS)2
10/25/2005Request for waiver and approval of bill and disconnection notice formats of Pike Natural Gas Company, Eastern Natural Gas Company, and Southeastern Natural Gas Company filed by L. McAlister.30
10/18/2005Revised billing card for approval filed by M. Ramser on behalf of Ohio Cumberland Gas Company.3
10/03/2005Service Notice1
09/30/2005Entry ordering that automatic approval of Oxford's new bill format be suspended until the Commission specifically orders otherwise. (GS)2
09/30/2005Service Notice16
09/29/2005Entry ordering that the automatic approval of Ohio Valley's new bill format be suspended until the Commission specifically orders otherwise. (GS)2
09/28/2005Finding and order extending the hours of the Commission's call center and granting a waiver for portions of various administrative code rules in relation to statutory changes mandated by Amended House Bill 66.6
08/19/2005Supplemental filing to its application for approval new bill format and a new disconnect notice filed by L. Spencer on behalf on Ohio Valley Gas Corporation.4
08/15/2005Application for approval of a new bill format and new disconnect filed Lloyd M. Spencer on behalf of Ohio Valley Gas Corporation.15
08/01/2005Sample bill format filed by A. LaRue on behalf of Piedmont Gas Company.9
07/19/2005Service Notice15
07/19/2005Finding and order ordering that Oxford's request for permanent waiver of Rule 5(A)(5)(e) is denied and Oxford shall revise its disconnect notice/bill to comply; that Oxford's request for waiver of sections (20) and (24) of Rule 9(B) is granted; that Oxford's application to amend its tariff is approved.8
07/06/2005Proposed General Rules and Regulations applicable to Gas Service in Ohio, filed on behalf of Ohio Valley Gas Corporation by L. Spencer.56
06/27/2005Revised Tariff sheet for PUCO No. 1, Regulations and Schedule of Intrastate Charges Applying to Local, Message Toll, and Long Distance End-User Communications Services within the State of Ohio, cancels Tariff Sheet Section 2, 1st Revised Page 19, shall supersede and cancel tariff sheet section 2, Original Page 19, filed on behalf of applicant by L. McAlister.2
06/23/2005Proposed amended tariff and proposed revised tariff sheets filed by B. Scott Boster on behalf of Oxford Natural Gas Company.37
06/20/2005Notice of withdrawal filed on behalf of Cleveland Electric Illuminating Company filed by J. Burk.2
06/20/2005Notice of withdrawal filed on behalf of Ohio Edison Company filed by J. Burk.2
06/20/2005Notice of withdrawal filed on behalf of Toledo Edison Company filed by J. Burk.2
06/14/2005Service Notice15
06/14/2005Entry ordering that Cumberland's request for a temporary waiver of sections (5) and (22) of rule 4901:1-18-09(B), OAC and for a permanent waiver of sections (1) and (24) of ruled 4901:1-18-09(B) OAC is granted.4
06/08/2005Entry ordered that; Foraker's, Brainard's, Swickard's and Gasco's request for a waiver of Rule 4901:1-18-09(B)(21), O.A.C. which requires that PIPP information be included on customer bills, is granted, that; Foraker's, Brainard's and Swickard's request for a waiver of Rule 4901:1-18-09(B)(24), O.A.C., which requires that residential customer bills include historical consumption information, is granted, that; Gasco's proposed bill formats filed on April 29, 2005, be approved.5
06/08/2005Service Notice16
06/06/2005Letter informing Commission about disconnect policies of company, filed on behalf of Exergy Group, LLC by R. Minton.1
06/03/2005Correspondence advising that bill messages describing the Budget Billing Plan will be printed on Brainard's July and August billings and periodically thereafter filed on behalf of Brainard Gas Corp. by B. Royer.1
05/23/2005Correspondence stating that Looking Glass Networks, Inc. does not collect deposits from residential customers for Ohio interstate services filed by A. Shirrell.1
05/20/2005Request for waivers and/or extensions of time to comply with certain rules included in Chapter 4901:1-18, OAC, filed on behalf of Ohio Cumberland Gas Company by M. Ramser.2
05/10/2005Letter stating that Group Long Distance, Inc is a telecommunications company and is in compliance with Chapter 18, filed by T. Tecce.1
05/06/2005Application in correspondence revising tariffs in residential credit and disconnection policies and procedures in compliance with entry dated March 2, 2005 filed on behalf of Constitution Gas Transport Co. by B. Royer.11
05/06/2005Correspondence stating that New Access Communications LLC is in compliance with residential credit rules effective September 1, 2004 filed by D. Rosedah.1
05/04/2005Entry stating that DP&L's request for temporary waiver of rule 5(A)(5)(e), until June 30, 2005 is granted in part.3
05/04/2005Application for temporary waiver filed by L. Spencer on behalf of Ohio Valley Gas Corporation.8
05/04/2005Service Notice15
05/03/2005Letter stating that Convergia, Inc. is in compliance with the requirements of Chapter 17, filed by E. Manzoni.1
05/02/2005 Letter stating that BPS deposit terms and conditions the company does not require customer deposits and SCS does not take customer deposits and has no customers in the State of Ohio, filed on behalf of Eschelon Telecom, Inc by C. Murray. (original) 1
05/02/2005Letter informing the Commission that Global Crossing Companies complies with the revised residential credit rules which became effective on 9/01/2004, filed by M. Allentoff.1
04/29/2005Letter relative to notice of review and compliance filed on behalf of Re-Link Digital Communications, Inc. by W. Turner, Jr.1
04/29/2005Letter requesting PIPP Waiver of 4901:1-18 (B) (21) requirement, filed on behalf of Gasco Distribution Systems, Inc. by K. Magyar.3
04/29/2005Revised PUCO Tariff No. 1, Interexchange tariff to comply with Chapter 4901:1-17 of OAC, filed on behalf of Uni-Tel Communications Group, Inc. by B. Ferguson.13
04/29/2005Revision to U.S. Communications Inc dba US South & dba INCOMM tariff PUCO No. 1 to comply with 4901-1-17 OAC, filed by B. Ferguson.11
04/29/2005Tariff revisions PUCO No 2 of CenturyTel Long Distance, LLC to revise deposit language in compliance with 4901:1-18 OAC filed by T. Forte.14
04/29/2005Letter informing Commission that Legacy Long Distance International, Inc. does not collect deposits from customers in Ohio intrastate services and feels that its tariff language is adequate, filed by T. Forte.1
04/29/2005Proposed tariff changes to comply with 4901:1-18 OAC, filed on behalf of CEI by S. Hadick.11
04/29/2005Revised tariff to revise 30th revised page 2 updates check sheet; 1st revised page 23 revised deposit language filed on behalf of BellSouth Long Distance, Inc. by T. Forte.13
04/29/2005Toledo Edison's proposed tariff change to comply with 4901:1-18 OAC, filed by S. Hadick.11
04/29/2005Ohio Edison's proposed tariff change to comply with 4901:1-18 OAC, filed by S. Hadick.11
04/29/2005Correspondence stating that Clear World Communications Corporation does not collect from customers for Ohio interstate services and its tariff language is in compliance with the requirements filed by T. Forte.1
04/29/2005Tariffs cont'd, filed by Broadwing Communications, Inc. (Part 2 of 2)180
04/29/2005Revised tariff PUCO No. 1, to comply with Chapter 4901:1-17 of OAC, filed on behalf of Broadwing Communications, Inc. by L. McAlister.180
04/29/2005Letter stating that US LEC Communications, Inc will file revised tariff changes to be in compliance with Chapter 4901:1-17, OAC the week of 5/2/2005, filed by E. Griffin. (FAX)1
04/29/2005Letter stating that BPS deposit terms and conditions the company does not require customer deposits and SCS does not take customer deposits and has no customers in the State of Ohio, filed on behalf of Eschelon Telecom, Inc by C. Murray.1
04/28/2005Application of Global Internetworking, Inc. to revise its tariff in compliance with 03-888-AU-ORD.121
04/28/2005Service Notice13
04/28/2005Amended tariff pages with effective date April 29, 2005 filed by L. Manske on behalf Choice One Communications of Ohio Inc.18
04/28/2005Revised tariff sheets that reflect changes of the amended rules filed by S. Mohr on behalf of Qwest Communications Corporation's.21
04/27/2005Entry ordering that Piedmont's request for extension of time to prepare a new customer bill format and revised disconnect notice is granted; that Piedmont's request for a waiver is granted to the extent that such provisions continue to be inapplicable to Piedmont.6
04/27/2005Reply memorandum to memorandum contra filed by B. Boster on behalf of The Oxford Natural Gas Company.5
04/27/2005Motion for waivers and memorandum in support filed by B. Royer on behalf of The Swickard Gas Company.5
04/26/2005Motion for waivers, and memorandum in support filed by B. Royer on behalf of Brainard Gas Corp.5
04/26/2005Motion for waivers, and memorandum in support filed by B. Royer on behalf of Foraker Gas Company.5
04/25/2005Application and revisions to interexchange tariff to comply with chapter 4901:1-17 filed by B. Ferguson on behalf of Working Assests Funding Service, Inc.13
04/20/2005Entry on rehearing ordering that CG&E's application for rehearing be denied in part and granted in part.6
04/20/2005Service Notice9
04/19/2005Memorandum contra of Ohio Partners for Affordable Energy to the motion of the Oxford Natural Gas Company filed by D. Rinebolt.6
04/15/2005Entry ordered that; Re-Link's request for an extension of time, until April 29, 2005, to file its letter of compliance is granted.(GS)2
04/15/2005Letter to Commission staff stating that it believes it is in compliance with the Commission rules and that no changes to the tariffs are necessary at this time, filed on behalf of Qwest Interprise America, Inc. by S. Mohr.1
04/15/2005 Letter to Commission staff stating that it believes it is in compliance with the Commission rules and that no changes to the tariffs are necessary at this time, filed on behalf of Qwest Interprise America, Inc. by S. Mohr. (FAX) 1
04/15/2005Service Notice9
04/13/2005 In the matter of the Oxford Natural Gas Company's Amended Schedule of Rates, Classifications, Rules and Regulations for Gas Service and Motion for a Waiver from Compliance with the Commission's Disconnect Notice Requirements embodied in Section 4901:1-18-05(A)(5)(e) and the Commission's Residential Billing Requirements embodied in Section 4901:1-18-09 (B)(20) and (24) of the O.A.C., filed by B.Scott Boster. 40
04/07/2005Correspondence stating that Verona Natural Gas Company has reviewed the amended rules adopted, the company has no customers outside of the village limits of Verona, Ohio and will review its procedures and make any tariff filing necessary should it accept customers outside of the village limits filed by S. Boster.1
04/07/2005Request for waivers of Pike Natural Gas Company, Eastern Natural Gas company and Southeastern Natural Gas Company filed by L. McAlister.14
04/06/2005Amended motion for Leave to file a request for waiver, extension of time and memorandum in support, filed on behalf of Piedmont Gas Company by S. Howard.10
04/06/2005Letter stating that TDS Long Distance Corp. reviewed the amended rules in referenced matter and determined that changes were necessary to its tariff, filed by J. Lautenschleger.1
04/04/2005Correspondence stating Claricom Networks, LLC is in compliance with amendments to rules of OAC chapter 4901:1-17 filed by H. Russell.1
04/04/2005Correspondence stating that USA Digital Communications, Inc. has reviewed its tariffs, customers disconnects notices and bill format; that no changes are needed filed by M. Costello.1
04/04/2005Correspondence stating that Clear Rate Communications does not perform credit checks therefore this letter is in compliance with the Commission filed by T. Namy.1
04/01/2005Correspondence stating that Coast International Telecom current tariff is in compliance filed by C. Brenneman.1
04/01/2005Correspondence to inform the PUCO that USA Digital Communications, Inc. is in compliance and no changes are needed filed by M. Costello.(FAX)1
03/31/2005Application with tariff pages that have been revised to incorporate the amended rules and regulations filed by R. Blau on behalf of Universal Access, Inc.8
03/31/2005Application for temporary waiver of O.A.C 4901:1-18-05(a)(5)(e) filed by T. Lakes on behalf of DP&L.8
03/31/2005Correspondence stating after reviewing chapters 4901:1-17 and 4901:1-18, Gasco Distribution Systems, Inc. has made changes to comply with rule filed by K. Magyar.1
03/31/2005Correspondence stating that Orwell Natural Gas Company may not fully comply with the new rules, they are seeking clarification as to whether it is appropriate to file an application for a tariff amendment filed by S. Rigo.1
03/31/2005Correspondence stating that Primus Telecommunications, Inc. has reviewed its tariff to confirm compliance with rules as amended in chapter 4901:1-17 O.A.C. filed by T. Connor. (original)1
03/31/2005Correspondence stating that Least Cost Routing, Inc. has reviewed its tariffs to confirm compliance with rules as amended in chapter 4901:1-17 O.A.C. no changes are necessary filed by T. Connor (original).1
03/31/2005Correspondence stating that ChoiceOne Communications of Ohio Inc.intends to file tariff revisions no later than April 29, 2005 to ensure its tariffs are compliant with chapter 4901:1-17 of the O.A.C. filed by J. Parnell.1
03/31/2005Correspondence stating that Allegheny Communications Connect, Inc. has no residential customers in Ohio, and will review its deposit and credit worthiness procedures with staff and make any tariff filing necessary should it accept residential customers filed by D. Conway.1
03/31/2005Application to update tariff to be in compliance with 03-888-AU-ORD filed by E. Manzoni on behalf of Convergia Inc.93
03/30/2005Correspondence requesting extension for 30-days and notice of review of chapters 17 and 18 filed by W. Turner Jr. on behalf of Re-Link Digital Communications, Inc.1
03/30/2005Correspondence stating that United Telephone Company of Indiana, Inc., US Telecom, Inc. dba Sprint Services and ASC Telecom, Inc. have determined that no changes are necessary to bill format, disconnect notice or tariffs filed by B. Donahue.1
03/30/2005Correspondence stating that ICG Telecom Group, Inc. is in compliance with O.A.C 4901:1-17 filed by J. Frost.1
03/30/2005Correspondence stating that Northern Industrial Energy Development, Inc. is in compliance with the requirements of chapter 17 and 18 in rules established in the O.A.C. filed by A. Duckworth.1
03/30/2005Correspondence stating that Alliance Group Services, Inc have determined that it is in compliance with chapters 4901:1-17 filed by P. Crocker.1
03/30/2005Correspondence stating that Working Fund Assets Funding Service, Inc. finds that no disconnect notice or bill format changes are necessary filed by W. McGee1
03/30/2005Correspondence stating that Cincinnati Bell Telecommunications Services, Inc. has reviewed its tariffs and determined that no changes are necessary filed by S. Ringo, Jr.1
03/30/2005Application to revise tariff for compliance with case no. 03-888-AU-ORD filed by B. Bennett on behalf CoreComm Newco, Inc.21
03/30/2005Correspondence stating that Monongahela Power Company has determined that no changes to its tariffs are necessary filed by D. Conway.1
03/30/2005Correspondence stating that FirstEnergy Telecommunications Corp., has determined that no changes are necessary to its existing filed tariff by M. Wolfe.1
03/30/2005Correspondence stating Least Cost Routing, Inc. believes that it is currently in compliance with deposit/credit rules and that no changes to its tariff are necessary filed by T. Connor. (FAX)1
03/30/2005Correspondence stating that no changes to its tariff are necessary filed by T. Connor on behalf of Primus Telecommunications, Inc. (FAX)1
03/30/2005Correspondence stating that Constitution Gas Transport Co.,Inc. has determined that credit and disconnection provisions of its tariff must be revised to comply with current chapter 4901:1-17 and 4901:1-18, O.A.C. filed by B. Royer.1
03/29/2005Correspondence stating that Access One Incorporated has determined that no changes to its tariff are necessary filed by J. Sobek.1
03/29/2005Application form filed by C. Flahive on behalf of Orwell Long Distance.5
03/29/2005Correspondence stating that Infonet Telecommunications Corporation believes that no changes to its tariff are necessary filed by S. Marshal.1
03/29/2005Correspondence stating that eMeritus Communications is in compliance with amendment rules 4910:1-17 filed by E. Curry.1
03/29/2005Correspondence stating that Excel Telecommunications, Inc. is in compliance with amendments rules 4901:1-17 filed by E. Curry.1
03/29/2005Correspondence stating that VarTelecom, Inc. is in compliance with amendment rules in chapter 4901:1-17 filed by E. Curry.1
03/29/2005Correspondence stating that Red River Networks, LLC is in compliance with amendments made to the rules O.A.C chapter 4901:1-17 filed by H. Russell.1
03/29/2005Correspondence stating that @ccess, LLC dba Nexxtworks is in compliance with amendments made to rules of O.A.C chapter 4901:1-17 filed by H. Russell.1
03/29/2005Correspondence stating that Access2Go, Inc. is in compliance with amendments made to rules of O.A.C chapter 4901:1-17 filed by H. Russell.1
03/29/2005Correspondence stating that Advanced Telemanagement, Inc. is in compliance with amendments made to the rules of O.A.C chapter 4901:1-17.1
03/29/2005Correspondence stating that Matrix Telecom, Inc. is in compliance with amendments made to rules of O.A.C. chapter 4901:1-17 filed by H. Russell.1
03/29/2005Correspondence stating that Zone Telecom, Inc. is in compliance with amendments made to rules of O.A.C chapter 4901:1-17 filed by H. Russell.1
03/29/2005Correspondence stating that Comcast Phone of Ohio, LLC makes changes to the general regulations to comply with revisions to chapter 4901:1-17 of the O.A.C filed by D. Lloyd.11
03/29/2005Revised PUCO tariff No. 1 filed by K. Faul on behalf of XO Communications Services, Inc.12
03/29/2005Application of TDS Long Distance to update tariffs to be in compliance with the new credit worthiness rules filed by C. Flahive.14
03/29/2005Correspondence stating that on March 28, 2005 TDS Metrocom filed application to abandon its services, withdraw all of its tariffs, and surrender its operating certificate filed by K. Hebgen.1
03/29/2005Correspondence stating that their respective tariffs are in compliance with chapters 4901:1-17 and 4901:1-18, O.A.C. filed by J. Sanders on behalf of MCI WorldCom Communications, Inc., MCI Network Services, Inc. and MCImetro Access Transmission Services, LLC.1
03/28/2005Correspondence stating that Metro-Connect Company tariffs are in compliance with chapter 4091:1-1-17 O.A filed by D. Jenkins.1
03/28/2005Revised tariff to comply with chapter 4901;1-17 of the O.A.C filed by S. Klinzman on behalf of CIMCO Communications, Inc.31
03/25/2005Application in correspondence to revise tariff in compliance with case # 03-888-AU-ORD.24
03/25/2005Application in response to request to revise tariff filed on behalf of BridgeCom International, Inc. by S. Bogdan.17
03/25/2005Application in response to request making a textual change to tariff filed on behalf of Custom Networks Solutions by M. Byrnes.12
03/25/2005Correspondence stating no changes to its tariff are necessary filed on behalf of Sherwood Mutual Telephone Association by M. Woodring.1
03/25/2005Application for rehearing and memorandum in support filed on behalf of The Cincinnati Gas & Electric Company by A. Schafer.10
03/24/2005Correspondence stating that Fiber Technologies Networks, L.L.C. has reviewed its tariff and found it to be in compliance with chapter 17 filed by J. Adams.1
03/24/2005Correspondence stating that Broadview NP Acquisition Corp. believes it is in compliance with chapter 17 and no tariff revisions are necessary filed by S. Bogdan.1
03/24/2005Correspondence stating that Broadview Networks, Inc. believe section 2.7 of its tariff is in compliance with chapter 17, no tariff revisions are necessary filed by S. Bogdan.1
03/23/2005Correspondence stating that GoldStar Communications, LLC has determined that no disconnect notice, bill format, or tariff changes are necessary filed by R. Meyer.1
03/23/2005Revised interexchange tariff to comply with revisions to chapter 4901:1-17 filed by S. Klinzman on behalf of EliteView LLC dba GroveLine.11
03/23/2005Correspondence stating Dialaround Enterprises, Inc has reviewed its tariffs and they have been brought into compliance filed by D. Barley.1
03/22/2005Correspondence stating that Value-Added Communications, Inc. is a provider of Inmate Phone Services and Call Data Center in the state of Ohio, and does not have control of connection and disconnection of phone service to the public nor do they bill customers directly filed by C. Cook.1
03/22/2005Correspondence stating that Access Point, Inc. tariffs are in compliance with chapter 17, and no revisions are necessary filed by C. Neeld.1
03/22/2005Correspondence stating that Quasar Communications Corporation tariff is in compliance with chapter 4901:1-17 filed by L. Haddad.1
03/22/2005Correspondence stating 360networks(USA) does not currently offer residential telephone service in the State of Ohio, and does not have any tariff revisions to provide to the commission filed by Charles Forst.1
03/22/2005Correspondence stating that CAT Communications International. Inc. is in compliance with chapter 17 regarding residential customer credit, therefore no tariff revisions are necessary filed by C. Neeld .1
03/21/2005Service requirement form that pertains to local service filed by M. Blackman on behalf of PAETEC Communications, Inc.13
03/21/2005Correspondence for purposes of revising NBS's interexchange tariff to comply with revisions to chapter 4901:1-17 of the OAC filed by S. Klinzman on behalf of Network Billing Systems, LLC.11
03/21/2005Correspondence stating that Indiana Fiber Works LLC does not provide telecommunications services to residential customers therefore it is not affected by the recent amendments filed by T. Niemann.1
03/21/2005Correspondence stating that Foraker Gas Company, Inc has determined that they are in compliance and no changes are necessary to their tariff filed by B. Royer.1
03/21/2005Correspondence stating that KMC DATA, LLC does not provide service to residential consumers, therefore has determined that no changes are necessary for its disconnect notice, bill format, or tariffs filed by Mertz.1
03/21/2005Correspondence stating that Brainard Gas Corp. has determined that they are in compliance and no changes are necessary to their tariff filed by B. Royer.1
03/21/2005Correspondence stating that KNG Energy, Inc. has determined that they are in compliance and no changes are necessary to their tariff filed by B. Royer.1
03/21/2005Correspondence stating that Group Long Distance, Inc. is a telecommunications company and is in compliance with chapter 18 filed by T. Tecce.1
03/18/2005Correspondence stating no changes are necessary to its tariff, filed on behalf of ALLTEL Communications, Inc. by K. Hobbs.1
03/18/2005Correspondence stating no tariff changes are necessary filed on behalf of Smartstop, Inc. by L. Hall.1
03/18/2005Correspondence stating no tariff changes are necessary filed on behalf of U.S. Telecom Long Distance, Inc., Business Discount Plan, and The Dodson Group Incorporated by S. Klinzman.3
03/18/2005Correspondence concerning tariff changes filed on behalf of Cinergy Telecommunication Networks by R. Rouch.33
03/17/2005Letter stating New Edge Network, Inc. dba New Edge Networks' tariff is in compliance filed by K. Shotsky.1
03/17/2005Correspondence regarding tariff change filed on behalf of Quality One Technologies dba Columbus Grove Long Distance dba ql Long distance by C. Flahive.14
03/17/2005Correspondence regarding tariff changes filed on behalf of Orwell Long Distance by C. Flahive.12
03/17/2005Correspondence letter hereby notifies the Commission that it has reviewed its interexchange tariff, and determined that no changes are necessary filed on behalf of Superior Technologies, Inc dba Superior Spectrum Michigan dba Superior Spectrum dba FSG Long Distance and dba WPS Communications, by S. Klinzman.1
03/16/2005Entry denying OCC's application for rehearing; that a meeting be scheduled to discuss large print and Braille bills on April 21, 2005, at 10:00 a.m., hearing room 11C, Commission offices.9
03/16/2005Correspondence stating tariffs have been reviewed and found to be in compliance filed by M. Haab on behalf of Airespring, Inc.; W. Coulter on behalf of France Telecom Corporate Solutions L.L.C.; T. Berelsman on behalf of Bright CLEC, LLC, Independents Fiber Network, LLC and Bright Long Distance LTD.5
03/16/2005Correspondence letter stating that SBC Long Distance, Inc. finds that no disconnect notice, bill format or tariff changes are necessary filed by D. Daniele.1
03/16/2005Service Notice12
03/15/2005DVC Enterprises, Inc. are pre-paid home telephone service, do not require a deposit or check for credit on any customer regarding establishment of credit for residential utility service filed by R. Peaks. 1
03/14/2005X2Comm, Inc. is a telecommunications company and is compliance with chapter 18 filed by T. Tecce.1
03/14/2005Sycamore Telephone Company has determined that no changes are necessary to its tariff filed by D. Lee.1
03/14/2005Response of SBC Telecom, Inc. that its tariffs are in compliance with the new rule and that further tariff amendments will not be necessary filed by F. Goodwin.1
03/14/2005Correspondence letters stating they are in compliance and no changes are necessary to the tariffs filed by T. Brockman on behalf of Doylestown Communications Inc. dba Heritage Telephone Company and Doylestown Telephone Company; M. Ramser on behalf of Ohio Cumberland Gas Company; and J. Dixon on behalf of WilTel Communications, LLC and WilTel Local Network, LLC.4
03/11/2005Correspondence of AEP Communications, LLC stating no changes to its tariff are required filed by S. Williams.1
03/11/2005Correspondence stating that no changes are necessary, their tariffs are in compliance filed by T. Harpest on behalf of QualStar Communications Inc., M. Duke on behalf of KMC Telecom, and E. Detzel on behalf of CBS Technologies.3
03/10/2005Correspondence stating that its tariffs are in compliance regarding residential customer credit therefore no tariff revisions are necessary filed by S. Thomas on behalf of Saturn Telecommunications Services, Inc.1
03/10/2005Correspondence stating that its tariffs are in compliance regarding residential customer credit therefore no tariff revisions are necessary filed by S. Thomas on behalf of United Telemanagement Systems, Inc.1
03/10/2005Correspondence stating that FairPoint Carrier Services, Inc. is a wholesale long distance provider and is not affected by the recent amendments filed by J. LaPenta.1
03/09/2005Service Notice21
03/09/2005Correspondence stating that The Swickard Gas Company are in compliance the requirements of chapter 17 regarding residential customer credit filed by D. Armstrong.1
03/09/2005Correspondence stating that Evercom Systems, Inc. is an inmate service provider and does not offer presubscribed services or required deposits, therefore no tariff amendments or changes to customer notices are necessary filed by C. Dziuban.1
03/09/2005Correspondence stating that this is a Notice of compliance regarding the residential customer credit tariff language required filed by M. Byrnes on behalf of Trinsic Communications, Inc.1
03/09/2005Entry stating that AEP Ohio's request for a waiver of rule 5(a)(5)(d), (e), (g) and (h) is granted until March 18, 2005.4
03/09/2005Entry ordering that Dominion's request for waiver of rules 18-03, 18-05(A) and 29(F), (J) and (K), O.A.C. is granted and request to amend it's tariff is granted, and that OMG's and ACN/ DRI motions to intervene are denied.13
03/08/2005Correspondence stating that First Communications has determined that no changes are necessary to its existing tariff filed by M. Cegelski.1
03/08/2005Addition to Service Notice1
03/08/2005Correspondence stating that its tariffs are in compliance with the amended rules and that tariff amendments will not be necessary filed by S. Brown on behalf of Ameritech Advanced Data Services of Ohio, Inc.1
03/08/2005Correspondence stating that no changes to its tariff are necessary filed by S. Howard on behalf of Buckeye TeleSystem, Inc.1
03/07/2005Correspondence stating that Midwest Communications, LLC is notifying the Commission that its tariff is in compliance with OAC Chapter 4901:1-17 filed by M. Harms.1
03/07/2005Correspondence stating that Level 3 is notifying the Commission that its tariff is in compliance with OAC Chapter 4901:1-17 filed by S. Bloomfield.1
03/07/2005Correspondence stating that dPi Teleconnect LLC is notifying the Commission that its tariff is in compliance with OAC Chapter 4901:1-17 filed by S. Bloomfield.1
03/04/2005Correspondence pursuant to Commission's directive in its March 2, 2005 entry, stating that no changes are necessary filed on behalf of Dayton Power & Light Company by D. Lawhorn.1
03/04/2005Correspondence pursuant to Commission's directive in its March 2, 2005 entry, stating that no changes are needed filed on behalf of Frontier Communications of America, Inc. by D. Alkins.1
03/04/2005Correspondence pursuant to Commission's directive in its March 2, 2005 entry, stating that its tariff is in compliance filed on behalf of Time Warner Telecom of Ohio, LLC by S. Bloomfield.1
03/04/2005Correspondence pursuant to the Commission's directive in its March 2, 2005 entry, stating that its tariff is in compliance filed on behalf of NuVox Communications of Ohio, Inc. by S. Bloomfield.1
03/04/2005Correspondence pursuant to the Commission's directive in it's March 2, 2005 Entry stating that its tariff is in compliance filed on behalf of DIECA Communications dba Covad Communications Company by J. Wakefield.1
03/04/2005Addition to Service Notice for entry dated 3/2/05.1
03/03/2005Service Notice54
03/02/2005Entry stating that each gas or natural gas distribution, electric distribution, telephone and water and/or sewage disposal comply with the directive in findings 5, 6, and 7.29
02/24/2005Service Notice11
02/23/2005Service Notice11
02/23/2005Entry stating that Vectren's request to amend its tariff is granted; to be effective no sooner than April 15, 2005; that OCC's and OMG's motion s to intervene are denied; that OCC's request to dismiss the waiver application is denied; that OCC's request to implement additional payment plans is denied.15
02/23/2005Entry ordering that CG&E's request for a waiver of rule 5(A)(5)(e) is denied and CG&E shall revise its disconnect notice to comply with rule 5(A)(5)(e) by no later that June 30, 2005.6
02/11/2005Motion for leave to file a request for waiver and extension of time filed on behalf of Piedmont Gas Company by S. Howard.7
02/02/2005Service Notice11
02/02/2005Entry ordering that approval of Vectren's revised proposed bill format, as filed on 12/9/2005, in case # 04-1479 and 03-888 is granted, and Vectren's request for waiver of residential natural gas bill requirements in Rule 4901:1-18-09(B)(14), (15), (20) and (24) is granted until April 1, 2005.4
01/19/2005Service Notice11
01/19/2005Entry ordering that Columbia's request for waiver is granted until 6/30/05; that approval of Columbia's revised bill format is granted as amended by finding 12; that OCC's request for intervention and partial suspension of Columbia's proposed bill format is denied; that OCC's requests that the Commission order Columbia to issue large print bills, bills in Braille and advertise its interpreting service is denied; that staff schedule a meeting to discuss large print and braille bills as directed in Finding (13); that case 04-1680-GA-UNC be closed of record.12
01/12/2005Request for waivers of rules contained in Ohio Administrative Code chapter 4901:1-18 filed by S. Seiple on behalf of Coulmbia Gas of Ohio, Inc.8
01/12/2005Reply to Ohio Partners for Affordable Energy memorandum contra, motion for a waiver of the Commission's disconnect notice requirements filed by P. Colbert on behalf of The Cincinnati Gas & Electric Company.5
01/11/2005Reply to OPAE's memorandum contra CG&E's motion for a waiver from compliance with Commission's disconnect notice requirements filed by T. McIntosh on behalf of Cinergy. (FAX)6
01/04/2005Memorandum contra of Ohio Partners for Affordable Energy to the motion of Cincinnati Gas & Electric Company for a waiver of notice requirements embodied in Section 4901:1-18-05(A)(5)(e) of the Ohio Administrative Code filed by D. Rinebolt.4
12/29/2004Motion for a waiver from compliance with the Commission's disconnect notice requirements filed on behalf of Cincinnati Gas & Electric by T. McIntosh, Esq.5
12/16/2004Letter stating that Ohio Valley Gas Corporation will hold in abeyance the filing of any revised Gas Service Tariff until the actual Rules have been adopted and incorporated into the O.A.C; there will not be any changes to its disconnect notice or utility until mid-2005 to reflect required changes from the amended chapters filed by L. Spencer.1
12/09/2004Supplement to the Application for Approval of New Bill Formats and Request for Waivers filed by L. McAlister on behalf of Vectren Energy Delivery of Ohio, Inc.12
11/23/2004Entry stating that the effective date of the new tariffs be filed; that applicant immediately commence mailing Company's Notice of the increase in rates to its customers by special mailing.The applicant shall notify the Commission in writing upon competion of the mailing.2
11/22/2004Pattersonville Telephone Company has determined that no changes are necessary to its disconnect notice, bill format, or tariff filed by S. Toot.1
11/18/2004Letter stating that the Gas Service Tariff will be revised by December 15, 2004 filed by L. Spencer on behalf of Ohio Valley Gas Corporation.1
11/17/2004Service Notice11
11/10/2004Entry granting in part and denying in part Ohio Gas' requests for waivers; that company's new bill format is approved; that case 04-1478-GA-UNC be closed of record.6
11/02/2004Service Notice11
11/02/2004Entry stating that the approval of the bill format of Ohio Gas is suspended until the Commission specifically orders otherwise.2
10/13/2004Letter stating that Time Warner Telecom of Ohio, LLC has determined that no disconnect notice, bill format or tariff changes are needed filed by C. Wightman.1
10/13/2004Letter stating that the following companies have determined that no disconnect, bill format or tariff changes are necessary:The Arthur Mutual Telephone Co.,Benton Ridge Telephone Co.,Farmers Mutual Telephone Company, The Fort Jennings Telephone Company,Germantown Independent Telephone Company, Kalida Telephone Company, New Knoxville Telephone Company, The Ottoville Mutual Telephone Company and Ridgeville Telephone Company, filed by J. Matz on behalf of Ohio Telecom Association.10
10/12/2004Correspondence on behalf of Andiamo Telecom, LLC, they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by S. Thomas.1
10/12/2004Correspondence on behalf of Inmate Calling Solutions, LLC, they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by R. Norton.1
10/12/2004Correspondence on behalf of TON Services, Inc., they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by R. Norton.1
10/12/2004Correspondence on behalf of DSLnet Communications, LLC., they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by C. Roesel.1
10/12/2004Correspondence on behalf of Globalcom, Inc. dba GCI Globalcom, Inc., they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by C. Roesel.1
10/12/2004Correspondence on behalf of Global Tel Link Corporation, they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by R. Norton.1
10/12/2004Correspondence on behalf of Infone LLC, they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by R. Norton.1
10/12/2004Correspondence on behalf of National Brands Inc.dba Sharenet Communications Company, they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by C. Wightman.1
10/12/2004Letter stating that T-Netix Telecommunications Services, Inc. is an inmate service provider and does not presubcribed services or require deposits therefore no tariff or changes to customer notices are necessary filed by R. Norton.1
10/12/2004Letter stating that Bell Atlantic Communications, Inc dba Verizon Long Distance has determined that no disconnect notice, bill format, or tariff changes are necessary filed by C. Wightman.1
10/12/2004Letter stating that NYNEX Long Distance Company dba Verizon Enterprise Solutions has determined that no disconnect notice, bill format or tariff changes are necessary filed by C. Wightman.1
10/12/2004Correspondence on behalf of Sage Telecom, Inc., they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by C. Roesel.1
10/12/2004Correspondence on behalf of Custom Teleconnect, Inc., they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by M. Byrnes.1
10/12/2004Letter stating that Network Communications International Corp. aka Mundo Telecom, also aka 1800Call4Less does not require deposits or establishment of credit, therefore no tariff changes are needed filed by R. Norton1
10/12/2004Correspondence on behalf of Telenational Communications, Inc., they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by M. Byrnes.1
10/12/2004Correspondence on behalf of Network PTS, Inc., they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by M. Byrnes.1
10/12/2004Letter stating that Pannon Telecom Inc. does not offer presubscribed services or require deposits, therefore no tariff amendments or changes to customers notices are necessary filed by R. Norton.1
10/12/2004Correspondence on behalf of United States Advanced Network, Inc., they have determined that no disconnect notice, bill format or tariff changes are needed to comply with Commission rule's filed by C. Wightman.1
10/12/2004Letter stating that Comm South Companies, Inc. has determined that no disconnect notice, bill format to tariff changes are needed filed by S. Thomas.8
10/12/2004Letter stating that changes or amendments to customer notices are necessary filed by R. Norton on behalf of Combined Public Communications, Inc.1
10/12/2004Letter stating that ITI Inmate Telephone, Inc. does not offer prescribed services and changes to customer notices necessary filed by M. Byrnes.1
10/12/2004Revised supplements to CG&E's gas and electric retail tariffs: sections entitled Supplement A and Supplement B replace similarly titled pages filed by D. Rottinghaus.27
10/12/2004Letter stating that Consolidated Communications Public Services, Inc. does not serve presubscribed residential customers, there are no required changes to the tariff filed T. McMinn.1
10/12/2004Letter stating that Aqua Ohio, Inc. that its current bill format and all the tariffs of its operating divisions are in compliance filed by T. Rodgers.21
10/12/2004Letter stating that Consolidated Communications Network Services, Inc. does not serve presubscribed residential customers, there are no required changes to make to the tariff filed by T. McMinn.1
10/12/2004Letter stating that Consolidated Communications Operator Services, Inc. does not serve presubcribed residential customers, there are no required changes to make the tariff filed by T. McMinn.1
10/08/2004Correspondence informing of no changes needed to bill formats or tariffs.1
10/08/2004Exhibit A revised Customer Rights Notification for Aqua Ohio Lake Division and Exhibit B revised Customer Rights Notification for Aqua Ohio Suburban Division filed by T. Rodgers on behalf of Aqua Ohio, Inc.12
10/07/2004 Correspondence letter stating that Vaughnsville Telephone Company has determined that no disconnect notice, bill format, or tariff changes are necessary filed by M. Kaplan.1
10/07/2004Letter stating that Verizon Select Services Inc. that no disconnect notice, bill format or tariff changes are necessary filed by A. Gillman1
10/06/2004Letter stating that no changes are necessary to its bill format, disconnect notice or tariffs filed by C. Cole on behalf of Verizon North Inc.1
09/28/2004Correspondence regarding that no changes are necessary to it's bill format, disconnect notices, and tariffs filed on behalf of Cinergy/CGE by T. McIntosh.1
09/28/2004Letter stating no changes are necessary to disconnect notice, bill format or tariffs filed by L. Orlando on behalf of Conneaut Telephone Company.1
09/28/2004Letter stating no changes are necessary to bill format, revised disconnect notice attached, revised tariffs will be filed, filed on behalf of Columbia Gas by R. Anderson.3
09/27/2004 Letter stating no changes are necessary to the disconnect notices, bill formats, or tariffs filed on behalf of AT&T Communications of Ohio and TCG Ohio. by S. Briar 1
09/27/2004Letter stating no disconnect notice, bill format, or tariff changes are necessary filed on behalf of Fort Jennings Telephone Company by S. Berelsman.1
09/27/2004Letter stating no disconnect notice, bill format, or tariff changes are necessary filed on behalf of Cinergy/CG&E filed by T. McIntosh. (FAX)1
09/27/2004Letter stating no changes are necessary to the disconnect notices, bill formats, or tariffs filed on behalf of ALLTEL Ohio, Inc. by K. Hobbs.1
09/27/2004Letter stating no changes are necessary to the disconnect notices, bill formats, or tariffs filed on behalf of Western Reserve Telephone Company by K. Hobbs.1
09/24/2004Letter stating no disconnect notice, bill format, or tariff changes are necessary filed by D. Depinet on behalf of Bascom Mutual Telephone Company.1
09/24/2004Letter stating no changes are necessary to the disconnect notices, bill formats, or tariffs filed on behalf of Ohio Gas Company by L. McAlister.1
09/24/2004Letter stating there are no changes necessary to the disconnect notices, bill formats, or tariffs filed on behalf of Vectren Energy Delivery of Ohio, Inc. by L. McAlister.1
09/24/2004Letter stating no changes are necessary to the disconnect notices, bill formats, or tariffs filed on behalf of Pike Natural Gas Company, Eastern Natural Gas Company and Southeastern Natural Gas Company by L. McAlister.1
09/24/2004Request for an indefinite waiver of Rule 4901:1-18-09(B)(24), OAC, filed by L. McAlister on behalf of Ohio Gas Company.8
09/23/2004List of companies that which no disconnect notice, bill format or tariff changes are necessary filed by PUCO Staff.1
09/23/2004Letter stating that Ohio Gas Company is in compliance filed by S. Harrold. (FAX)2
09/22/2004Letter stating that no changes are necessary to it's disconnect notice, bill format or tariff filed on behalf of East Ohio Gas Company d/b/a Dominion East Ohio by H. Leibman.1
09/22/2004Letter stating that no changes are necessary to it's disconnect notice, bill format or tariff filed on behalf of Buckland Telephone Company by D. Place.1
09/22/2004Letter stating that no changes are necessary to it's disconnect notice, bill format or tariff, filed on behalf of McClure Telephone Company by D. Schroeder.1
09/22/2004Letter stating that no changes are necessary to it's disconnect notice, bill format or tariff, filed on behalf of Wabash Mutual Telephone Company by M. Boley.1
09/20/2004Letter stating that no changes are necessary to its disconnect notice, bill format, or tariff filed on behalf of the Orwell Telephone Company by R. Halker.1
09/20/2004Letter stating no changes are necessary to its disconnect notice, bill format, or tariff filed on behalf of Columbus Grove Telephone Company by R. Halker.1
09/17/2004Correspondence stating no changes are necessary to bill format, disconnect notice, or tariff filed on behalf of Verizon North Inc. f/k/a GTE North Incorporated by C. Cole.1
09/17/2004Correspondence stating that no changes are necessary to the disconnect notice or bill format filed on behalf of SBC by R. Wentz.1
09/17/2004Letter advising no changes are necessary to tariff filed on behalf of Suburban Natural Gas Company by D. Pemberton.1
09/16/2004Correspondence stating no changes are necessary to its disconnect notice, bill format, or tariff filed by M. McAllister on behalf of Navigator Telecommunications, L.L.C.1
09/14/2004Correspondence stating no changes are necessary to it's disconnect notice, bill format, or tariff filed on behalf of Ayersville Telephone Company by P. Maag.1
09/14/2004Correspondence stating no changes are necessary to it's disconnect notice, bill format, or tariff filed on behalf of Arcadia Telephone Company by M. Proctor.1
09/14/2004Correspondence stating no changes are necessary to it's disconnect notice, bill format, or tariff filed on behalf of Continental Telephone Company by M. Proctor.1
09/14/2004Correspondence stating no changes are necessary to it's disconnect notice, bill format, or tariff filed on behalf of Vanlue Telephone Company by M. Proctor.1
09/14/2004Correspondence stating that no changes are necessary to it's disconnect notice, bill format, or tariff filed on behalf of Middle Point Home Telephone Company by J. Thomas.1
09/14/2004Correspondence stating no changes are necessary to its disconnect notice, bill format, or tariff filed by M. Proctor on behalf of the Oakwood Telephone Company.1
09/14/2004Correspondence stating that no changes are necessary to its disconnect notice, bill format, or tariff filed by M. Proctor on behalf of Little Miami Communication Corporation.1
09/13/2004Letter stating that no changes are necessary to its bill format, disconnect notice or tariffs, filed on behalf of United Telephone Company of Ohio d/b/a Sprint and Sprint Communications Company L.P. by B. Donahue.1
09/10/2004Response stating that no disconnection notice, bill format, or tariff changes are necessary filed on behalf of the Champaign Telephone Company by T. Carney.1
09/10/2004Response stating that no disconnection notice, bill format, or tariff changes are necessary filed on behalf of CT Communications Network Inc. by T. Carney.1
09/09/2004The Minford Telephone Company has determined no changes are necessary to it's disconnect notice, bill format or tariff filed by P. McGraw.1
09/09/2004The Nova Telephone Company has determined no changes are necessary to it's disconnect notice, bill format, or tariff filed by R. Ringler.1
09/09/2004Telephone Service Company has determined the disconnect notice, bill format and tariff do not need any changes, filed by K. Klingler.1
09/09/2004Letter stating TSC Communications, Inc. has reviewed disconnect notice, bill format, and tariff and have determined that no changes are necessary filed by K. Klingler.1
09/09/2004Letter stating Frontier Corporation has reviewed it's disconnection notice, bill format and tariff, Transmittal No. 2004-7, and finds that no changes are needed filed by T. Swanson.1
09/07/2004Letter determining that no changes are necessary to it's bill format, disconnect notice or tariffs filed on behalf of The Chilicothe Telephone Company by L. Claytor.1
09/07/2004Letter stating that no disconnect notice, bill format, or tariff changes are necessary filed on behalf of Verizon Avenue Corp. f/k/a One Point Communications Illinois, LLC by B. Rogalski.1
09/03/2004Response to Commission's Order of August 11, 2004 filed on behalf of American Fiber Systems, Inc. by B. Frankiewich.1
09/01/2004Letter stating that Level 3 Communications, LLC will not be filing tariff changes due to the rule changes, Rule 4901:1-5-17 in regard to disconnection of services, filed by J. McMann.1
08/27/2004No disconnect notice, bill format or tariff changes are necessary filed on behalf of the Glandorf Telephone Company by L. Heckman.2
08/11/2004Service Notice34
08/11/2004Entry ordered that each gas or natural gas distribution, electric distribution, telephone, and water and sewage disposal utility comply with the directives in Finding (3), as necessary.3
04/29/2004Entry ordering that Rules 4901:1-17-03(A)(1) and 4901:1-18-07(B) O.A.C. shall be amended, nunc pro tunc, as noted and filed with the joint committee on Agency Rule Review, The Legislative Service Commission, and The Secretary of State in accordance with divisions (D) and (E) of Section 111.15, Revised Code, to be effective as of the earliest date permitted by law.2
04/29/2004Service Notice8
04/21/2004Entry on rehearing that states applications on rehearing are granted in part and denied in part consistent with the order and that the current rules be amended or rescinded as necessary upon effective date of new and/or amended rules to Chapters 4901:1-17 and 4901:1-18, O.A.C. are hereby adopted and be filed with Joint Committee on agency rule review, The Legislative Service Commission, and the Secretary of State in accordance with divisions (D) and (E) of Section 111.15, revised code.72
04/21/2004Service Notice8
02/11/2004Entry ordering that the application for rehearing filed by AEP, AT&T, OCC, ODOD, LICA, SBC and Sprint be granted for the limited purpose of allowing the Commission additional time to consider the issues raised on rehearing.3
02/11/2004Service Notice8
01/26/2004SBC Ohio's Memorandum Contra filed by J. Kelly.5
01/26/2004Memorandum Contra of Appalachian People's Action Coalition, Communities United for Action, Consumers for fair utility rates, Ohio Association of Community Action Agencies, Ohio Partners for Affordable Energy, The Edgemont Neighborhood Coalition, The Empowerment center of greater Cleveland, and the Ohio Association of Second Harvest Food Banks to the applications for rehearing of Columbus Southern Power and Ohio Power, SBC Ohio and Sprint Communications Co. LP and United Telephone Company of Ohio dba Sprint filed by N. Morgan, J. Maskovyak, M. Smalz, T. Walters, P. Cole, J. Meissner, D. Rinebolt, L. Hamler-Padolski, and E. Jacobs.10
01/26/2004Ohio Edison Company, The Cleveland Electric Illuminating Company and The Toledo Edison Company memo contra applications for rehearing filed on behalf of FirstEnergy Service Co. by J. Burk.4
01/26/2004Memorandum Contra Applications for Rehearing filed 1/16/2004 filed on behalf of OCC by C. Mooney.12
01/16/2004Application for rehearing and motion for clarification and memorandum in support of the Ohio Consumers' Counsel filed by C. Mooney.9
01/16/2004Application for rehearing, filed on behalf of Columbus Southern Power Company and Ohio Power Company by M. Resnik.10
01/16/2004Application for rehearing, filed on behalf of Appalachian People's Action Coalition by J. Maskovyak, for Ohio State Legal Services Assoc. by M. Smalz, by Communities United for Action by N. Morgan, by Citizens for Fair Utility Rates c/o The May Dugan Center by T. Walters, by Ohio Assoc. of Community Action Agencies by P. Cole, for Ohio Partners for Affordable Energy by D. Rinebolt, for The Edgemont Neighborhood Coalition by E. Jacobs, for The Empowerment Center of Greater Cleveland by J. Meissner, and Ohio Assoc. of Second Harvest Foodbanks, by L. Podolski.17
01/16/2004Application for rehearing and memorandum in support, filed on behalf of Sprint Communications Company L.P. and United Telephone Company of Ohio dba Sprint by J. Stewart.5
01/16/2004Application for rehearing and request for clarification, memorandum in support filed on behalf of SBC Ohio by J. Kelly.16
01/16/2004Application for rehearing, memorandum in support, filed on behalf of The Ohio Dept. of Development by B. Royer.9
01/16/2004Application for rehearing, filed on behalf of AT& T Communications of Ohio, Inc. by D. Trabaris.5
12/18/2003Service Notice14
12/17/2003Finding & Order granting LICA's request to amend its comments; that the attached amendments to Chapters 4901:1-17 and 4901:1-18, O.A.C. are hereby adopted.103
08/25/2003Stipulation filed on behalf of The East Ohio Gas Company dba Dominion East Ohio by H. Liebman, Columbia Gas of Ohio, Inc. by S. Seiple, Vectren Energy Delivery of Ohio by G. Hummel, Ohio Partners for Affordable Energy by D. Rinebolt, The Consumers Coalition by J. Meissner, The Appalachian Peoples Action Coalition by M. Smalz and The Community Action Partnership of the Greater Dayton Area by E. Jacobs.5
08/04/2003Notice of withdrawal and substitution of counsel on behalf of The Dayton Power and Light Company by A. Vinolus.4
06/30/2003Reply comments filed on behalf of The Dayton Power & Light Company by A. Vinolus. (orig)9
06/30/2003Reply comments of FirstEnergy Service Company, filed on behalf of Ohio Edison Company, The Cleveland Electric Illuminating Company and The Toledo Edison Company by J. Burk. (orig.)11
06/30/2003Reply comments filed on behalf of Verizon North, Inc. by T. Lodge. (originally filed 6/27/03).5
06/27/2003Reply comments filed on behalf of East Ohio Gas Co. dba Dominion East Ohio by H. Liebman.9
06/27/2003Reply comments filed by FirstEnergy Services Co. on behalf of Ohio Edison Co., CEI, and Toledo Edison Co. by J. Burk. (Fax)10
06/27/2003Reply comments filed on behalf of Sprint Communications Company L.P. and United Telephone Company of Ohio dba Sprint by J. Stewart.5
06/27/2003Reply comments filed on behalf of OCC by C. Mooney.35
06/27/2003Joint reply comments filed on behalf of Ohio Gas Co., Pike Natural Gas Co., Eastern Natural Gas Co., and Southeastern Natural Gas Co. by L. Gatchell.17
06/27/2003Reply comments filed on behalf of Vectren Energy Delivery of Ohio, Inc. by G. Hummel.16
06/27/2003Reply comments filed on behalf of Columbia Gas of Ohio by S. Seiple.18
06/27/2003Reply comments filed on behalf of AT&T Communications of Ohio by B. Kahn.5
06/27/2003Reply comments filed on behalf of DP&L by A. Vinolus. (Fax)9
06/27/2003Reply comments filed on behalf of SBC Ohio by J. Kelly.10
06/27/2003Reply comments filed on behalf of AARP by W. Gruber; Appalachian People's Action Coalition by M. Smalz and J. Maskovyak; Children's Defense Fund-Ohio by E. Cooper-Reed; Communities United for Action by N. Morgan; Citizens for Fair Utility Rates by T. Walters; Federation for Community Planning by J. Corlett; Ohio Assoc. of Community Action by P. Cole; Ohio Partners for Affordable Energy by D. Rinebolt; Edgemont Neighborhood Coalition by E. Jacobs; Empowerment Center of Greater Cleveland by J. Meissner; and Ohio Assoc. of Second Harvest Foodbanks by L. Hamler-Podolski.15
06/27/2003Reply comments filed on behalf of Columbus Southern Power Co. and Ohio Power Co. by S. Williams.10
06/16/2003Certificate of service filed on behalf of East Ohio Gas Company dba Dominion East Ohio by H. Liebman.3
06/16/2003Request to file an amendment to its initial comments out of time, filed on behalf of The Low Income Customer Consumer Advocates by D. Rinebolt.9
06/13/2003Initial comments filed on behalf of The Dayton Power and Light Company by A. Vinolus. (Original)8
06/13/2003Initial comments of FirstEnergy Service Company, filed on behalf of Ohio Edison Company, The Cleveland Electric Illuminating Company, and The Toledo Edison Company by J. Burk. (Original)9
06/12/2003Joint comments filed on behalf of The Ohio Gas Company, Pike Natural Gas Company, Eastern Natural Gas Company and Southeaster Natural Gas Company by L. Gatchell.16
06/12/2003Initial comments filed on behalf of The Ohio Dept. of Development by B. Royer.6
06/12/2003Comments filed on behalf of Northeast Ohio Gas Corp. by L. Haren.3
06/12/2003Comments filed on behalf of Monongahela Power Co. by G. Jack.4
06/12/2003Initial comments filed on behalf of SBC Ohio by J. Kelly.27
06/12/2003Initial comments filed on behalf of Columbia Gas of Ohio by R. Anderson.8
06/12/2003Initial comments filed on behalf of The Dayton Power and Light Company by A. Vinolus.8
06/12/2003Initial comments filed on behalf of Columbus Southern Power Company and Ohio Power Company by M. Resnik.31
06/12/2003Initial comments filed on behalf of The Cincinnati Gas & Electric Company by P. Colbert.12
06/12/2003Comments filed on behalf of Ohio Consumers Counsel by C. Mooney.13
06/12/2003Comments, filed on behalf of East Ohio Gas Company dba Dominion East Ohio by H. Liebman.10
06/12/2003Initial comments filed on behalf of Vectren Energy Delivery of Ohio, Inc. by G. Hummel.14
06/12/2003Comments filed on behalf of AARP by W. Gruber; Children's Defense Fund-Ohio by E. Cooper-Reed;Ohio State Legal Aid Society by M. Smalz; Legal Aid Society of Cincinnati by N. Morgan; Legal Aid Society of Columbus by J. Maskovyak; Citizens for Fair Utility Rates by T. Walters;Federation for Community Planning by J. Corlett; Legal Aid Society of Dayton by E. Jacobs; Ohio Association of Community Action Agencies by P. Cole; Cleveland Legal Aid Society by J. Meissner; Ohio Partners for Affordable Energy by D. Rinebolt; Ohio Association of Second Harvest Foodbanks by L. Hamier Podolski;26
06/12/2003Initial comments of FirstEnergy Service Company filed on behalf of Ohio Edison Company, The Cleveland Electric Illuminating Company, and the Toledo Edison Company by J. Burk.(FAX)9
05/19/2003Service Notice4
05/16/2003Entry ordering that the motion that the East Ohio Gas Co. dba Dominion East Ohio and Columbia Gas of Ohio filed on May 9, 2003, the joint motion that the Ohio Gas Co., Pike Natural Gas Co., Eastern Natural Gas Co., and Southeastern Natural Gas Co. filed on May 13, 2003, and the motion that Vectren Energy Delivery of Ohio filed on May 13, 2003 be granted to the extent set forth in Finding 4. (SD)2
05/13/2003Motion for extension of time to file comments and memorandum in support filed on behalf of Vectren Energy Delivery of Ohio by G. Hummel.4
05/13/2003Joint motion for extension of time to file comments and memorandum in support filed on behalf of Ohio Gas Co., Pike Natural Gas Co., Eastern Natural Gas Co., and Southeastern Natural Gas Co. by L. Gatchell.4
05/09/2003Motion and memorandum in support for an extension of time to file comments, filed on behalf of The East Ohio Gas Company dba Dominion East Ohio by H. Liebman and Columbia Gas of Ohio, Inc. by R. Anderson.5
04/24/2003Entry ordering that any interested person or entity wishing to file comments with the Commission regarding the proposed revisions to the attached rules do so no later than the close of business on May 27, 2003 and reply comments by June 12, 2003.49
04/24/2003Service notice filed.2
04/02/2003In the matter of the Commission's review of Rules 4901:1-17 (Establishment of Credit for Residential Utility Services) and 4901:1-18 (Disconnection of Natural Gas or Electric Service to Residential Customers), of the Ohio Administrative Code.1