AT&T OKLAHOMA. As used herein, AT&T OKLAHOMA means Southwestern Bell Telephone Company d/b/a AT&T Oklahoma, the applicable AT&T owned ILEC doing business in Oklahoma.
AT&T OKLAHOMA will provide a AT&T OKLAHOMA Technical Publication or other written description for each Section 251 Unbundled Network Element identified and offered under this Agreement. The Technical Publication or other description for an Unbundled Network Element will describe the features, functions, and capabilities provided by the Unbundled Network Element as of the time the document is provided to CLEC. No specific form for the Technical Publication or description is required, so long as it contains a reasonably complete and specific description of the Unbundled Network Element’s capabilities. The Technical Publication or other description may be accompanied by reference to vendor equipment and software specifications applicable to the Unbundled Network Element. The Technical Publications or other written description shall be posted on AT&T OKLAHOMA’s CLEC Online website.
AT&T OKLAHOMA is a Local Exchange Carrier in the State;
AT&T OKLAHOMA shall transport Land-to-Mobile traffic to Carrier’s MSC, or, in the event Carrier has no MSC in the LATA, to Carrier’s designated POI within AT&T OKLAHOMA Territory within each LATA in the State in which Carrier operates. Carrier may transport traffic in the Mobile-to-Land direction to AT&T OKLAHOMA’s Tandem. If the traffic between the Carriers Network and any AT&T OKLAHOMA End Office meets the CCS equivalent of one DS1 (i.e. 500 busy hour centum call seconds), for three consecutive months the Parties shall, within fifteen (15) calendar days of the occurrence, establish a direct end office Trunk Group (DEOT). DEOTs groups will be established where two-way 2B trunking is available per the DS1 requirement. If the Parties cannot agree, AT&T OKLAHOMA reserves the right to restrict provisioning of additional Trunks at the Tandem.
AT&T OKLAHOMA will not deliver calls destined to terminate at a Carrier MSC via another Telecommunications Carrier Tandem switch. Further, where Xxxxxxx’s dedicated NXX Codes subtend another Telecommunications Carrier’s Tandem switch, the Parties will establish trunking directly between AT&T OKLAHOMA’s Tandem switch and Carrier’s MSC for the completion of land-to-mobile calls destined to terminate to such NXXs. In LATAs where other Telecommunications Carriers have Tandem switches, it is the responsibility of Carrier to negotiate interconnection and compensation arrangements directly with those Carriers. AT&T OKLAHOMA will complete land-to-mobile calls destined to terminate at a subtending CMRS MSC regardless of the call’s originating Telecommunications Carrier; however, in delivering such calls, AT&T OKLAHOMA has no responsibility for traffic delivered through another Telecommunications Xxxxxxx’s Tandem switch to AT&T OKLAHOMA’s Tandem switch destined for Xxxxxxx’s dedicated NXX Codes.
AT&T OKLAHOMA and Carrier shall handle law enforcement requests as follows:
AT&T OKLAHOMA will forward a confirmation to Carrier in response to Xxxxxxx’s request to add Carrier’s NPA-NXXs to Trunk Groups, when Carrier submits such a request accompanied by an ASR without service and using the NPA- NXX field of the ASR translation questionnaire. This NPA-NXX installation request will be treated as a no-charge order.
AT&T OKLAHOMA will communicate official information to Carrier via AT&T OKLAHOMA’s Accessible Letter e-mail notification process. This process covers a variety of subjects, including updates on products/services promotions; deployment of new products/services; modifications and price changes to existing products/services; cancellation or retirement of existing products/services; and operational issues. Accessible Letter notification will be deemed given as of the earlier of the date of actual receipt and the date set forth on the e-mail receipt. Carrier shall notify AT&T OKLAHOMA of all e-mail addresses to which Accessible Letter notification is to be sent.
AT&T OKLAHOMA and Carrier agree that the E911 service is provided for the use of the E911 customer, and recognize the authority of the E911 customer to establish service configurations and grant final approval (or denial) of service configurations or modifications offered by AT&T OKLAHOMA and Carrier.
AT&T OKLAHOMA will switch 911 calls through the SR to the designated primary PSAP or to designated alternate locations, according to routing criteria specified by the PSAP. Alternate PSAPs not subscribing to the appropriate wireless service shall not receive all features associated with the primary wireless PSAP.