T1 IDENTIFICATION PROCEDURES Sample Clauses

T1 IDENTIFICATION PROCEDURES. During the restoration of service after a disaster, BellSouth may be forced to aggregate traffic for delivery to a CLEC. During this process, T1 traffic may be consolidated onto DS3s and may become unidentifiable to the Carrier. Because resources will be limited, BellSouth may be forced to "package" this traffic entirely differently then normally received by the CLECs. Therefore, a method for identifying the T1 traffic on the DS3s and providing the information to the Carriers is required.
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T1 IDENTIFICATION PROCEDURES. During the restoration of service after a disaster, AT&T may be forced to aggregate traffic for delivery to a CLEC. During this process, T1 traffic may be consolidated onto DS3s and may become unidentifiable to the Carrier. Because resources will be limited, AT&T may be forced to "package" this traffic entirely differently than normally received by the CLECs. Therefore, a method for identifying the T1 traffic on the DS3s and providing the information to the Carriers is required.
T1 IDENTIFICATION PROCEDURES. During the restoration of service after adisaster, AT&Tmay be forced to aggregate traffic for delivery to a CLEC. During this process, T1 trafficmay be consolidated onto DS3s and may become unidentifiable to the Carrier. Because resourcews ill be limited, AT&Tmay be forced to "package" this traffic entirely differently than normally received by the CLECs. Therefore, amethod for identifying the T1 traffic on the DS3s and providing the information to the Carriers is required.
T1 IDENTIFICATION PROCEDURES. During the restoration of service after a disaster, BellSouth may be forced to aggregate traffic for delivery to a CLEC. During this process, T1 traffic may be consolidated onto DS3s and may become unidentifiable to the Carrier. Because resources will be limited, BellSouth may be forced to "package" this traffic entirely differently then normally received by the CLECs. Therefore, a method for identifying the T1 traffic on the DS3s and providing the information to the Carriers is required. 7.0 ACRONYMS CO - Central Office (BellSouth) DS3 - Facility that carries 28 T1s (672 circuits) ECC - Emergency Control Center (BellSouth) CLEC - Competitive Local Exchange Carrier NMC - Network Management Center SWC - Serving Wire Center (BellSouth switch) T1 - Facility that carries 24 circuits Hurricane Information --------------------- During a hurricane, BellSouth will make every effort to keep CLECs updated on the status of our network. Information centers will be set up throughout BellSouth Telecommunications. These centers are not intended to be used for escalations, but rather to keep the CLEC informed of network related issues, area damages and dispatch conditions, etc. Hurricane-related information can also be found on line at xxxx://xxx.xxxxxxxxxxxxxxx.xxxxxxxxx.xxx/network/disaster/dis_resp.htm. ---------------------------------------------------------------------- Information concerning Mechanized Disaster Reports can also be found at this website by clicking on CURRENT MDR REPORTS or by going directly to xxxx://xxx.xxxxxxxxxxxxxxx.xxxxxxxxx.xxx/network/disaster/mdrs.htm. ------------------------------------------------------------------ BST Disaster Management Plan

Related to T1 IDENTIFICATION PROCEDURES

  • Customer Identification Program (A) To assist the Fund in complying with requirements regarding a customer identification program in accordance with applicable regulations promulgated by U.S. Department of Treasury under Section 326 of the USA PATRIOT Act (“CIP Regulations”), BNYM will do the following:

  • Customer Identification - USA Patriot Act Notice The Lender hereby notifies the Borrower that pursuant to the requirements of the USA Patriot Act (Title III of Pub. L. 107-56, signed into law October 26, 2001) (the “Act”), and the Lender’s policies and practices, the Lender is required to obtain, verify and record certain information and documentation that identifies the Borrower, which information includes the name and address of the Borrower and such other information that will allow the Lender to identify the Borrower in accordance with the Act.

  • Notification Procedures To address non-compliance, the receiving Competent Authority would notify the providing Competent Authority pursuant to Article 5 of the IGA. The notification procedures would differ depending upon whether the receiving Competent Authority seeks to address administrative or other minor errors or significant non-compliance.

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