Posted in Pole Attachments
On
July 30, 2014, the Public Utilities Commission of Ohio (“PUCO”) issued
its Finding and Order, “In the Matter of the Adoption of Chapter
4901:1-3, Ohio Administrative Code, Concerning Access to Poles”, Ducts,
Conduits, and Rights-of-Way by Public Utilities, pursuant to which PUCO
adopted a comprehensive set of rules governing access to public utility
poles, conduits and rights-of-way (“Ohio Pole Attachment Rules”).
The Ohio Pole Attachment Rules generally harmonize with the Federal
Communications Commission’s (“FCC”) pole attachment rules found at 47
C.F.R. § 1.1401, et seq. For instance, the Ohio Pole
Attachment Rules (like the federal rules) provide that a utility must
provide nondiscriminatory access to any pole, conduit or right-of-way
owned or controlled by it, on just and reasonable rates, terms and
conditions, and may only deny access where there is insufficient
capacity and for reasons of safety, reliability and generally applicable
engineering purposes. The Ohio Pole Attachment Rules also establish an
access timeline, similar to the FCC’s new (since 2011) access timeline
(with slight variations), which sets maximum timeframes for application
turn around, and the performance of pre-construction surveys and
make-ready.
Rather than adopt a dual-rate formula structure, like the FCC’s
(which has a “cable” and “telecom” rate formula, as required by the
federal Pole Attachment Act, 47 U.S.C. § 224), the Ohio Pole Attachment
Order adopts a single, unified pole attachment rate formula based on the
FCC’s cable rate formula. In adopting a single rate formula, the PUCO
noted “that the cost incurred by the pole owner to provide attachment
space is not affected by the services being provided by the attaching
entity.” The PUCO further opined that the FCC’s cable rate formula “has
been deemed compensatory by the courts.” The PUCO rejected utility
efforts to push for a formula that would have yielded rates even higher
than the FCC’s “old” telecom formula, which DWT discussed when the FCC issued its “new” telecom formula.
The Ohio Pole Attachment Rules also significantly advance wireless
attachment rights. Specifically, the Rules expressly extend access
rights to wireless attachments, including those on pole tops and in the
communications space. They also impose access timelines for wireless
attachments that are only slightly longer than those for wired
attachments, similar to FCC rules.
In sum, by modeling their new Pole Attachment Rules on existing FCC
rules, the PUCO has helped to pave the way for easier, less costly
build-out of communications infrastructure in the United States.
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