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2015-12-09 CC Packet
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2015-12-09 CC Packet
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the dominate cable provider. Then the City decides CenturyLink's build-out <br /> schedule, including a density requirement that is the same or similar to <br /> Comcast's density requirement. <br /> The City may consider whether the Initial Minimum Build-Out Commitment of 15%of the City <br /> over two years is reasonable. CenturyLink claimed in its application that it initially would be <br /> providing service to a greater portion of the City. During negotiations however, CenturyLink was <br /> concerned about having too high a commitment in the franchise ordinance and that cities in <br /> Minnesota and elsewhere would use a greater commitment as a new standard. CenturyLink <br /> refused to increase the Initial Minimum Build-Out Commitment above 15%. However, the <br /> provisions related to Quarterly Meetings and Additional Build-Out Based on Market Success are <br /> designed to quicken and increase CenturyLink's initial Build-Out Commitment. The franchise <br /> also has provisions requiring that residents of the City be included in an equitable initial build <br /> commitment and that a significant number of households below the medium income of the city <br /> also be included in the initial build-out. CenturyLink must also use its best efforts to complete <br /> its initial build faster than two years. <br /> Another issue related to the reasonable build-out is whether the penetration rate triggering <br /> additional build-out is reasonable. CenturyLink claims that it needs a penetration rate of 27.5% <br /> in order to commit to an additional mandatory build in the city. This penetration number is <br /> based on internal CenturyLink return on investment models. Given Comcast's penetration rate <br /> in the City is around 40-50%,a penetration rate of 27.5%may be difficult to obtain and, <br /> therefore, it is possible that CenturyLink may not be required to build-out more than its initial <br /> commitment. <br /> Economic redlining or "cherry picking" was identified as a concern through the public hearing <br /> process. As the Report noted, cherry picking is prohibited by the Federal Cable Act. See 47 <br /> U.S.C. § 541(a)(3). The proposed CenturyLink franchise prohibits cherry picking, identical to the <br /> Comcast franchise. To ensure compliance, CenturyLink has an additional $500 per day <br /> penalty/liquidated damage for violating the build-out and economic redlining provisions of the <br /> Franchise. <br /> The Report also described the State's level playing field statute,which requires competitive <br /> cable franchises not to be more favorable or less burdensome than an incumbent's franchise as <br /> it relates to franchise fees, support of public, educational, and governmental access television <br /> and the area served. <br /> CenturyLink is required to pay a franchise fee of 5%of its Gross Revenues (Identical to Comcast <br /> Franchise). The Franchise Area is the entire city (Identical to Comcast Franchise). The Public, <br /> Educational, and Governmental ("PEG") Access Requirements of the CenturyLink franchise <br /> meet, and in places exceed, Comcast's franchise commitments. The CenturyLink PEG <br /> commitments are summarized as follows: <br /> 0 Number of Access Channels. CenturyLink will provide 12 Access Channels <br />
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