214 lines
11 KiB
Plaintext
214 lines
11 KiB
Plaintext
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The FCC is considering a ruling which may threaten low-cost modem access to
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many on-line services, perhaps including Arpa/Milnet TACs and Usenet Unix
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systems. Here are the details from a copy of a file just uploaded to my Remote
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CP/M system.
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--Keith Petersen
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The FCC is considering reregulating the packet-switching networks like Telenet,
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Tymnet, Compuserve, The Source and PC Pursuit. This could result in additional
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costs to the user. This is excerpted from Infomat magazine which is available
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for downloading.
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COMPUTER AND SOFTWARE NEWS -- PART 1
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by Tim ElmeR
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FREE LOCAL ACCESS TO PACKET SWITCHING NETWORKS MAY BE ELIMINATED
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------------------------------------
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(BPS) -- The Federal Communications Commission (FCC) will vote on a proposal
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to reregulate packet switching networks that, if approved, would eliminate
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free local telephone access to those networks.
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"If this occurs, it might eventually double or triple the costs to those
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using packet switching networks to access commercial on-line databases and
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information services and triple or quadruple the costs to those using
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Telenet's PC Pursuit," said Philip M. Walker, vice president and regulatory
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counsel for Telenet Communications Corp.
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Predictably, the initiative to reregulate packet switching networks comes
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primarily from the Bell Operating Companies (BOCs) and secondarily from AT&T.
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These companies provide local telephone service to vast majority of telephone
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customers throughout the U.S. and will benefit the most from FCC reregulation
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of the packet switching networks.
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Under current FCC rules formulated in 1980 in the FCC's Second Computer
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Inquiry, called Computer II, a distinction is made between "basic services"
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and "enhanced services."
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"Basic services" are those that don't offer protocol conversion such as local
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and long-distance voice telephone services. "Enhanced services" are defined
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in an open-ended fashion as computer-based services that are more than a
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"basic service," in other words, services such as packet switching networks,
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database and on-line type services, and remote computing services that offer
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protocol conversion, according to Walker.
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Under the 1980 Computer II Inquiry, the FCC ruled that "basic services" would
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continue to be regulated as they had always been. However, the FCC also ruled
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that "enhanced services" would be deregulated, which opened up the industry to
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competition. This resulted in numerous companies entering the packet
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switching business, including BOCs, AT&T and at least a dozen others. The
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competition resulted in significant price reductions for packet switching
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services.
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To prevent monopolization of the packet switching industry by the Big Boys
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(the BOCs and AT&T), the FCC ruled that they had to keep separate accounting
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figures for their "basic services" and for their "enhanced services," and that
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they could not use revenues from their lucrative "basic services" to cross-
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subsidize their "enhanced service" packet switching networks.
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The FCC also ruled that if the BOCs and AT&T used their "basic service"
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telephone lines for packet switching services, then they must let their
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competitors have access to those lines on the same basis, which would preserve
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true competition in the industry.
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"Now, under the FCC's Computer Inquiry III, the FCC is asking, should we
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redefine protocol conversion services as 'basic services' rather than enhanced
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services? Should we redefine all those companies as common carriers? This
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would, in effect, subject them not only to federal regulations but, even
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worse, to state regulations," Walker said.
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The result would eliminate comparable interconnection requirements currently
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imposed on BOCs and AT&T, allowing them to c<>arge their packet switching
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competitors local dial-in fees to access packet switching long-dis<69>ance line
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networks.
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It would also allow BOCs and AT&T to offer their own packet switching
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services on a non-compensatory basis and, finally, allow them to cross-
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subsidize those services with revenues from their much more lucrative voice
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telephone service revenues. In short, it would allow BOCs and AT&T to
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monopolize the packet switching industry and probably drive out most
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competitors.
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"In terms of cost impact," Walker said, "if we had to pay local access
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charges, it would cost us about $3.60 an hour at the originating end, for
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calls made by users to on-line databases and informatiompuServe and The Source.
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"And with PC Pursuit, for which we have out-dial modems, we would have to pay
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not only 3.60 per hour access fees at the originating end but also $4.80 at
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the terminating end, a total of about $8 or $9. Obviously, to survive, we
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would have to add those additional charges to our current fees and pass them
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on to our consumers," Walker said.
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That would almost certainly spell the end of PC Pursuit, and it would likely
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put out of business not only many independent packet switching networks but
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also many on-line databases and information services.
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FCC approval of cha<68>ges being considered in Computer III, Walker said, "would
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really have a major impact on anyon<6F> using a packet switching service to
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access online bulletin boards, databases, or information services aimed at the
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residential user. They are just going to get creamed if this happens."
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Walker said that is was not clear exactly when the FCC would vote on the
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proposal, but that it would probably be the latter part of January or early
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part of February, 1987. "They are moving very fast on this," he said.
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For additional information, be sure to read Alan Bechtold's editorial in this
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issue.
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Copyright (C) 1986, by BBS PRESS SERVICE, INC.
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THE EDITOR SPEAKS
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"Low-Cost packet switching Service Threatened"
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by Alan R. Bechtold
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As described in our lead news story this issue, the FCC is now considering a
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major change in the way packet switched phone services are defined. This
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change is likely to lead to the demise of many of these services, and to much
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higher prices for the use of the few that will eventually remain in business.
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[BASIC DESCRIPTION OF PACKET SWITCH DELETED SO ARTICLE WOULD FIT IN MY
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BUFFER -elric]
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FCC regulations allow AT&T and Bell Operating Companies (BOCs) to eng<6E>ge in
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packet switching netw<74>rk operations, but they must also maintain completely
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separate accounting of their voice and packet switching operations. They must
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also offer free local-calling access to their lines to any competitors engaged
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in the packet switching service industry.
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The above regulations have allowed Telenet and Tymnet, among others, to
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operate at a reasonable cost in a competitive atmosphere. This is a case of
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regulation of a business actually RESULTING in increased competition and lower
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prices to consumers.
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As things stand now, you can call any local Telenet or Tymnet access number
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and use these services to <20>nexpensively access such onlin<69> services as
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CompuServe, The Source, Delphi, and countless others. In addition, GTE's new
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PC PURSUIT service now offers you access, through their Telenet packet
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switching service, to literally hundreds of local bulletin boards in cities
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all across the country--for a flat charge of $25 per month.
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But, the FCC is now being asked to REREGULATE this segment of the
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communications industry, eliminating the FCC requirements that AT&T and BOCs
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keep separate accounting records of their voice and packet switching services,
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and eliminating the stipulation that the BOCs and AT&T must offer their
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competitor<EFBFBD> in the packet switching busin<69>ss free access to their local
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telephone connection lines.
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The idea is patently ridiculous.
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Mark Fowler, Chairman of the FCC, has been hailed by the press as a "fair-
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market zealot." The chances are very good that he views this proposed
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reregulation as the magic road to increased competition and fairer pricing for
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consumers.
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Unofficially, the word is out that the FCC advisory committee now considering
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this matter is indeed leaning in favor of the proposed reregulation of the
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packet switching industry. If the committee recommends these changes, it's
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likely that a majority of the five voting members on the Federal
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Communications Commission will vote in favor of the changes.
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I have talked to sources within the industry who say it is the BOCs who are
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pushing VERY HARD for this reregulation, because they want to get into the
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packet switching service business in a big way, and they would like to rid
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themselves of needless competition on their way to success.
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What's that? RID themselves of competition? But--the proposed reregulation
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is supposed to FOSTER competition! Why would a group of companies (BOCs)
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hoping to eliminate their competition PUSH for this reregulation? I hope the
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answer to THAT question is entirely clear.re we have an industry that is current
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ly populated with plenty of
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competition. Prices are already reasonable. Reregulation of the packet
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switching service industry will IMMEDIATELY give giant corporations the upper
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hand, and will allow them to cut off free access to their local access phone
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lines to their competitors, namely Telenet and Tymnet and other similar
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services that now offer you high-quality service, in a competitive
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marketplace, at reasonable prices.
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The proposed reregulation, however, would force all packet switching services
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to compete with the BOCs and AT&T, companies that would be able to use the
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enormous profits they earn with their voice telephone services to cross-
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subsidize their packet switching services and offer them on a non-compensatory
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basis, at least until their competitors are eliminated. When that happens,
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they are then sure to jack up their fees to any level they want.
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It would also force their packet switching competitors to pay access fees for
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connection to local phone lines. The access fees alone could add as much as
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$4.00 per hour to the fees packet switching companies would be forced to pass
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on to their customers. This will be added to your hourly connect-time charges
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for accessing ALL online databases through these services.
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The proposed reregulation could very well spell the death of PC PURSUIT.
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Because GTE also uses dial-out modems at the other end of their Telenet
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connections for PC PURSUIT service, the company would be forced to pay an
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hourly charge at BOTH ends of the phone line--totaling up to $8 or $9 per
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hour. These fees would have to be added to the flat $25 per month that GTE
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now charges for access to PC-PURSUIT. It would simply make the final cost to
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PC-PURSUIT customers too high for the service to remain practical and
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affordable.
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So--this is ONE TIME you MUST use your word processor to produce some letters
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opposing this proposed reregulation! Write to:
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Honorable Mark Fowler
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Chairman of the Federal Communications Commission
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Washington D.C. 20554
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Refer to Computer Inquiry III in your letters. State clearly, in your own
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words, that competitive packet switching services should not be reregulated or
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subjected to carrier access charges, and then explain why. Hurry, they will
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be deciding this in l<>te Jan., ear<61>y feb.
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