PAETEC Communications, Inc. v. MCI Communications Services, Inc.

712 F. Supp. 2d 405, 2010 U.S. Dist. LEXIS 41644, 2010 WL 1714970
CourtDistrict Court, E.D. Pennsylvania
DecidedApril 26, 2010
DocketCivil Action 09-1639
StatusPublished
Cited by3 cases

This text of 712 F. Supp. 2d 405 (PAETEC Communications, Inc. v. MCI Communications Services, Inc.) is published on Counsel Stack Legal Research, covering District Court, E.D. Pennsylvania primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
PAETEC Communications, Inc. v. MCI Communications Services, Inc., 712 F. Supp. 2d 405, 2010 U.S. Dist. LEXIS 41644, 2010 WL 1714970 (E.D. Pa. 2010).

Opinion

MEMORANDUM

DALZELL, District Judge.

Plaintiffs 1 have brought this action against defendants MCI Communications Services, Inc., d/b/a Verizon Business Services and Verizon Global Networks, Inc. (collectively, “Verizon”). Specifically, PAETEC claims that: (1) Verizon failed to pay PAETEC for telecommunications charges under PAETEC’s federal tariffs in violation of federal law, (2) Verizon has failed to pay PAETEC for telecommunications charges under PAETEC’s state tariffs in violation of state law, (3) Verizon was unjustly enriched, and defendants should pay at least (4) quantum meruit. PAETEC also seeks a declaratory judgment that it lawfully assessed, and may continue to assess, the switched access charges at issue.

Verizon counterclaims that PAETEC’s charges were in excess of those permitted under federal law and the terms of its own federal tariff. Verizon seeks a declaratory judgment that it is not obliged to pay *408 PAETEC under PAETEC’s federal tariff for the amounts Verizon has disputed.

PAETEC has moved for summary judgment to require Verizon to pay all tariff charges or, if we deem the tariffs to be unlawful, to require Verizon to at least pay the benchmark rate or the reasonable value of its access services. Verizon has moved for partial summary judgment on liability.

1. Factual Background 2

PAETEC is a landline telephone company that provides local telephone service to consumers and businesses. Stip. at ¶ 1. A telephone carrier such as PAETEC that provides local exchange service is known as a local exchange carrier (“LEC”). Stip. at ¶2. A carrier that transmits long-distance calls between the networks of two LECS is commonly referred to as an “interexchange carrier” or “IXC”. Stip. at ¶ 3. Verizon is, among other things, an IXC. Stip. at ¶ 8. In the telecommunications industry, switched access service (or access service) allows an IXC to access an LEC’s network in order to “originate or terminate” 3 long-distance calls to and from “end-users” (parties who make or receive telephone calls). Stip. at ¶ 4. PAE-TEC permits long-distance carriers to access its network in order to originate or terminate long-distance telephone calls involving PAETEC’s end-user customers. Stip. at ¶ 5.

There are two types of LECs. The original, established carriers, who existed before Congress enacted the Telecommunications Act of 1996 (“TCA” or the “1996 Act”) (which amended the Federal Communications Act of 1934), are known as incumbent LECs (“ILECs”). LECs who entered the marketplace after the 1996 Act took effect compete with ILECs and each other and are known as competitive LECs (“CLECs”). Stip. at ¶ 6. PAETEC is a CLEC. Stip. at ¶ 7. ILECs and CLECs compete for end-user customers. Stip. at ¶ 94.

For the period at issue — roughly, from the middle of 2006 until now — Verizon delivered traffic to PAETEC end-users over PAETEC’s network, or received traffic from PAETEC’s end-users over PAE-TEC’s network. PAETEC permitted Verizon to access its network to complete long-distance calls to PAETEC’s end-user customers, and to originate long distance calls that PAETEC’s end-user customers place. Stip. at ¶ 12. The rates, terms, and conditions for the interstate switched access services PAETEC offers (long distance calls that originate in one state and terminate in another state) are contained in PAETEC’s FCC Tariff No. 3 filed with the FCC. Stip. at ¶ 13. The rates, terms, and conditions on which local exchange carriers offer intrastate switched access services are contained in tariffs filed with the relevant state public utility commissions. Stip. at ¶ 14.

The traffic at issue in this case — for which Verizon has disputed PAETEC’s invoices — is limited to interstate traffic where the long distance call is destined for, or originated by, a PAETEC end-user customer. Verizon also withheld payment of invoices for intra state switched access, but it did so solely to recover what it viewed as prior overpayments to PAETEC for PAETEC’s invoices for inter state switched access service. Verizon does not dispute the merits of any of PAETEC’s intrastate charges. Stip. at ¶ 15.

Unlike an ILEC, which typically uses a “hub and spoke” arrangement of switches *409 that serves a relatively smaller geographic area, PAETEC uses a single switch that branches out both in long loops (which connect the CLEC’s switch to end-users) to end-users over a wide geographic area, and also branches out in long lines (“trunks”) to multiple ILEC tandems, to deliver access services to IXCs. Stip. at ¶ 43. PAETEC’s network serves a geographically dispersed and specialized customer base (medium-sized businesses). Stip. at ¶ 44. Compared to a typical ILEC network, PAETEC uses fewer switches and longer transport lines to serve larger geographic areas. A single PAETEC switch connects to end-users spread over a wider geographic area than an ILEC end-office switch serving the same general area. Stip. at ¶ 45.

PAETEC does not own or operate any tandem switches (which route calls between end-office switches and do not connect directly to end-user customers’ premises), and when Verizon routed the traffic at issue to PAETEC, although some of the traffic went through an LEC’s tandem switch, PAETEC did not switch that traffic twice before delivering it to a PAETEC end-user customer. Stip. at ¶¶ 29, 46-47, Def. Ans. and Counterclaim at ¶ 27. 'When Verizon delivers traffic to PAETEC over a direct connection, the traffic is not routed through a tandem switch before PAETEC delivers the traffic to its end-user customers. Stip. at ¶ 49.

PAETEC’s FCC Tariff No. 3 sets forth the rates, terms, and conditions for the interstate switched access services that PAETEC offers. From July 5, 2006 to the present, Rate Attachment B to PAETEC’s FCC Tariff No. 3 sets forth rates for Switched Access Service (“SWAS”) and Switched Access Service (Direct Connect) (“SWAS-DC”). Stip. at ¶ 63. In or about June of 2006, PAETEC concluded that the “CLEC Benchmark” allowed a CLEC to charge a rate for interstate switched access service that was equal to the sum of all of the applicable ILEC rate elements, including, among other things, tandem switching. Stip. at ¶ 65.

The “CLEC Benchmark” is the maximum permissible tariffed rate that can be charged under FCC rules for CLEC interstate switched access service. Stip. at ¶ 112. PAETEC amended its FCC Tariff No. 3, effective July of 2006 (the “July 2006 Amendment”), the effect of which was to charge Verizon a composite, aggregate rate for SWAS and SWAS-DC services. The SWAS rate applied if PAETEC provided an IXC access to its local network through an indirect connection (by routing through another LEC’s tandem switch); the SWAS-DC rate applied when the customer or IXC directly connected to PAE-TEC’s switch. Stip. at ¶ 68.

Although the July 2006 Amendment’s composite rate did not include a charge for “tandem switching”, when PAETEC amended the tariff again the next month, it increased the composite rates for SWAS and SWAS-DC service to include the price of the tandem switching rate element. Stip. at ¶¶ 69, 74-75.

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712 F. Supp. 2d 405, 2010 U.S. Dist. LEXIS 41644, 2010 WL 1714970, Counsel Stack Legal Research, https://law.counselstack.com/opinion/paetec-communications-inc-v-mci-communications-services-inc-paed-2010.