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5) La Mirada Headend: <br />Time Warner's commitment to move their Orange County <br />Headend distribution services to the new La Mirada Headend <br />facility in February 2004 has been achieved. This industry <br />standard clustering technology provides new testing procedures <br />for test point calculations for all future proof of performance <br />testing. <br />COMMENTS <br />INET: The Santa Ana Unified School District is in the process to move all of its <br />schools from the INET to dedicated T1 lines for data transmissions. This will <br />remove all data services from the INET that was of concern to Time Warner <br />and the City. <br />Currently Time Warner continues to provide support and maintenance on the <br />INET for the Santa Ana Unified School District until the school is able to place <br />fiber in their facility. <br />SUMMARY <br />In summary, Time Warner has fulfilled their technical obligations to the city and <br />the FCC regarding testing. With the new build complete, Time Warner's future <br />testing should continue to improve through the use of the fiber hybrid <br />technology. Time Warner is providing two-way services that include voice and <br />data services (i.e., cable modems) to the city of Santa Ana. There are no FCC <br />standards or test requirements for data services at this time; however, if <br />broadband data becomes a mainstream commodity, there will be a need to <br />address a level of standard service agreement requirements for adherence <br />between Time Warner and the City. <br />OBSERVATIONS <br />Time Warner is using GPS (global positioning satellite) technology for on time <br />tracking of their technical and installation vehicles and their CLI monitoring. This <br />has improved their performance in productivity and ability to isolate and repair <br />cable system leaks. Time Warner has provided and is included in the report, an <br />extensive and detailed scope of the CLI testing procedures used for the city of <br />Santa Ana. <br />CSG finds Time Warner to be in compliance to the testing requirements of the <br />FCC rules at Section 76.601 (e.g. timing of tests, type of tests, number of test <br />Communications Support Group, VP RPT2008.001 Page 9 <br />