WPC4 2BJZCourier 3|j>x6X@`7X@HP LaserJet 4M (PCL) (Add) RM 813-AHL4MPCAD.PRSx  @\!uX@  2D ZTK 3|jHP LaserJet 4M (PCL) (Add) RM 813-AHL4MPCAD.PRSC\  P6Q\!uP"i~'^09CSS999S]+9+/SSSSSSSSSS//]]]Ixnnxg]xx9?xgxx]xn]gxxxxg9/9MS9ISISI9SS//S/SSSS9?/SSxSSIP!PZ9+ZM999+99999999S/xIxIxIxIxIlnIgIgIgIgI9/9/9/9/xSxSxSxSxSxSxSxSxSxSxIxSxRxSxSxS]SxIxIxInInInZnIxigIgIgIgIxSxSxSxZxSxZxS9/9S999Su]ZZxSg/gCg9g9g/xSbxSxSxSxSxn9n9n9]?]?]?]ZgFg/gMxSxSxSxSxSxSxxZgIgIgIxSg9xS]?g9xSi+SS88WuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxN/>/>/>/x]SSSSx]x]x]x]xSxSx]SSxSxSf]xSxSxSxIxIxWxIx{nInInInISSSWS]a?/?]?9?]]WW]n/nKn9nCn/x]xx]x]SSxxIxIxI]?]?]?]WnUn9nax]x]x]x]x]x]xxWnInInIx]n9x]]?n9xSz+SS8-8WuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxNg $!mS   X-X1. a3Indented Pars FCCNumbered indented paragraphs w/ 2 spaces"Vok $!mS   X-XX` ` 1. a1Indented Pars FCCNumbered indented paragraphs w/ 2 spaces#Fic  yO-x1.  2r)KU"K$<&K''"i~'^:DPddDDDdp4D48dddddddddd88pppX|pDL|pp||D8D\dDXdXdXDdd88d8ddddDL8ddddX`(`lD4l\DDD4DDDDDDDDd8XXXXXX|X|X|X|XD8D8D8D8ddddddddddXdbdddpdXXXXXlX~|X|X|X|XdddldldD8DdDDDdplld|8|P|D|D|8dvddddDDDpLpLpLpl|T|8|\ddddddl|X|X|Xd|DdpL|Dd~4ddC$CWxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxNHxxH\dDXddddd8@d<@d<DDXXdDDxddzHxxHvppDXd<"dxtldpxxd"i~'^:DpddȨDDDdp4D48ddddddddddDDpppd|Ld|pȐD8DtdDdpXpXDdp8Dp8pdppXLDpdddXP,PhD4htDDD4DDDDDDdDp8dddddȐXXXXXJ8J8J8J8pddddppppddpddddzpdddXXhXXXXXdddhdptL8LpLDLpphhp8ZDP8pppddƐXXXpLpLpLphfDtppppppȐhXXXpDppLDd4ddC6CWxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxNHxxHjdDdddddd8HH"&H>XHH8HB8>HH^HH>"".2",2,2,"222N2222"&22H22,006"6."""""""""""2H,H,H,H,H,XAB,>,>,>,>,""""H2H2H2H2H2H2H2H2H2H2H,H2H1H2H2H282H,H,H,B,B,B6B,H?>,>,>,>,H2H2H2H6H2H6H2""2"""2F866H2>>(>">">H2;H2H2H2H2XHB"B"B"8&8&8&86>*>>.H2H2H2H2H2H2^HH6>,>,>,H2>"H28&>"H2?22!!WFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxN$<<$.2",2222`2 LL2 LL2L"",,2d""irrelevant to AT&T's Section 214 application to provide international switched services via  xinternational private lines interconnected with the public switched network. Graphnet's dispute  xwith AT&T is already being considered in the context of a complaint proceeding initiated by  X- xGraphnet on February 4, 1994.h: {O<-ԍXxGraphnet, Inc. v. AT&T, File No. E9441.(#h The complaint proceeding, not this proceeding, is the proper  xforum for resolution of those issues. We cannot countenance the filing of irrelevant petitions to  xzdeny for the sole purpose of delaying the grant of an application by having it removed from streamlined processing. We therefore deny Graphnet's petition without addressing its allegations. #ia1Indented Pars FCC   x7.  Therefore, the only remaining issue we need address is AT&T's affiliation with  xUnitel. Unitel is a facilitiesbased carrier that provides domestic longdistance and international  xservice in Canada. It is also a reseller of Teleglobe's international overseas service. Stentor, the  x<only other facilitiesbased carrier in Canada, has 100 percent of the local services market and over  x=90 percent of the domestic facilitiesbased longdistance market. Teleglobe has 100 percent of  xthe facilitiesbased overseas market. Unitel carries less than 6 percent of the Canada!United  X -States traffic. We therefore conclude, as we have before," Z: {O$-  ԍXxSee Motion of AT&T Corp. to be Declared NonDominant for International Service, Order, FCC 96209   M(rel. May 14, 1996), 89. Pursuant to the Section 214 Streamlining Order, the present application need   not have been filed, because AT&T seeks authority to resell international services with an affiliated   facilitiesbased foreign carrier in Canada whom the Commission has previously determined to lack market"+',N(N(V'"  {O-  /power in Canada. See 47 C.F.R. 63.12(c)(1). Nevertheless, having accepted the application for filing, we find its grant to be in the public interest.(# that Unitel lacks market power in Canada." ",N(N(ZZ"Ԍ  #ia1Indented Pars FCCۙx8.  We find that AT&T's application is complete pursuant to Section 63.18. Based on  xMthe above findings, we conclude that a grant of this application will add competition on the  xUnited States!Canada route. Therefore, we find that the public interest, convenience, and necessity would be served by granting the application.  X- Ordering Clauses ă #ia1Indented Pars FCC   x9.  Accordingly, IT IS ORDERED that AT&T's application File No. ITC96422 is  xKGRANTED, and AT&T is authorized to provide switched services between the United States and  xCanada via international private lines interconnected with the public switched network at one and/or both ends. #ia1Indented Pars FCC   x 10.  IT IS FURTHER ORDERED that this authorization is subject to the general terms  xand conditions set forth in Sections 63.18(e)(1) and (2) 9!Z , 63.15, and 63.21 9!Z  of the Commission's  x/rules, 47 C.F.R. 63.18(e)(1)!(2), 63.15, 63.21, and to all other applicable Commission rules and policies. #ia1Indented Pars FCC   x 11.  IT IS FURTHER ORDERED that this authorization is limited to the provision of  xsuch services between the United States and Canada only, that is, private lines that carry switched  xZtraffic that originates in the United States and terminates in Canada or vice-versa. This restriction  xKis subject to the following exception: AT&T may engage in "switched hubbing" through Canada  xjconsistent with the rules adopted in the Foreign Carrier Entry Order, 11 FCC Rcd 3873, 3938!39  X-(1995); see also 47 C.F.R. 63.17(b). #ia1Indented Pars FCC   _x 12.  This Order is issued under Section 0.261 of the Commission's rules, 47 C.F.R.  x0.261, and is effective upon release. Petitions for reconsideration under Section 1.106 or  xkapplications for review under Section 1.115 may be filed within 30 days of the date of public notice of this Order (see Section 1.4(b)(2))1. x` `  hh@FEDERAL COMMUNICATIONS COMMISSION x` `  hh@Diane Cornell x` `  hh@Chief, Telecommunications Division x` `  hh@International Bureau1