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~g <br />_15_ <br />Time Wazner calculated the form1205 maximum permitted equiprnent39 and installation40 rates <br />by aggregating its costs across the USA. Time Warner has not aggregated on a regional basis <br />since 2001.41 <br />The following table chronicles changes in form1205 equipment and installation rates since 2001. <br />Table 5 <br />FCC1205 2001 <br />NC 2002 <br />USA 2003 <br />USA 2004 <br />USA 2004 <br />USA Delta <br />Remote Control $0.28 $0.35 $0.35 $0..34 $0..33 ($0.01) <br />Addressable 1 $4.26 $8.49 $7.34 $7.99 $8.82 $0..83 <br />Non-addressable 2 $0..93 $0.68 $0.59 $0.68 $0.76 $0.08 <br />39§76.923 (c)(1) Costs of customer equipment maybe aggregated, on a franchise, system, regional, or <br />company IeveL Wben submitting its equipment costs based on average charges, the cable operator must provide a <br />general description of the averaging methodology employed and a justification that its averaging methodology <br />produces reasonable equipment rates. <br />4°§76.923 (c)(3) Installation costs maybe aggregated, on a franchise, system, regional, or company level.. <br />When submitting its installation costs based on average charges, the cable operator must provide a general <br />description of the averaging methodology employed and a,justification that its averaging methodology produces <br />reasonable equipment rates. <br />4tlhne Warner is treated as a single company for FCC 1205 rate-making purposes. TWC files a single FCC <br />1205 throughout the United States with over 30001ocal franchise authorities, LFAs, to establish uniform rates for <br />equipment and installation charges. <br />