| Issue:
16/08 |
NBN
Regulatory Models
|
April
30, 2008
|
ATUG Cross Connect (cXc) meetings last week discussed end user requirements
for contemporary broadband services, a range of issues were raised
relevant to the National Broadband Network RFP, regulatory issues
and remote area solutions.
The related documents are:
National Broadband Networks Proposals
Government invites National Broadband Network proposals – Due
25 July, 3pm AEST
The Minister for Broadband, Communications and the Digital Economy,
Senator the Hon Stephen Conroy, announced the release of the Request
for Proposals (RFP) to roll-out and operate the National Broadband
Network.
Click Here
National Broadband Network Request for submissions on regulatory
issues – Due 25 June, 3pm AEST
The Minister for Broadband, Communications and the Digital Economy,
the Hon Stephen Conroy invited industry and public interest groups
to provide submissions on regulatory issues associated with the National
Broadband Network.
Click Here
Call for submissions on broadband solutions for remote areas – Due
30 June, 5pm AEST
The Minister for Broadband, Communications and the Digital Economy,
Senator the Hon Stephen Conroy, has called for submissions on policy
and funding initiatives to provide enhanced broadband to rural and
remote areas.
Click Here
Telecommunications consumer stakeholder forum
The Minister for Broadband, Communications and the Digital Economy,
Senator the Hon Stephen Conroy, announced that a forum to identify
ways to make consumer representation in telecommunications policy
making more effective will be held in Canberra on Thursday 1 May
2008.
Click Here
Concerns raised by members, which will be considered in the development
of ATUG’s response to the consultations, included:
• Creation of a new Telstra monopoly and if
so, what influence Service Providers would have in trying to develop
and offer a range
of tailored services.
• How could end users be confident of what
they are being provided? While take-up of future applications was
not clear, extensive
service development was required with focus on delivering a first
class end user experience.
• Distinct Business and Domestic services need
to be available with clear and measurable service capabilities.
Given the poor experience
to date the meeting strongly supported the concept of Quality and
Performance Regulation as a means to ensure reasonable end user experiences
• Preserving competitive service in the ‘last mile’ was
strongly supported. A well regulated and effective wholesale market
place was considered a ‘MUST’ with open and equitable
access for all providers.
• The FTTN must be dimensioned for a wide range
of services including e health, distance education and general
business needs
as well as entertainment and IPTV needs need to be considered.
• The new NGN should be considered to be an ‘innovation
platform’ with a strong focus on open and interoperable standards,
peer to peer working requiring symmetrical services, network neutrality
and a capability to accommodate IPV6.
• The future of multiple concurrent applications
on a domestic service, means a target capability of 100 Mbps should
be set.
• While data rates were considered important,
the need for large and reasonably priced monthly download capacities
was considered
crucial.
• Consideration should be given to ensuring
that a content service provider can charge for services as well
as the access provider.
• Recognising divergent views on appropriate
Rates of Return, (RoR), support was expressed for an examination
of the likely increase
in end user prices that would result from an increase in RoR, as
a means to develop an effective and harmonious wholesale market place,
if Telstra is the only transport service provider.
• Also strong support was expressed for robust
wholesale regulation to ensure effective competitive outcomes.
• To achieve an effective regulatory environment
the meeting expressed strong support for a pro-active and interventionist
regulator
not dissimilar to environment of Austel.
It is also important to reflect on developments overseas, as Australia
thinks through the appropriate policy and regulatory context for
our FTTx network development.
New Zealand - Operational Separation of Telecom
Operational separation of Telecom's business is part of a package
of new regulatory measures brought in with the passage of the Telecommunications
Amendment Act in December 2006.
Operational separation in NZ is based on equivalence of treatment
in the supply of services to internal and external purchasers to
avoid discrimination and foster market competition.
A Ministerial Determination was released in September 2007 for consultation
on key parameters for the operational separation of Telecom. Telecom's
initial Draft Separation Plan was received by the Minister for Communications
in October 2007, which was amended following public consultation.
In December 2007, the Minister released an Amending Determination,
updating his requirements, and called for public submissions on Telecom's
Amended Separation Plan.
The Separation Plan (comprising the undertakings) was approved by
the Minister on 30 March 2008, and became legally enforceable on
Separation Day - 31 March 2008.
Full details
are available here
Telecom NZ’s Undertakings are available here
Singapore
Open
Access Next Gen NBN – Structural Separation
for Next Gen NBN NetCo
The Next Gen NBN will comprise three key conceptual industry layers.
Undergirding the Next Gen NBN is the Network Company (Next Gen NBN
NetCo), which will be responsible for the design, build and operation
of the passive infrastructure layer. Leveraging the Next Gen NBN
NetCo’s passive infrastructure would be operating companies
that are responsible for the design, build and operation of the active
infrastructure to provide wholesale broadband connectivity to other
operating companies and RSPs. These RSPs will in turn compete to
provide innovative services to end-users.
For Singapore to fully benefit from the economic opportunities of
this pervasive and ultra-high speed infrastructure, it is critical
for the Next Gen NBN to ensure effective open access to the infrastructure
by downstream operators. This will create a vibrant and competitive
broadband market. As a policy, the Government has therefore decided
to adopt separation between the different layers of the Next Gen
NBN to achieve effective open access.
Operational Separation for Next Gen NBN OpCo
The Next Gen NBN OpCo selected through Singapore’s Next Gen
NBN OpCo RFP will be required to be Operationally Separated from
downstream RSPs, in line with the industry structure envisaged for
the Open Access Next Gen NBN. Compared to the Structural Separation
imposed on the Next Gen NBN NetCo, Operational Separation is a less
stringent form of separation as the Next Gen NBN OpCo will be allowed
to retain full shareholding ownership of its downstream operating
units, such as RSPs.
However, the Next Gen NBN OpCo will be required to treat all downstream
units equally, and on a non-discriminatory basis. The Next Gen NBN
OpCo will have to operate on a standalone basis separate, from its
affiliated downstream operating units, and be subject to various
obligations, including being established as a separate legal entity
and maintaining separate board, management and staff.
In addition to Operational Separation, the Next Gen NBN OpCo will
also be subject to other key obligations as follows:
1. Price Control
The Next Gen NBN OpCo must offer fair and non-discriminatory wholesale
broadband services to other Operating Companies and downstream operators
such as RSPs through an Interconnection Offer (ICO). The prices and
terms and conditions of these wholesale offerings will be regulated
by IDA.
2. Universal Service Obligation (USO)
The Next Gen NBN OpCo will be required to complement a similar obligation
on the Next Gen NBN NetCo. The Next Gen NBN OpCo will be obliged
to meet all reasonable requests by any operating company or downstream
RSP for access to a basic set of wholesale services offered under
its ICO.
In addition to Operational Separation, the Next Gen NBN OpCo will
also be subject to other key obligations as follows:
Full details on the IDA’s Public Consultation on Industry Structure
for Next Generation Access Networks, issued on 17 April 2008, are
available here
Canada
A useful summary
is in the AXIA Net Media Presentation at ATUG 2008 is available here
CEO Art Price outlined the approach adopted by Axia in Canada and
France in its Fibre Deployments. The presentation, Next Generation
Network Drivers and Implementation Approaches, made the clear statement:
‘The common attribute across…break-through
implementations:
Put the NGN fibre grid in a no-conflict open access
business model by separating ownership.’
France
A presentation
NGN Access, Results of public consultations and directions, to
the ECTA Regulatory Conference in November 2007
by Ms Gabrielle
Gauthey, ARCEP’s (French Regulator) Commissioner is available
here
The French approach is based on infrastructure sharing (Slide 9):
Operators will have to allow sharing:
– for the long term, at the base of building
– temporarily, at the optical distribution frame
– to limit the risk of local
monopolies...
– …while encouraging investment
• ARCEP is now initiating multi-lateral work
to discuss
how sharing can be done…
• … and will issue recommendations for
landlords and
building managers
– practical guide
– model agreement
• The goal is to anticipate the “symmetrical” regulation
framework and to provide guarantees so that fibre
can be installed in buildings
UK
The UK approach
by BT was outlined in Grant Forsyth’s Presentation
at ATUG 2008 – Overseas Developments: Successes in A functionally
separated world.
Click Here
Forsyth outlined the usual objections to Functional Separation and
BT’s response to them:
1. Suppresses investment
– Return on investment is determined independent of FS
– Greater certainty supports wider investment from incumbent and entrants
2. Suppresses investment in fibre
– UK is leading in fibre deployment
–
UK committed to green-fields FTTP on an EOI basis – no “Regulatory
Holidays”
3. Creates a monopoly
–
EOI only for enduring bottlenecks – i.e. exiting monopoly
– Entrants free to invest where opportunities exist / business case
work
4. Duct sharing is a better alternative
– Practical issues rule it out for more than a select few
– How is equivalence of access to be delivered? Functional Separation?
5. Replicability is a better alternative: Equivalence = Equal
– France: MAN Ethernet
– Spain: Metro-net Ethernet
6. Too costly
–
To whom? Costs of competition always “too costly” when
imposed
– Incremental cost of EOI not significant vs. other systems costs
7. Destroys the share value of the incumbent
– Ask the shareholders and the analysts
– Not the experience of BT
8. Eliminates jobs and dumbs down pay and conditions
– Openreach: increased number of employees employed, increased the
value of individual remuneration provided
Information
on BT’s
Undertakings which created Openreach: Click Here
Information on
the implementation of BT’s
undertakings: Click Here
ATUG will continue to discuss these important issues over coming
months and welcomes any comments from members as we prepare our
response for the Minister, email lauren.mcginley@atug.org.au