1 / 9

The Truth About Special Access

The Truth About Special Access. Donna Epps Vice President – Federal Regulatory Verizon. What Are High Capacity Services?. Business. IXC/CLEC Location. Wire Center. Cell Cites (Backhaul). High Capacity Transport. Large Business (End-Users). DS1/DS3 Last Mile. Wire Center.

audi
Download Presentation

The Truth About Special Access

An Image/Link below is provided (as is) to download presentation Download Policy: Content on the Website is provided to you AS IS for your information and personal use and may not be sold / licensed / shared on other websites without getting consent from its author. Content is provided to you AS IS for your information and personal use only. Download presentation by click this link. While downloading, if for some reason you are not able to download a presentation, the publisher may have deleted the file from their server. During download, if you can't get a presentation, the file might be deleted by the publisher.

E N D

Presentation Transcript


  1. The Truth About Special Access Donna Epps Vice President – Federal Regulatory Verizon

  2. What Are High Capacity Services? Business IXC/CLEC Location Wire Center Cell Cites (Backhaul) High Capacity Transport Large Business (End-Users) DS1/DS3 Last Mile Wire Center

  3. Who Buys Special Access Services? • Retail • Financial Institutions • Universities • Government Agencies • Corporations • Wholesale • CLECs • Wireless Providers • LECs Highly sophisticated business customers who leverage their buying power to negotiate substantial discounts

  4. The High Capacity Services Marketplace is Competitive • The FCC has found that high capacity services such as special access are competitive. • “[W]e find that myriad providers are prepared to make competitive offers …”… “[C]ompetition for medium and large enterprise customers should remain strong . . . because [they] are sophisticated, high-volume purchasers of communications services . . . and because there will remain a significant number of carriers competing in the market.” Verizon/MCI Merger Order at para. 74. In prior proceedings, Verizon has demonstrated: • There is an average of 19 competitive networks in the top 50 MSAs. • In Verizon’s region, there is competitive fiber in nearly two-thirds of the Verizon wire centers that account for 80 percent of Verizon’s demand for high capacity services.

  5. The High Capacity Services Market Is Competitive • Who are the competitors? Traditional players like: • And new players like: VZ’s Challenge: Uncovering Deployment Of Competitive Facilities.

  6. Prices Customers Pay for Special Access Have Declined • Due to competition, the special access prices customers pay have declined in both regulated and non-regulated areas. • In prior proceedings, Verizon has demonstrated that: • For special access services overall, the prices customers pay have declined by an annual rate of 16 percent. • From (2002-2004), prices customers pay for DS1 and DS3 loops have declined annually by 5% and 7% respectively. This is even faster than would have been required by the FCC’s price cap rules.

  7. Proponents of More Regulation Misconstrue the Facts About Pricing • Proponents erroneously point to high capacity “sticker prices” to argue rates are excessive. • ILECs offer discounts of 40-70 percent off the “sticker prices.” The majority of customers purchase under discount plans. • Proponents deliberately do not reveal the prices they actually pay for services.

  8. Proponents of More Regulation Misconstrue the Facts About Rates of Return • Proponents erroneously point to ARMIS data which the FCC has recognized should not be the basis of setting rates. • FCC uses ARMIS data to ensure ILEC compliance with certain regulatory accounting and cost allocation rules. • ARMIS data were never designed to evaluate rates and are not set up to accurately measure real business rates of return.

  9. The GAO Special Access Report • GAO concluded the FCC should gather better competition data. • GAO confirmed that since the advent of the pricing flexibility regime, customers are paying less for special access in both regulated and non-regulated areas. • Some of GAO’s other conclusions were flawed because it had incomplete data. • Competing providers did not provide GAO with the information it needed to properly assess the market for its study. • Page 59 of the GAO report states: "We were unable to collect data on prices that competitive firms charged; therefore, those prices are excluded from this analysis. We asked competitive firms to supply prices, however, they did not.”

More Related