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1. Next Generation Telecoms Regulation Gareth Davies
21st Nov 2008
2. Agenda Next Generation Access
Next Generation Networks
Priorities and next steps 1
3. 2 Next Generation Access
4. 3 Recent NGA publications
5. 4
6. 5 A variety of wired and wireless technologies will be capable of delivering these higher speeds Today applications, services, demand and willingness to pay are still uncertain
There is also uncertainty on who will invest where, what the technology mix will be and how far the market will reach
Virgin and BT announcements are for less than 50% of households, BSG believes up to two thirds.
We do not have a view, but its likely not to be a truly national deployment for a very long time, if ever
Our vision is one of private sector-led investment, thought with the possibility of public sector outside-in investment as and when appropriate in those areas that will remain underserved by the market
By the way, there needs to be a clear understanding of the public detriment from non-national availability before action is taken. Limited evidence or understanding of this so far. It is for government and not Ofcom to make the final decision on intervention.
Conclusion: need a period for experimentation and development by industry, supported by Ofcom and the right regulatory environment.
Today applications, services, demand and willingness to pay are still uncertain
There is also uncertainty on who will invest where, what the technology mix will be and how far the market will reach
Virgin and BT announcements are for less than 50% of households, BSG believes up to two thirds.
We do not have a view, but its likely not to be a truly national deployment for a very long time, if ever
Our vision is one of private sector-led investment, thought with the possibility of public sector outside-in investment as and when appropriate in those areas that will remain underserved by the market
By the way, there needs to be a clear understanding of the public detriment from non-national availability before action is taken. Limited evidence or understanding of this so far. It is for government and not Ofcom to make the final decision on intervention.
Conclusion: need a period for experimentation and development by industry, supported by Ofcom and the right regulatory environment.
7. 6 Super-fast broadband will support new and improved applications, but the commercial case remains uncertain
8. 7 Announced deployments as well as current competition need to be supported by the regulatory environment
9. 8 We aim to strike a balance between promoting investment and ensuring effective competition Our aim remains to both secure investment and promote competition
Pricing pricing freedom is the right approach now because of the competitive environment these investments are being made in:
Cable competition to BT, with potentially quite overlapping footprints based on densest areas
New and existing services appear to be in the same market so far NGA cannot do things that faster copper connections cannot
More competition from wireless technologies
Opportunities to use other regulatory products for example unbundling of cabinets if wholesale products are not good enough
Passive remedies are our preferred way to deliver competition from regulation:
What do we mean by this access to physical infrastructure only e.g. duct, sub-loop unbundling, dark fibre etc
Passives are good because they allow most product and price innovation and differentiation just as in LLU with pricing and ADSL2+
Some passive products may face difficult economics, but we are very interested in options to make them more economic, including new deisgns for passive products and new commercial models, including joint investment
Active remedies are also important though these are products that use physical elements and electronics from the supplier
As in todays world, competition based on passives e.g. unbundling will not work everywhere. Therefore you need options to promote competition more widely
The next generation of active wholesale products can improve on todays in terms of options to differentiate products and prices it does not have to be the same product at the same price for all service providers
Industry is already engaging in the development of these new products we welcome this
Transition will become important in the future
The commercial case for investing in a new network may eventually hinge on cost savings from closing the old one. This is efficient
When it will happen will depend on a number of triggers, like: take-up, potential for cost savings, having new wholesale products for service providers to move to, having a well defined process to move between networks, supporting migration
In practice, there may be various phases to any transition in different areas, including: consultation, notice, and migration
New build
These four are all areas that we are consulting on. But we are undertaking other actions too todays we published our statement on the regulatory treatment for new build fibre developments. This is another example of how we are seeking to deliver as much regulatory certainty as possibleOur aim remains to both secure investment and promote competition
Pricing pricing freedom is the right approach now because of the competitive environment these investments are being made in:
Cable competition to BT, with potentially quite overlapping footprints based on densest areas
New and existing services appear to be in the same market so far NGA cannot do things that faster copper connections cannot
More competition from wireless technologies
Opportunities to use other regulatory products for example unbundling of cabinets if wholesale products are not good enough
Passive remedies are our preferred way to deliver competition from regulation:
What do we mean by this access to physical infrastructure only e.g. duct, sub-loop unbundling, dark fibre etc
Passives are good because they allow most product and price innovation and differentiation just as in LLU with pricing and ADSL2+
Some passive products may face difficult economics, but we are very interested in options to make them more economic, including new deisgns for passive products and new commercial models, including joint investment
Active remedies are also important though these are products that use physical elements and electronics from the supplier
As in todays world, competition based on passives e.g. unbundling will not work everywhere. Therefore you need options to promote competition more widely
The next generation of active wholesale products can improve on todays in terms of options to differentiate products and prices it does not have to be the same product at the same price for all service providers
Industry is already engaging in the development of these new products we welcome this
Transition will become important in the future
The commercial case for investing in a new network may eventually hinge on cost savings from closing the old one. This is efficient
When it will happen will depend on a number of triggers, like: take-up, potential for cost savings, having new wholesale products for service providers to move to, having a well defined process to move between networks, supporting migration
In practice, there may be various phases to any transition in different areas, including: consultation, notice, and migration
New build
These four are all areas that we are consulting on. But we are undertaking other actions too todays we published our statement on the regulatory treatment for new build fibre developments. This is another example of how we are seeking to deliver as much regulatory certainty as possible
10. 9 Passive and active access methods create a trade-off between depth and breadth of competition
11. 10 Creating room for passive access products in response to industry demand
12. Fibre to the Cabinet Economics of sub-loop unbundling look very challenging if each CP has to build its own cabinet
One-off opportunity for cabinet sharing when BT upgrades its own cabinets
One or two CPs appear to be interested in shared investment options to give greater control over service features and reduce incremental cost of adding customers 11
13. Duct access ECs favoured remedy, already mandated in some EU countries e.g. France, Spain
Ofcom currently carrying out survey of BT ducts early indications are that scope for duct sharing may be more limited than elsewhere 12
14. 13 Supporting industry led development of active access products
15. 14 Allowing wholesale pricing freedom for active next generation wholesale products
16. How to ensure equivalence in NGA provision? Option 1: Multiple EOI points 15
17. Approach to competition in New Build areas Clear expectation that New Build developers and network operators will plan in a way which will support retail competition:
Anticipate duct sharing
Make available wholesale products e.g. Active Line Access
If this proves ineffective, Ofcom will carry out market reviews and impose regulatory obligations where appropriate
BT generally treated in the same way as other new build operators 16
18. NGA Key questions Is there real demand for passive products?
Will BTs GEA product, as currently defined, provide a basis for effective competition?
Should we proceed with the hands-off approach to GEA pricing?
Should we favour a model of parallel equivalence? 17
19. Next Generation Networks 18
20. 19 What is an NGN? Multi-service packet-based network
Requires Quality of Service management to meet differing needs of individual services
Separation of conveyance and service control (Network Intelligence) functions
Further separation between network intelligence and applications
Applications:
Applications:
21. Key characteristics of NGNs
22. How much intelligence should be in the Network Intelligence layer?
23. 22 What are operators actually doing?
24. 23
25. 24
26. NGNs Regulatory Issues Infrastructure competition
Reduced scope, to some extent in Core, particularly in Backhaul
Some further industry consolidation likely
Service Competition
Increased scope, more focus on software based features and content
Should we be concerned about open network access?
The good news is that these standard interfaces open a great many new avenues for competition in regard to services offered to end-users. The bad news is that service providers who have market power (either in the classic sense or as a function of network externalities) presumably will not want to open their networks to competition at the service level, and therefore are likely to limit the use of these capabilities. (recent Agcom presentation)
Possible Ofcom role in promoting development of standard network interfaces (APIs)
Net neutrality and 2-sided markets
Interconnection
Transition to IP interconnect for voice
Convergence of fixed and mobile call termination rates?
Possible move to an internet-style interconnect regime, based on peering and transit arrangements, and service
Service agnostic interconnection, linked to move to Phase III?
25
27. 26 Priorities and Next Steps
28. Priorities and next steps (1) Near term NGA
Active v Passive remedies
Stance towards price regulation
Defining NGA equivalence model
NGN
Consultation planned for early 2009, designed to:
Review equivalence model for BTs 21CN products
Invite views on consumer issues raised by NGNs
Stimulate debate on longer term implications
Related Ofcom initiatives
Fixed Narrowband Market Review and Network Charge Control
Mobile Sector Assessment
Future of Termination Rates 27
29. Priorities and next steps (2) Longer term For the longer term, a key aim will be to consider the sort of competition models likely to best further consumer interests, and the potential role of regulation in fostering their development 28
30. Thank you Gareth.Davies@ofcom.org.uk 29