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WorldCom Presentation to the LRIC Working Group. Michael D. Pelcovits, Ph.D. Vice President and Chief Economist Tokyo, Japan December 13, 2000. Overview. Universal Service - The US Experience Setting Depreciation Rates Traffic-sensitive and non-traffic sensitive costs Outside Plant Types.
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WorldCom Presentation to the LRIC Working Group Michael D. Pelcovits, Ph.D. Vice President and Chief Economist Tokyo, Japan December 13, 2000
Overview • Universal Service - The US Experience • Setting Depreciation Rates • Traffic-sensitive and non-traffic sensitive costs • Outside Plant Types
Overview • US Regulatory Background • Defining Universal Service • Calculating Universal Service Costs • Determining Subsidy Amount • Funding and Distributing Universal Service Support
US Regulatory Background • Historically, low prices for local exchange services were subsidized by above-cost pricing of long-distance and other services • Upon AT&T divestiture, access charges imposed on long-distance companies replaced much of this subsidy
US Regulatory Background • Dual responsibility for universal service • Federal government has jurisdiction over interstate services, mainly long distance and access (interconnection) to long distance carriers • State governments have jurisdiction over local services, short-haul toll and access for short-haul toll • Joint Board of state and federal regulators is convened to address issues of joint responsibility
US Regulatory Background • Telecommunications Act of 1996 required: • Implicit subsidies to be replaced by explicit subsidies • Competitively neutral assessment of support • Competitively neutral availability of funds • Cost of subsidy determined without reference to rate base or rate of return
Voice-grade access to network Touch-Tone dialing Single-party service Access to emergency services Access to operator services Access to long-distance carriers Access to directory assistance Defining Universal Service Federal-State Joint Board defined “supported services” as:
Defining Universal Service • In subsequent proceedings, the definition of universal service was expanded to include the ability to access data services at 56kbps or higher
Defining Universal Service • U.S. also provides targeted programs to low-income subscribers • LifeLine - reduced rate, limited usage service • LinkUp - reduction or waiver of initial installation costs • Schools and libraries • Universal service fund provides support for Internet connectivity
Universal Service Costs • Prior to Telecomm Act of 1996, subsidies were based on embedded (accounting) cost • Federal subsidies based on allocation of loop cost to federal jurisdiction • State subsidies determined through “residual ratemaking”
Universal Service Cost • Joint Board was concerned that basing universal service support on embedded cost would fund inefficient operations • Use of forward-looking economic cost encourages efficient operation by all carriers • Provide incentives to incumbents to improve efficiency • Discourage inefficient entry decisions by competitors
Universal Service Cost • Joint Board found that a cost model should be used to estimate universal service cost • Provides greater geographic disaggregation than accounting data • Competitively neutral, because not based on any one carrier’s network
Universal Service Cost • FCC adopted 10 criteria for assessing cost models • Technology - least-cost, most efficient technology for providing supported services, with “scorched node” topology • All network functions must have an associated cost • Cost estimated is long-run, forward looking economic cost
Universal Service Cost • 10 criteria (continued) • Rate of return set at FCC’s approved level of 11.25% • Depreciation lives and net salvage rates should be in FCC-prescribed range • Model should include all services provided by the network, to reflect economies of scale
Universal Service Cost • 10 Criteria (continued) • Reasonable allocation of joint and common costs to supported services • Model should be open -- all calculations and software open to inspection and review, all input data verifiable • Critical assumptions and input variables must be changeable • Disaggregation of results at least to the level of the wire center
Determining Subsidy Amount • Much of FCC’s system for determining subsidy amount is specific to peculiar nature of US dual jurisdictional system • In general… • Each state computes average forward-looking cost • National benchmark is set at 135% of national average forward-looking cost • Federal support is available for 76% of per-line forward-looking cost > 135% of national average
Determining Subsidy Amount • After total amount of state subsidy is determined, support is targeted to high cost wire centers • Ensures that support goes only to lines that require support • Wire centers with cost < national benchmark receive no support • Wire centers with cost > national benchmark receive support proportional to the degree to which costs exceed the national benchmark
Funding & Distribution of Support • Total nationwide support requirements are funded by an assessment on each carrier’s interstate and international revenues derived from end users • Access charges reduced to account for replacement of implicit subsidies with explicit subsidies
Funding & Distribution of Support • All universal service support is portable among carriers • If a competitive carrier takes a customer in a high-cost area from the incumbent…. • Or if a competitive carrier sells new services in a high-cost area… • That carrier is eligible for the same high-cost support that would be available to the incumbent
Size of Universal Service Funds • High-cost support = $1.9 billion • Non-rural carriers = $399 million • Rural carriers = $1.5 billion • Schools & Libraries = $2.25 billion • Low-income support = $672 million • LifeLine = $632 million • LinkUp = $40 million
Conclusions • US Universal Service support is competitively neutral • Costs determined using forward-looking methodology, not specific to any carrier • Subsidy Amount is equitable among states and among carriers • Funding of support is through assessment on all carriers • Distribution of support is portable and equitable among carriers
Depreciation in the U.S. • FCC Depreciation Policies and Practices • Results for Regulated Local Exchange Carriers (LECs) • Comparison to WorldCom Depreciation Practices
FCC Depreciation Policies & Practices • Concepts • Whole Life • The useful life of plant at the time the plant is purchased • Depreciation expense computed under this method equals (Original Investment - Net Salvage) / Useful Life of the Plant
FCC Depreciation Policies & Practices • Concepts • Remaining Life • The useful life of plant remaining as of the time of a depreciation study • Depreciation expense using this method equals (Original Investment - Accumulated Depreciation - Net Salvage) / Average Remaining Life of the Plant
FCC Depreciation Policies & Practices • Concepts • Net Salvage • The amount for which plant can be sold at the end of its useful life minus the cost of removal • Can be positive (switches can be sold and used by other phone companies) or negative (poles must be removed and disposed of)
FCC Depreciation Policies & Practices • Concepts • Survivor Curves • Mathematical formula that predicts what percentage of a given vintage of plant will be removed from service in a given year • In the United States, typically an S-shaped curve
FCC Depreciation Policies & Practices • Before 1981 • Rates based on whole life • Resulted in insufficient depreciation as equipment lives shortened
FCC Depreciation Policies & Practices • After 1981 • Changed to remaining life • Prevented insufficient depreciation • Amortizations used to make up previous shortfall
FCC Depreciation Policies & Practices • After 1981 (cont’d) • Lives, salvage values, and survivor curves decided in triennial meetings • FCC, State regulators, Company • opportunity for comment by public • determined by plant account
FCC Depreciation Policies & Practices • After 1981 (cont’d) • LEC provided information on historical and projected retirements • Adopted lives strongly influenced by projected retirements • prescribed lives match historical retirements only 30 percent of the time
FCC Depreciation Policies and Practices • To support their proposed depreciation lives, companies provide, by plant account • Five most recent years of actual data on plant and reserves • Three year forecast of additions, retirements, and plant • Actual and projected data on salvage and cost of removal
FCC Depreciation Policies and Practices • Companies also provide a description of any market or technological changes that will affect future retirements
FCC Depreciation Policies & Practices • Depreciation Simplification - 1993 • To reduce reporting burden, FCC simplified depreciation process • Set ranges for depreciation lives and net salvage values based on already approved values • average values by plant account, plus or minus one standard deviation
FCC Depreciation Policies & Practices • Depreciation Simplification - 1993 (cont’d) • Less support required if claimed lives and net salvage are within the ranges • For claimed values outside the range, the previous level of support is required • Bell companies have claimed lives at the low end of these ranges, with few changes in the last four years
Results for Regulated LECs • ILEC reserves have grown faster than investment in plant..
Results for Regulated LECs • ...Leading to an increase in ILEC Reserve Ratios (Reserves/TPIS)
Overall cost of capital • Cost of capital in US cost models includes: • Economic depreciation expense • Levelized equity return and interest on invested capital • Converted to level annual cost using an annuity calculation • Income taxes on equity return
Comparison to WorldCom Depreciation Practices • ILEC Depreciation Lives for Circuit Equipment, Cable, and Poles - 65% of ILEC plant - are shorter than those used by WorldCom • Depreciation lives used in the NTT Cost Model are shorter than ILEC lives
Overview • Importance of proper classification • Classification of Outside Plant equipment • Classification of Central Office equipment • Implications for pricing structure
Importance of Proper Classification • Fundamental element of any cost study is to identify cost drivers: • What kind of demand causes costs to vary? • Are multiple demand factors implicated in cost changes? • What’s the functional relationship between changes in demand and changes in cost?
Importance of Proper Classification • As a general principle - cost recovery should match cost causation • Encourages efficient consumption behavior • Prevents under- or over-recovery of costs • Sends correct pricing signals to new competitive entrants