 |
Opinion "Communicate,
Collaborate, Innovate" |
| Issue:
25/08 |
ATUG
NBN Submission
|
July
02,
2008
|
ATUG lodged a submission to the Government on the regulatory
issues associated with Australia’s National Broadband Network. ATUG’s
submission was based on member discussions and Forums during 2007 and
2008 and on our assessment of global developments and trends.
ATUG and its members are focused where the Government has said it is
focused - on the critical importance of future telecommunications regulatory
settings, including ongoing consumer safeguards, to ensure the best
outcomes for all Australians and the competitiveness of the economy.
ATUG’s key suggestions are:
| |
• Policy objectives for the NBN regulatory framework must include being
in the Long-term Interests of End Users and be complemented
by an effectively competitive services market place.
• Affordability is the key to take-up. Regulation must support the cost
effective building of the NBN as well as recognise that effective competition
is the strongest tool for delivering affordable prices. An entry level “safety-net” package
should also be developed.
• End User Choice – network design is central to competition and
choice. Only designs that promote competition should be accepted. When infrastructure
competition is not possible, services competition based on open access and service
equivalence at a wholesale level must be ensured.
• Wholesale Service Equivalence in wholesale services together with effective
services competition can only be assured by establishing:
| |
o
clear separation between wholesale and retail units and
o a new pro active, pro competition independent oversight body, NBN Australia,
with the task of implementing the Open Access and Equivalence Frameworks for
Australia’s NBN, using facilitation and mediation |
• Customer Experience in the NBN environment must be carefully
managed to ensure a successful transition and good end user outcomes. Service
quality
and security standards must be established at a level to reflect the key role
of the NBN in the lives of all Australians.
• Ubiquity – all Australians must be connected to the NBN. Ubiquity
is not only about network availability but also about affordability and accessibility.
When all Australians are connected to the NBN, the real potential of this for
productivity, growth and innovation will be open to end users in every sector
of the economy and community, and in all regions of Australia. |
ATUG looks forward
to an opportunity to comment on regulatory amendments to facilitate
the roll-out of the NBN. It would not be acceptable
for policy, legislation and regulation affecting the long-term interests
of end users to be “negotiated” without public debate.
The full submission is available on the ATUG home page, www.atug.com.au
Other views are being considered, for example, Telstra’s
Chairman
| |
“ The
debate about Australia’s telecommunications policy
is intense and hard fought. That is as it should be – these
are vital issues. They merit and deserve careful scrutiny.
But that scrutiny will not serve its purpose if it is built
on deceptions, misconceptions and half-truths, rather than
on credible evidence, reputable analysis and widely-shared
truths. It is time to get serious. It is time for
principled decision-making that is based on facts and data
from Australia
and around the world…..
But what
about “separation lite”, of the kind being attempted
in the UK and New Zealand? Isn’t that the model we
in Australia should adopt, as it allows the network operator
to retain the efficiency of vertical integration while providing
safeguards for competitors?......” |
|
ATUG agrees with the need for the need for facts and data so we
asked our colleagues in UK and NZ for their reaction to the speech,
from a User Group perspective.
Telstra Chairman’s
speech
| |
“Looked
at carefully, the arrangements imposed on BT make very little
sense: they combine the insight of Jim Hacker with the clarity
and directness of Sir Humphrey Appleby GCB, MVO, MA (Oxon)
of “Yes Minister” fame. They undermine the efficiencies
of integration without any obvious, corresponding gain. Moreover,
they are designed around the existing generation of wholesale
services and cannot be readily adapted to the next. And even
then, they provide access seekers with fewer and less effective
safeguards than we in Australia have long had in place”. |
|
CMA
UK:
| |
The “obvious,
corresponding gain” is in a thriving, largely deregulated
retail market and effectively policed equality of access to
the Openreach network and BT’s wholesale products and
services for ISPs. From the user point of view, “we’ve
never had it so good” in terms of better choice, higher
quality and lower prices. The claim that “they (ie: the
arrangements imposed on BT) are designed around the existing
generation of wholesale services” is only partially true
and his next assertion: “and cannot be readily adapted
to the next” is just not so. In very simple terms, BT’s
formal, legally enforceable undertakings to Ofcom are intended
to be a long term fix to the competitive problems in telecoms
markets, not a short term measure. Take a look at http://www.ofcom.org.uk/telecoms/btundertakings/
Sure, things here aren’t perfect, but they’re a damn sight better
than they were before functional separation (FS). There is solid evidence that
neither investment nor innovation has suffered as a result of FS, and the overall
size of the comms market in UK is growing. Do we have a beef? Yes – we
need the sort of resourceful, inventive, dynamic approach to universal broadband
that Australia has. Then we can crow again! |
|
Telstra Chairman:
| |
“Obviously,
being the UK, the “good chaps” who designed and
implemented the policies, and their advisers, could not be
said to be at fault, nor bear the shame of failure; rather,
it was BT that paid the price, with costly requirements being
imposed upon it to separate parts of its wholesale operations
from its retail side. “ |
|
CMA UK:
| |
If
he means that BT has lost its dominant position and is experiencing
the full force of competition, to the benefit of the consumer,
then he’s right! |
|
Telstra Chairman:
| |
The
best that can be said for the New Zealand arrangements is that
they seem destined to be highly transient. In effect, Chorus
will not be required to supply the key access service in the
next generation network, that is, the bitstream service. In
other words, the Chorus arrangement, for all of its huge set
up and operating costs, is not intended to persist in any meaningful
form into the future broadband network. As a result, as Telecom
makes the transition to that network, it is likely that Chorus
will decline into irrelevance, ultimately to disappear. |
|
TUANZ:
| |
Operational
separation of Telecom NZ has won wide acclaim universally in
New Zealand - from users, Telecom's competitors, government,
opposition parties, and Telecom itself. It is seen as the single
most important step forward for competition since privatisation.
This article from the NZ Herald is a fair reflection of the state
of play. All is very good. Click Here |
|
Telstra Chairman:
| |
Indeed,
far from structural separation, the current French and German
approach, like that in the United States, is not to require
third party access to next generation networks, so as to stimulate
genuine facilities-based competition. |
|
WIK Research released on 25 June 2008 outlines the impact of this
approach:
Without regulatory intervention, the degree of replicability of
NGA infrastructure is rather limited.
o Absent regulation, just one second-mover entrant in Germany could
theoretically replicate the incumbent’s FTTC roll-out for 14%
of the
potential customer base at the maximum.
o Replicability of the incumbent’s FTTH network
in France is not
possible without access to sewers (available in specific areas),
infrastructure sharing and regulated access.
The WIK Research
was commissioned by ECTA, The European Competitive Telecommunications
Association, and looked into the business case
for next generation fibre networks. Click Here
“The research covers six major countries (Germany,
France, Spain, Italy, Portugal, Sweden) and combines results from
these with
independent research carried out for regulators, Governments and
the OECD in other countries, which reaches a similar conclusion.
The WIK study demonstrates that, because of substantial economies
of scale, replication of fibre access lines for high speed services
is not economically viable on any widespread basis.
The three key reasons are that incumbents already
own ducts on a nationwide basis; they can make substantial efficiency
savings compared
with their current network structure; and they already have the number
of required subscribers that would pay for the investments simply
by switching customers from their existing lines. In some of the
countries examined, significant viability was found for incumbents
to roll out next generation access networks even with a relatively
conservative return on capital of around 10%, which is commensurate
with returns made on today’s regulated copper access networks.
Incumbents have accepted in principle the concept
of open ducts, but this research clearly shows this is not enough.
Europe needs
open networks and not just open ducts to generate a competitive environment
and to develop an optimal degree of replicability and investment
in a next generation access environment. Dominant firms should construct
their networks from the outset to foresee access. Open networks in
a competitive next generation access environment make good business
sense and incumbents should improve their by business cases pursuing
a positive attitude to infrastructure sharing and access.”
The evidence seems clear to ATUG - the objective of creating an
open access National Broadband Network designed to enable many service
providers to deliver a wide range of services to informed end users
across Australia at affordable prices is the right one.
Despite the widely divergent views pervading industry at the moment,
we believe the Government should establish a new proactive industry
facilitator to ensure the timely roll out of the new infrastructure
in a co-operative way. ATUG’s model is NBN Australia.
If the projected benefits of broadband services are to be shared
across the nation, the Government needs to adopt a direct approach
to the rapid development of the Broadband Industry. Australia needs
an industry structure that supports innovation and competition. The
light-touch, industry self regulation approach of the past has clearly
failed to deliver advanced broadband services to Australia and will
not deliver the NBN.
The Government needs to press ahead with its proactive approach
to the development of the National Broadband Network, and the broadband
Services to be carried by the network, so that end users can enjoy
the opportunities offered by innovative broadband services as quickly
as possible.
ATUG will be
taking this message to regions across Australia as the 2008 ATUG
Regional Roadshow starts in Orange, NSW this week. Click
Here
** Details
for coming events will be forwarded via normal notice/event channels.
***This email has
been sent from: Lauren
McGinley, Australian Telecommunications Users
Group, Suite 506, Level 5, 815 Pacific HWY Chatswood
NSW 2067 |
|
|
|
|
|
|
|
As
part of the services to its membership, ATUG e-mails members
of informed developments in the industry & forthcoming
events, which may be of interest to you.
If at any time you no longer wish to receive these e-mails, please Click
Here to unsubscribe.
|
|