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Title: Phoenix%20Center%20Conference


1
Phoenix Center Conference
  • Robert Willig
  • October 1, 2004

2
Agenda (i)
  • In these times of telecom revolution, weve got
    to get it right.
  • Last mile is still bottleneck maybe not for
    very long, but still.
  • Special access shows major monopoly power, and is
    bottleneck too evidence from natural
    experiment.
  • Overarching competitive problem of access

3
Agenda (ii)
  • Access as competitive problem is not unique, and
    recognition is bipartisan.
  • Anticompetitive incentives opportunities.
  • Forms of predation are not unlikely here.
  • Unbundling _at_ TELRIC good solution to save
    intramodal competition.
  • TELRIC concept is the competitive price

4
Agenda (iii)
  • Unbundling _at_ TELRIC does not depress investment.
  • No inconsistency in policy between saving
    intramodal competition and fostering telecom
    revolution with its possible intermodal
    competition.
  • Fostering competition needs fast commitment to
    change in inter-carrier compensation for
    competitive neutrality, reduction of regulatory
    risk and efficiency.

5
Gotta Get It Right
  • Set the policy structure so that the right, but
    highly unpredictable, decisions are made by real
    competition in the markets that link consumer
    wannas with technological possibles.
  • Dont, as policy officials, aspire to decide on
    what should be user prices, services and supply
    technologies.
  • Particularly crucial when, as now, whats at
    stake includes where telecom is going, what roles
    will it play in society, and what substantial
    facilities investments will be made.

6
Still Last Mile Bottleneck?
  • How ready will public be to switch from wireline
    voice to VOIP in sufficient to control loop
    pricing in 2 years? 4 years?
  • How ready will public be to switch from wireline
    voice to cellular in sufficient to control loop
    pricing in 2 years? 4 years?
  • How independent of ILEC local services will be
    non-ILEC affiliated cellular carriers if they are
    a principal source of competition?
  • What are the odds that deregulation will be in
    the pubic interest in 2 years?
  • Lets get policy right for either unpredictable
    possibility!

7
Monopoly Power Over Special Access
  • Structural analysis shares and entry barriers
    make market power clear for most of market.
    ILECs have 90 --- Scale economies and sunk
    costs here make substantial entry barriers.
    Absolute cost disadvantages substantial too.
  • Natural experiment of FCC Pricing Flexibility
    Order Phase II rate freedom for about 50 MSAs
    where triggers are met (based on wire centers
    with colocation, as proxy for SA entry
    possibilities) no rate declines and 10 35
    continuing rate increases relative to where still
    caps. (over 5 billion overall) Meanwhile, book
    and forward looking costs steadily down since
    1995. SA rates 200 -- 400 of TELRIC and way
    above historic costs. Substantial market power
    revealed!
  • Special access is bottleneck for business
    services over 90 of buildings served by IXCs
    have only ILEC fiber access -- entry barriers.

8
Why Public Utility Regulation?The Three Leg Test
  • 1. Natural Monopoly in relevant market
  • two options cost too much
  • 2. High barriers to entry
  • sunk costs and scale economies together deter any
    entry
  • 3. Sufficient demand for significant monopoly
    profit or rent
  • Competition cannot work
  • Private supply best nevertheless
  • Regulate to mimic competition

9
Bottleneck
BI
A
a
Competition stage
Pe
Pi
DI
De
V
ci
ce
Consumer market
Telecom Electricity Railroads Gas and Oil
Pipelines
CATV Airport Rights CRS IP
ATMs Copy Machine Parts OS and Applics Pubs and
Beer
Rockets and Satellites Main Frame
Parts Physicians and Labs Automobile Radios
10
Anticompetitive Vertical Practices
  • Bottleneck is opportunity
  • Incentives? versus one-lump theory.
  • Regulation gives incentives inadvertently
  • Price discrimination
  • Diminution of competition in non-coincident
    markets
  • Removal of competitive constraint on bottleneck

11
Predation
  • Use of bottleneck to enlarge monopoly power is a
    form of predation, or exclusionary vertical
    conduct. Not garden variety price predation.
  • Hallmarks are market power upstream, causation of
    increase in market power by making competition
    from active and potential rivals ineffective and
    intent as revealed by conduct.
  • Sacrifice test would conduct make sense for
    bottleneck holder but for the harm to
    competition?
  • Vertical anticompetitive price squeeze can well
    be such a form of predation. (eg access price
    above downstream retail price, or leaving too
    little pricing room for efficient rival)

12
Policies to Consider
  • Vertical separation Bell, Electrics,
    pipelines, MS? Intuit, Rocket-Sat., Merger---
  • Change Regulatory Mechanism US RRs prices
    CAPs and freezes
  • Mandate Equal Access ONA, unbundling
  • AT WHAT PRICES??
  • Cost-based Regulation of Access Prices US
    Telecom Policy Act of 1996
  • Reactive Regulation of Access Prices Antitrust
    litigation US RRs WHAT STANDARDS??

13
Bottleneck Access Prices for Efficient and Fair
Competition
  • should permit efficient suppliers to prevail
    in the market while discouraging inefficient
    supply
  • incumbents and entrants should pay the same
    price for the same bottleneck service (if costs
    are unequal then parity of mark-ups)

14
Revenues from Bottom-Up Economic Costs Approach
May Be Less Than Regulatory Rev. Requirements
DUE TO
  • Common and fixed costs
  • regulatory burdens
  • inadequate depreciation
  • inefficiencies in operations
  • overearnings
  • imprudent investments
  • cross-subsidies from regulated to non-regulated
    activities
  • ____________________________________________
  • Competitively neutral (externalized) solutions or
  • Top-Down Approach

15
Cost Concepts for Competitive Prices
  • Long run costs like TELRIC are forward
    looking from today, cost minimizing, and
    unconstrained by the firms past investment
    decisions.
  • Short run (and medium run) costs are still
    cost-minimizing looking forward from today, but
    unlike long run costs reflect a planning period
    in which investments in long-lived assets
    inherited from the past remain sunk.

16
  • Short run costs include all forward-looking new
    expenditures needed during the planning period.
  • They also might include capital costs on the
    inherited sunk assets themselves.
  • Economists have identified three alternative
    approaches to the valuation of the sunk assets
    with corresponding costs.

17
One Approach No Value for Sunk Assets with No
Opportunity Costs
  • Since the investment is sunk, there is no
    opportunity cost of using it. (That is, if you
    decide not to use the assets, no costs of their
    financing are thereby saved or avoided likewise,
    if you decide to use them, there are no
    additional such costs that result.)
  • Short run costs, so defined, are necessarily
    equal to or less than long run costs.
  • This follows because in the short run scenario,
    one way to produce the same outputs would be to
    ignore the sunk assets and buy all inputs fresh.
    Hence, if the owner of the sunk assets elects to
    continue using them (as incumbent carriers
    typically do), doing so must be as cheap as, or
    cheaper than, starting fresh.

18
The Reproduction Cost Approach
  • The reproduction cost approach values sunk assets
    according to book with physical-life based
    depreciation.
  • If the enterprise unconstrained by any sunk
    assets would efficiently choose exactly the same
    assets that had been chosen historically, then
    SRC LRC.
  • If intervening technological progress and other
    changes in economic circumstances would change
    those choices, then the appraised value of those
    sunk assets is less than their reproduction cost.
    So a measure of short run cost that includes
    their reproduction cost is systematically biased
    upward.
  • That is why this approach violates economic
    logic.

19
Economic Valuation of Sunk Assets
  • The economic approach would assign costs to the
    inherited sunk assets according to their
    appraised value.
  • The appraised value of the assets is the savings
    their use would permit an enterprise in the
    business, as compared to not using the assets and
    starting fresh.
  • If the sunk assets were not used at all, the
    enterprise would incur long run costs.
  • Since the appraised value makes the enterprise
    indifferent between using the sunk assets or not,
    this standard leaves the enterprise with SRC
    LRC.
  • So TELRIC yields calculated costs that are the
    short run or real costs based on economic
    valuation of sunk assets!!!!

20
example
  • Book cost of old sunk assets is 1.0/year
  • Forward costs of using the old with efficient
    additions is .5/year
  • Costs of same services from new efficient
    facilities is 1.25/year.
  • Appraiser would revalue old sunk assets to have
    cost of capital of .75.
  • Competitive price is 1.25/year and smart
    supplier uses old assets this way.

21
This Profound Fact Has Been Known Since at Least
1970!!!
  • "If the economic value were correctly stated on
    the books the addition of gross return on that
    net book value to the variable costs of operating
    the old plant would produce a cost of service
    exactly equal to that of a new plant." 
  •       Alfred Kahn, Economics of Regulation, page
    121 (1970). 

22
Pricing Based on such Costs is Compensatory
  • Current prices are based on current efficient
    costs with efficient long-run choices of assets.
  • The expected decline from original value to
    current value of sunk assets is included in
    economic depreciation, and thus in prices.
  • The chances that actual declines in value will
    deviate from the expected are risk factors in the
    cost of capital.
  • This is all so in competitive pricing and in
    efficient pricing based on economic costs.

23
TELRIC Dominates
  • TELRIC is a superior regulatory approach
  • Minimizes misincentives to over spend and
    cross-subsidze
  • Historic cost and real cost methods produce
    sharp misincentives that are costly for consumers
    and anticompetitive.

24
Telecommunications Act of 1996 and
Infrastructure Investment Empirical Evidence
Robert Willig Princeton University
William Lehr MIT
John Bigelow Princeton Economics Group
Stephen Levinson ATT (formerly)
25
Does TA96 unbundling reduce ILEC incentives to
invest?
  • Investment Deterrence Hypothesis
  • TA96 unbundling reduces ILEC investment
  • Denies ILEC opportunity for fair return on
    investment
  • Encourages CLEC free-riding on ILEC
    infrastructure
  • Competitive Stimulus Hypothesis
  • TA96 unbundling enable foster CLEC
    competition
  • Competition drives innovation, lowers prices,
  • and expands markets
  • ILEC and CLEC investment increases

26
Key Issue -- Since TA96 Unbundling So Important
to Competition
  • Local facilities still largely natural
    monopolies.
  • ILECs still protected by substantial entry
    barriers
  • Cable still far from competitive in telephony and
    business broadband .. DBS also.
  • So unbundling only way to foster competition in
    services that utilize local plant, and in
    subsequent facilities deployment.
  • Access to UNEs at TELRIC prices could be salient
    force for movements to competitively efficient
    pricing, along with competitively neutral
    measures for public purposes.

27
United States Telecom Association, et al. v.
Federal Communications Commission and United
States of America
There are plainly two sides to the effects on
investment of ubiquitously available UNEs at
Commission-mandated prices. . . . The question is
how such investment compares with what would have
occurred in the absence of the prospect of
unbundling, . . ., an issue on which the record
appears silent. Although we cant expect the
Commission to offer a precise assessment of
disincentive effects (a lack of multiple
regression analyses is not ipso facto arbitrary
and capricious) we can expect at least some
confrontation of the issue and some effort to
make reasonable trade-offs. . . .
28
Economic Logic Supports the Competitive Stimulus
Hypothesis Over the Investment Deterrence
Hypothesis
  • Under TELRIC principles, UNE rates give ILECs
    adequate incentives to invest since they cover
    risks and economic depreciation.
  • CLECs paying such compensatory UNE rates are not
    free-riders whose anticipation deters
    investment by the ILECs.

29
  • UNEs can allow a CLEC to overcome entry barriers
    to build a customer base and then transition to
    its own facilities.
  • CLECs have strong reasons to invest in their own
    facilities to avoid dependence on their rival
    ILECs once they have the scale.
  • Such competitive threats give ILECs added
    incentive to improve their networks in order to
    avoid losing customers to new entrants.

30
Principal Empirical Questions
  • What is the relationship between pricing of
    UNEs and investment in network infrastructure by
    ILECs?
  • Investment Deterrence Hypothesis Positive
  • High UNE prices discourage utilization by
    CLECs.
  • Less utilization by CLECs encourages ILEC
    investment.
  • Competitive Stimulus Hypothesis Negative
  • High UNE prices discourage entry by CLECs.
  • Reduced competition attenuates ILEC incentives
    to invest.
  • ANSWER The estimated relationship is negative.

31
More Principal Empirical Questions
  • Do the data support the mechanism of the
    competitive stimulus hypothesis?
  • Is there a negative relationship so that
    lower UNE prices encourage CLEC activity?
  • Is there a positive relationship between CLEC
    activity as a driver of ILEC investment?
  • ANSWER YES YES -- Together these effects
    show how lower UNE prices stimulate ILEC
    investment.

32
Structural Form Equations
33
Reduced Form Equation
34
Data
  • Investment Data
  • ILECs FCC ARMIS reporting system
  • State by state
  • Largest ILECs (BOCs)
  • CLECs Generally not available
  • Many CLECs privately held.
  • Many are part of larger entities, and
    investment in telecom network infrastructure is
    not consistently reported in sufficiently
    disaggregated form.
  • Measures of CLEC activity are available
  • Number of firms active by state.
  • Counts of Zip Codes within states with CLEC
    service.

35
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36
  • Exhibit 1 shows ILEC investment has negative and
    statistically significant relationship with UNE
    price.
  • Reduced form relationship accounts for over 77
    of state to state variation in ILEC investment.
  • ILEC investment increases with Labor Force share
    in FIRE, Population Growth, Average Revenue
  • ILEC investment decreases with TELRIC

37
  • Exhibit 2 shows Relationship between number of
    CLECs and UNE price is negative and statistically
    significant. Relationship between ILEC investment
    and number of CLECs is positive and statistically
    significant.
  • Approximately 75 of variation in ILEC investment
    explained, and 45 of variation in number of
    CLECs.
  • Both relationships are statistically
    significant overall at a high confidence level.
  • ILEC investment increases with Population
    Growth and Average Revenue, and decreases with
    TELRIC
  • Relationship between number of CLECs and TSR
    Discount is positive and statistically
    significant at 90.

38
  • So policies to assure competitive access to
    bottlenecks at competitive prices are
  • helpful, not dangerous to investment
  • likely necessary for consumer protection.
  • What do we need to prepare for fuller
    competition?
  • Reform intercarrier compensation

39
Intercarrier Compensation
  • Contributions to universal service funding must
    be competitively neutral.
  • What should be equivalence scale???
  • Opportunities for receipt of universal service
    support must be competitively neutral -- who is
    an ETC? targeting?
  • Terminating access fees should be curtailed
    even if monopoly power over local customers
    erodes with intermodal competition, terminating
    access still has much more monopoly power payer
    has less control than called
  • Do-not-call list, caller id, call duration,
    calling relationships all move cost causation
    toward called party.
  • Most costs at originating and terminating ends
    not volume sensitive. MOVE TO MORE COMPLETE SLC!
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