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Presentacin para el BID

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Title: Presentacin para el BID


1
TELECOMMUNICATIONS REFORM IN PERU IMPACT OF
SECTOR REFORM ON COMPETITION
Competition Policy On Infrastructure
Services Geoffrey Cannock José Escaffi Presentati
on prepared for the Interamerican Development Bank
Washington D.C., April 23, 2001
www.apoyo.com
2
Outline
  • Transition process in the Peruvian
    telecommunications sector
  • From monopoly to competition.
  • Main results of the opening process
  • Market performance In which markets did the
    reforms work better? Which markets need more
    progress? What are the main concerns?
  • Focus Fixed local telephony and long distance
    telephony
  • Lessons learned
  • Regulatory and competition policies
  • Institutional framework
  • Conclusions

3
  • Transition process in the Peruvian
    Telecommunications sector
  • Market performance
  • Lessons learned
  • Conclusions

2
4
Gradual opening process
?
?
?
PRIVATIZATION
OPEN MARKET
MONOPOLY PERIOD
  • Digital trunking
  • Internet access through cable TV
  • ADSL
  • PCS
  • FWA
  • LMDS
  • Digital cellular

New technologies
ATT (FirstCom), Comsat, Gilat to Home, Nextel
Telecom Italia, Impsat, Diveo, GlobalStar,
Millicom
Main players
BellSouth
Telefonica
1991
1993
1994
1999
1997
1995
1996
1998
2000
Telecoms Law
Creation of regulator OSIPTEL
Privatization of CPT and Entel 1/
Merger of CPT and Entel
Early opening of the market
Long distance competition actually starts
Massive shareholder program
Law on OSIPTELs enforcement powers
  • 5-year monopoly in local and long distance
    telephony
  • Network expansion lines
  • Better quality of service
  • Tariff rebalancing program
  • Descentralization
  • Concessions supervision

1/ CPT Local telephony in the capital city
Entel Local telephony in the rest of the country
and of long distance services
5
Institutional Framework
Osiptel (Organismo Supervisor de la Inversión
Privada en Telecomunicaciones) Regulation Ex -
post competition in Telecommunications
Indecopi (Instituto Nacional de Defensa de la
Competencia y la Propiedad Intelectual) Competitio
n Agency
Ministerio de Transportes y Comunicaciones Concess
ions and spectrum allocation
6
Results (1)
Despite the opening of the market, there have
only been slight changes in the revenue structure
and in the total market share of the telecom
operators.
PERUVIAN TELECOMMUNICATIONS MARKET
Revenue structure
1998
2000
Operators market share
The business lines which have been competitive
markets are more important in terms of revenues.
7
Results (2)
More than two years after the opening of the
market, there are still services and regions
which need to achieve more progress to become a
competitive segment.
More competitive ()
Less competitive (-)
8
Results (3)
Most reductions in retail prices of fixed telecom
services have been a one - time price - cap
decrease instead of being incentivated by
competition. However, there are lower rates
mainly for the corporate sector.
9
  • Transition process in the Peruvian
    Telecommunications sector
  • Market performance
  • Lessons learned
  • Conclusions

8
10
Competition in telecom markets
More competitive ()
Less competitive (-)
  • Outgoing ILD (Lima)
  • Dial up Internet services
  • Internet leased lines (Lima)
  • Local leased circuits (Lima)
  • Mobile telephony (Lima)
  • Incoming ILD
  • Fixed local telephony
  • DLD leased circuits
  • All services outside Lima (except O -ILD and
    mobile telephony)
  • DLD
  • Outgoing ILD (provinces)
  • Mobile telephony (provinces)

11
  • Transition process in the Peruvian
    Telecommunications sector
  • Market performance
  • Most competitive
  • Least competitive
  • Lessons learned
  • Conclusions

10
12
Local leased circuits
The leased circuits market is one of the most
competitive, due to
  • Important infrastructure service providers
    competing in Lima Telefónica, ATT Latin
    America, BellSouth, Comsat, IMPSAT, Diveo, GTH.
  • Competitive service offers with different
    technologies optical fiber, wireless (through
    LMDS), CDPD wireless, etc.
  • Quick concession process
  • Not subject to exclusivity period (I.e. ATTs
    optical fiber ring)
  • Network concentration on corporate areas of Lima.
  • Expected high market growth.
  • Osiptel enforced very closely leased circuits
    rules.

-31
250
UK, EU Average
but there is still more room for price reduction
13
Incoming ILD
Another highly competitive sector is the incoming
ILD market.
  • Main reasons why this is a competitive market
  • The market price was completely out of line due
    to bilateral monopoly agreements.
  • Quite open concession policy 50 new entrants
  • The regulation allowed prices to go down near
    marginal cost.
  • Very easy entrance investment requirements are
    relatively low.
  • Hit - and - run inefficient entrance?

Source Osiptel, 2000
14
Mobile Telephony
MOBILE MARKET IN PERU
  • Competition is becoming more aggressive mainly,
    on mobile originated calls, but not yet on fixed
    mobile.
  • Main drivers
  • CPP and prepaid cards
  • Nextel (1999) and Telecom Italia Mobiles (2001)
    entrances to the market.
  • New products, services (mobile Internet and
    data), and promotional packages for all mobile
    users.
  • ARPU Mobile ? ARPU fixed ? Benefits
    residential customers.

US387 million 0,8 million users
US358 millions 1,3 million users
15
  • Transition process in the Peruvian
    Telecommunications sector
  • Market performance
  • Most competitive
  • Least competitive
  • Lessons learned
  • Conclusions

14
16
Fixed local telephony Infrastructure
The only firm having full Lima and rest of Peru
coverage is still Telefónica.
FACILITY - OWNED INFRASTRUCTURE (2000)
17
Fixed local telephony Teledensity (1)
Teledensity in Perú is still one of the lowest of
the region.
PPP GDP PER CAPITA VS TOTAL TELEDENSITY
Uruguay
Brazil
Chile
Venezuela
Panamá
Argentina
Total teledensity
Colombia
El Salvador
México
Ecuador
Bolivia
Dom. Rep.
Perú
Guatemala
Honduras
Nicaragua
PPP GDP per capita (US)
Source ITU, regulators, World Bank
18
Fixed local telephony Teledensity (2)
Fixed teledensity has shown poor performance in
the past four years
MOBILE
CAGR (1994-2000) 61
CAGR (1994 -1997) 82 CAGR (1998 -2000) 20
FIXED
CAGR (1994-2000) 12
CAGR (1994 -1997) 21 CAGR (1998 -2000) 4
19
Fixed local telephony Teledensity (3)
One of the reasons of the decrease in size of the
telecom market has been the reduction of the
Peruvian market.
20
Fixed local telephony Teledensity (4)
  • Lima concentrates
  • 51 of total GDP
  • 30 of the population
  • 80 of private investments
  • 75 of factories

21
Fixed local telephony Teledensity (5)
There is a disparity between urban and rural
penetration.
  • Lima concentrates
  • 66 of fixed telephony lines.
  • 79 of local fixed traffic

22
Fixed local telephony Competition Policies
COMPETITION POLICY INSTRUMENTS
  • WLL spectrum auctions (however, slow process, not
    deployed yet)
  • Definition of fixed interconnection charges from
    2,90in 1998 to 1,68 in 2000 (it will reach
    0,96 in 2002)
  • Rate policy
  • Rebalanced tariffs
  • However, one price policy across Peru for all
    services
  • Concession requirements 10 of the incumbents
    lines 5 of those outside Lima in each local
    area.
  • Pending Estimation of the productivity factor.

Anyhow, these policy - based restrictions are
expected to be lifted in the near future
23
Fixed local telephony Benchmark
However, local loop appears to be mostly a market
dominated by incumbents.
  • It seems that economies of scale are still
    relevant
  • Is vertical integration regulation (merger
    controls and limits on crossover services) needed?

LOCAL TELEPHONY IN OTHER COUNTRIES (2000)
Mainly, cable operators
Opened 1998
1980s
1990s
1996
24
Payphones
However, payphones may be considered a substitute
for fixed telephony for lower income groups
Payphones penetration is above the average of the
region.
CAGR (1994-2000) 31
CAGR (1994 -1997) 30 CAGR (1998 -2000) 20
25
Outgoing International Long Distance
  • Delayed start 15 months after early opening of
    the market
  • Reasons why competition is starting slowly
  • Build - out requirements
  • Multicarrier design Call by call after two
    years.
  • Billing is not yet an essential facility
  • Agreement on who should bear costs of the
    multicarrier facilities and the concessions
    granting process
  • Problems among parties to negotiate
    interconnection contracts
  • The entrants own starting delays.
  • However, decreasing prices (up to 40 less than
    Telefónica for corporate customers), increasing
    service offers (such as prepaid cards).

OUTGOING ILD MARKET
Source Apoyo Consultoría S.A.
26
Domestic Long Distance
DLD MARKET IN PERU
  • Competition in this segment is just beginning
    only three operators besides Telefónica (ATT,
    BellSouth, and Perusat).
  • Alternative offers are concentrated mainly in
    Lima. Outside the capital city, the only service
    provider is Telefónica.
  • Provinces are not attractive to entrants due to
    low income level, small market size, and
    expensive DLD leased circuits and DLD
    interconnection.
  • The provision of services of all entrants is
    focused on the same regions.

US130 million
US93 million
Source Osiptel
27
  • Transition process in the Peruvian
    Telecommunications sector
  • Market performance
  • Lessons learned
  • Conclusions

26
28
Assessment of the process
A qualitative assessment of the main policy
instruments and institutions presents mixed
results.
COMPETITION POLICY INSTRUMENTS RESULTS
Focus
()
Implementation
?
?
Incoming ILD rates
Concessions
?
?
?
Institutional framework
?
Competition law and institutions
Rebalanced price caps for local telephony
Universal Access
?
Interconnection (2000)
?
?
?
Build - out requirements
?
Spectrum auctions
Preselection
Resale
?
Interconnection (1998)
Productivity factor
?
(-)
()
?
Helped promote competition
Number portability
(-)
29
Interconnection (1)
The interconnection process had a well designed
legal and regulatory framework however, in
practice, there were additional problems which
delayed the agreements.
  • Main design principle Negotiated agreements
    between parties under general and economic
    principles.
  • It was felt that, applying the "Pareto principle"
    (i.e. just fixing the call termination rate on
    the fixed network and the interconnection points)
    will solve most of the interconnection problems
    among firms.
  • However, parties did not reach agreements due to
    opportunistic games.
  • Interconnection Rules given in 1998.
  • Osiptel issued detailed interconnection orders in
    1999, which were quite demanding complementary
    interconnection rules, cost disaggregation of
    network elements, conflict resolution rules and
    regulations, etc.

30
Interconnection (2)
Should a more detailed interconnection framework
have been more convenient?
  • It It might have helped, but probably not much
    since it is too hard to envision all possible
    disagreements due to parties opportunistic
    behavior.
  • The most effective decision against opportunistic
    behavior was to allow high-capacity corporate
    lines to be used for interconnection purposes
    without having an interconnection agreement.
  • Hence, it is important to have quick regulatory
    response to cover the loopholes enforcement
    powers to make things happen, specially regarding
    technical boycotts transparency in setting up
    the interconnection charges and an active
    license program.

31
Interconnection (3)
  • Lessons learned
  • The unexpected number of new entrants asking for
    interconnection at the same time and the
    incumbents expected delaying behavior stressed
    the regulators management resources. This could
    be avoided by
  • Issuing resale rules beforehand
  • Issuing a standard interconnection contract
  • Allowing interim interconnection mechanisms
  • Updating the interconnection rule
  • Regulatory agenda
  • Essential facilities redefinition. Additional
    unbundling local loop, rights of way, billing.
  • Long distance carriers access through payphones
    and wireless handsets
  • Simplify procedures
  • Update interconnection charges
  • Only regulate firms with a dominant market
    position

32
Institutional framework Market opening
No rules were envisaged other than just open the
market to competition.
  • Multicarrier access to incumbents local loop
    facilities
  • Licensing policies schedule, procedures,requireme
    nts
  • Spectrum policy, availability, procedures, and
    schedule
  • Who will pay for the incumbents CAPEX due to new
    entrants
  • Productivity factor
  • Size of the local area
  • Detailed interconnection rules
  • Asymmetric regulation regarding build - out
    requirements, price caps, and QoS

33
Institutional framework Competition (1)
Osiptel is empowered to solve competition cases
among telecommunications operators.
  • An Administrative Court - type body looks at
    competition conflicts, and also regulatory
    conflicts (i.e. Interconnection), once there is a
    formal relationship between the parties through a
    contract or a particular administrative order.
    Its decisions may be appealed to a 5 - member
    Permanent Administrative Court.
  • Regulatory conflicts between parties about
    reaching an interconnection agreement (i.e.,
    without a formal relationship) are looked by a
    Technical Committee from Osiptel staff lead by
    the General Manager. In case of disagreement, the
    parties may appeal to Osiptels Board of
    Directors.
  • Other regulatory conflicts are treated through
    the typical regulatory decision making process,
    where parties interact with Osiptel through
    representations, both public and private.

34
Institutional framework Competition (2)
REGULATORY/COMPETITION CONFLICT SOLVING PROCESSES
Regulatory conflict (ie. ex - ante
interconnection)
Regulatory or competition conflict (ex - post)
Administrative Ad - Hoc External Court 3 - 5
members
General Manager
Appeal?
Appeal?
No
No
Yes
Yes
Osiptels Permanent Administrative Court
Board of Directors
Appeal?
Appeal?
No
No
Yes
Yes
Judiciary
35
Institutional framework Competition (3)
Relation between Competition and Regulatory
Agencies on a Transition Industry
  • Demand for both regulation and anticompetitive
    cases increases quite dramatically after opening
    the market
  • 1. Interconnection orders approved
    agreements ballooned from 3 up to 57.
  • 2. Annual average competition cases on Osiptel
    increased from 2 to 5,3. Indecopi
    received an average of 7 during the same period.
  • By far, most of the conflicts during the opening
    of the market are regulatory.
  • Cases seen by the Administrative Court were
    evenly split between regulatory and competition
    ones.
  • A good deal of regulatory and competition cases
    seen by Administrative Courts should be better
    dealt within the general regulatory decision
    making process. However, firms activate the AC
    route to press for timely decisions (Ultimately,
    that tends to activate a general regulatory
    response i.e. IP telephony, convergence issues,
    interconnection rates, unregulated network
    elements).

36
Institutional framework Competition (4)
Relation between Competition and Regulatory
Agencies on a Transition Industry (cont.)
  • Hence, we feel that during the transition period,
    it is a good approach that the regulatory
    authority should keep competition policy due to
    its grater regulatory flexibility and to lower
    bureaucractic transaction costs.
  • However, this mandate should be transfered to
    Indecopi within a clear deadline. For instance,
    in the short-run the appeals regarding
    competition cases should go to Indecopis Court
    instead of Osiptels.
  • Starting this year, Osiptel should ask Indecopi
    for its non - binding opinion on competition
    issues.

37
Osiptels institutional assessment
OSIPTEL INSTITUTIONAL ASSESSMENT
()
  • Staff
  • Due process
  • Resources
  • Transparency (except modeling information)
  • Flexibility
  • Autonomy from Government
  • Accountability

Implementation
  • Autonomy from incumbent
  • Modeling information available to public
  • Supervision (2000)
  • Asymmetric information (2000)

(-)
38
Other lessons learned
  • The new role of the State as a regulator is not
    fully understood by high-level decision makers,
    media and users (independency issues, predictable
    rules)

Institutional setting
  • The design of the privatization auction and the
    market structure do matter efficiency gains of
    Telefonicas horizontal and vertical integration
    vs delays of effective competition and
    supervision costs after the monopoly period
  • The ex ante regulation should be scaled down with
    a clear schedule on those issues where the
    incumbent loses market power

Industry structure
  • Gathering information empowerment is critical,
    specially regarding costs. If not, the
    regulators credibility decreases and information
    rents may become significant

Regulatory authority
Market entry
  • A more aggressive plan for issuing available
    radio spectrum would foster competition,
    specially in the wireless and local markets

39
  • Transition process in the Peruvian
    Telecommunications sector
  • Market performance
  • Lessons learned
  • Conclusions

38
40
Conclusions (1)
  • The Peruvian telecommunications market opening
    has been a gradual process.
  • Two years after the early opening, the results
    have been mixed. There are still some services
    and regions which need to achieve more progress
    to become competitive markets.
  • The most benefited segments have been Lima and
    the corporate sector.
  • There are still some pending regulatory issues
    which might help to improve competition in the
    sector.
  • Active ex -ante regulatory measures and an
    appropriate enforcement are critical to foster
    competition in former natural and legal
    monopolies.
  • Competition institutions administrative court -
    type bodies have a role in pointing out ex - ante
    regulatory loopholes.

41
Conclusions (2)
  • During the transition period, it is a good
    approach that the regulatory authority should
    keep competition policy.
  • However, this mandate should be transferred to
    the general competition agency within a clear
    deadline.
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