Title: Fixed-Line Pricing Strategy
1Fixed-Line Pricing Strategy for Basic Telephone
Residential Service
Presented by John Thompson
2Telephone Right or privilege
- Basic Principle
- Voice telecommunications are an essential
privilege to modern society and its critical role
is to promote social inclusion and ultimately,
social cohesion. - EU Directive 2002/22/EC of the European
Parliament and of the Council of 7th March 2002
on universal service and users rights relating
to electronic communications networks and
services). Htt - Two key elements to the realization of these
rights and privileges are - the mechanism for determining eligibility (the
right assistance gets to the right people) and, - the funding required to finance the schemes and
benefits that form the substance of this
assistance. europa.eu.int/
3Telephone Right or privilege
- Subject of Market Forces
- The market forces use price as the lever to
achieve equilibrium between demand and supply - the right price - what consumers are willing
to pay for what they perceive is a satisfactory
service value proposition by the supplier. - My Overall Objective
- to moderate the rights and privileges of the
public with the economic challenges of the market
to arrive at a place where social sensitivity
meets economic expedience. .eu.int/
4Linking Access Costs as Universal Service
Obligation
Access Deficit The shortfall of revenues earned
over costs(capital and operating) incurred in
providing access service. Universal Service
Obligation Provision of essential telecom
services to members of society unable to bear the
full economic cost of such services Australian
Telecom Authority in Net Universal Service Costs
avoidable costs Revenues foregone Where Reven
ues forgone USO Programs operating and capital
costs Cost of Capital Revenues earned on the
services provided And Avoidable costs
inefficient costs that otherwise, would not be
incurred. Â Dr Kim Jackson, Analysis and Policy
Social Policy Group. The Telecommunications USO.
Parliament of Australia, Parliamentary Library
http//www.aph.gov.au/library t/
5Linking Access Costs as Universal Service
Obligation
- In the UK, an additional component to the USO
equation is - Â
- Externalities - The future benefits that will
accrue to operators due to the build out of
networks - Existing customers gain by having additional
contacts available on the network - Operators gain by having additional customers who
may become profitable in future - The economic growth generated by increased access
to telecommunications will generate additional
traffic and revenues for operators in future. - Robert Hall New Priorities for Universal
service
6Linking Access Costs as Universal Service
Obligation
- Synthesis of Access Deficit with USO
- USO simply cannot be seen as a subsidy for
network build out but must also concern itself
with on going maintenance and operating costs. - Incongruence between the access deficit and USO
may be that the access deficit applies to the
entire access network, whether it is deployed in
profitable or non-profitable areas. - While USO is deemed applicable or, justifiable
only to access in seemingly unprofitable areas,
the access subsidy applies across the board to
all subscribers. - Should access subsidy only apply to specific
situations and hence specific subscribers thereby
bringing into conformance with USO standards?
7Linking Access Costs as Universal Service
Obligation
- Synthesis of Access Deficit with USO
- Devise a process to claw back this subsidy from
ineligible subscribers using an explicit charge,
levied based on - income group,
- geographic location and
- USO eligibility.
- This process not only establishes equity between
the rich and poor but places full costs on those
who are most able to bear them. Thus ending, for
these subscribers, what was an unwarranted or
indefensible State subsidy?
8The Case for an Alternate Pricing Strategy
- Need to revive and sustain the business viability
of the fixed line network and its products and
services. - a plausible value proposition (affordable price
and reliable quality) will consider it a
substitute satisfaction for the values of other
choices(though disimilar) - astute pricing of fixed line services can render
them an attractive alternative to mobile
services. - Currently, mobile prices are motivated by
competition between mobile providers, does not
consider the pricing initiatives of the fixed
line as a threat. - Introduction of the Next Generation Networks
(NGN) for fixed lines poses several opportunities
for increasing the suite of fixed line service
offerings with many mobile-like services, (e.g..
virtual roaming, instant messaging, virtual
private networking etc. - For NGN services, a flat rate charging
policy-allowing subscribers the use of a suite of
services whenever they choose, can be a winning
value proposition.
9Pricing Payment Philosophy
- Tariff Structure for Flat Rate
- The mean historical usage of subscribers (taken
over the last twelve months) will then be sorted
into groups representing various mean usage
ranges. - The usage data is processed periodically to
compute a mean usage range for each subscriber. - The mean usage volume will be used as the
criterion for assigning subscribers to tariff
classes.
10Pricing Payment Philosophy
- Tariff Structure for Flat Rate
- On going observation of subscribersmean usage
pattern to determine if it falls into their
general tariff class or whether they be placed
into a higher or lower usage-volume tariff class.
- These observations will provide information for
reclassification of such subscribers, to groups
with usage ranges that statistically represent
these emerging usage patterns.
11 Modeling the Method
- The Access and Core Networks are converted to
component costs. - These component costs are allocated to the
weighted average of basic telephone calls (inter
and intra exchange calls and international calls
usage of the domestic network). - The costs of retailing and other are also
allocated to the basic services. - An average service cost per minute based on the
weighted average of routing and traffic volumes
is computed. - The total per minute cost of 62 cents is applied
to a Class 1 usage of 500 minutes per month or,
6000 minutes per annum. - A total Class1 full cost of 3743.00 is used as
the base for applying the allowances according to
Income group, geographic location and USO
eligibility. (See, Examples 1 and - The net cost after allowances represents the cost
recoverable by a monthly flat rate charge. - The overall impact of the allowance on the access
cost is represented in Tables 1,2, and 3 and the
net cost of the overall USO funding is shown in
Example 3
12Costing of Access Network for Residential
Telephone
13Costing of Core Network for Residential Network
14Costing of Retail Other Costs for
Residential Telephone
15Drivers of Costs for Residential Telephone
16Drivers of Costs for Residential Telephone
17Drivers of Costs for Residential Telephone
18Cost per Minute for Access, Core, Retail Other
Residential Telephone
19Using the Full Economic Cost of Class 1
Subscribers
20Using the Full Economic Cost of Class 1
Subscribers
21Overview of Impact on Access Costs
Table 1
22Overview of Impact on Access Costs
Table 2
23Overview of Impact on Access Costs
Table 3
24Overview of Impact on Access Costs Summary
25 Prepaid Method of Payment for Residential
Telephone
- A variety of options exist for purchasing prepaid
usage. - A flat rate per month, which allows unlimited
intra and inter exchange /access areas calling,
is preferred, - A prepaid card or credit card will supply the
means of payment for monthly fixed line service. - This flat rate will account for both access and
usage. - Another medium could be a scratch card to be
purchased at various retail outlets around the
country.
26The privilege of unlimited calling allowed to
each subscriber needs to be contingently guarded
- There are two aspects where unlimited calling
must be checked - Â
- Where changing circumstances bring about a shift
in a subscriber s usage pattern (family crisis
or, emergency) resulting in an upward movement in
minutes per month. The unlimited calling makes
this usage shift seamless and convenient to the
subscriber. - Where abuse is made of the service (e.g.
pensioners phone being abused by unsuspected
relatives) - unlimited calling privilege puts no ceiling on
the value of calls from any phone. - As a guard against excessive calling outside of a
subscribers assigned usage range, a bad debt
contingency allowance can be included as a
recoverable cost in the service costing. - A three percent (3)of annual revenues provision
can be included to offset usage abuse. - In the event the excess usage does not warrant
use of the provision, it can be ploughed back as
a reduction to the subsequent revenue requirement
from the residential service.
27 Channels of Prepayment
- Over-the-counter purchase,
- On line purchase,
- Purchase via telephone,
- Cash stop/ ATM purchase using debit card etc.
28 Conditions Terms of Prepayment
- The purchase is dialled into the prepaid fixed
line platform and service is activated for the
residential line. - Emphasis must be placed on subscribers being able
to purchase usage and update the prepaid platform
as conveniently and severally as possible. - As many possible purchase channels should be open
as current technology can allow. This way,
subscribers have no disadvantage in accessing
usage of their service. - Service installation must be paid in advance of
the technician coming to install the CPE. Service
usage must be prepaid from the date the CPE is
installed and the service line connected to the
PSTN.
29Advantages of Prepaid Fixed Line Service
- The following are just some of the benefits to be
derived from prepaid fixed line service - Elimination of billing mediation, billing system
and bill printing costs. - Elimination of credit control administration
costs - Conversion from post paid to prepaid bears only
the incremental costs of acquiring a prepaid
platform, most prepaid infrastructure already
developed from mobile operations and is easily. - Value proposition between the company and the
subscriber is enhanced as the equity between
service usage and payment for service are more
closely met.
30Advantages of Prepaid Fixed line Service
- The revenue assurance prospect is enhanced
through the consistent predictability of a flat
rate that derives required revenues from a
computation, which targets a projected revenue
requirement containing a commensurate rate of
profit. - This approach is readily administered through
existing price cap methodology. - The tendency towards cross-subsidisation is
reduced as the revenue requirement, with a high
degree of certainty, can easily be set to
approximate the full or incremental costs of both
access and usage.
31Conclusion
- What I have attempted to address in a levelled
manner is the introduction of a new value
proposition for the residential basic telephone
service. - I have taken the access deficit, as borne by most
incumbent telephone operators, and shown it from
the perspective of Universal Service Obligation. - The access deficit is the USO cost of providing
subsidised basic telephone, its only
disqualification being, that is it represents an
across the board subsidy to both the poor and the
well-off in society. Confining the Access deficit
to only the needy and geographically displaced
then aligns it with the philosophy of
Universality.
32Conclusion
- I have attempted to demonstrate at an overview
level, a mechanism for realigning the way costs
can be recovered, through a pricing method that
will introduce more equity among the population. - The general idea of means tests, under the
categories of income, geography and USO
eligibility, are used to eliminate imbalance
wherever it may exist. - While unlimited calling is allowed, the flat rate
is designed to cover the full cost of a
suscribers average usage as it progresses over
time. - Use of explicit allowances to grant USO based
benefits converts the existing access deficit,
thereby reducing it to a balance that can be
included in the flat rate pricing. - This approach still seeks to maintain a strong
relationship between full costing and cost -based
pricing.
33 Closing Statement
My intent is to stimulate thought about new
and more effective value propositions that
maintain the economic mandate required for market
liberalisation, while sensibly and judiciously
correcting the revenue imbalances that have been
borne by incumbents. Â These imbalances exist
in spite of the economic reality that warrants
these imbalance be removed or, allowed only
for those citizens who fall under the umbrella
of Universality. Â There are some
subordinating issues still to be addressed but I
trust that this paper has at least made a fair
cry for some new attitudes and actions towards
access costs, universal funding needs and the
pricing mechanisms required to forge a path
forward.
34Thank you!
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