Title: IDA Presentation
1ENHANCEMENTS TO ACCOUNTING SEPARATION IN
SINGAPORE Overview of Revisions to
the Accounting Separation Guidelines 25 May 2001
2Agenda
- Introduction and Forum Objectives
- Background
- Proposed Revisions to the Accounting Separation
Framework
3Background
- Change drivers
- Objectives and role of accounting separation
- Approach to developing an enhanced accounting
separation framework
4Change Drivers
The following factors impact on the information
IDA needs to undertake its regulatory functions
- Market liberalisation
- New Code of Practice for Competition
- Digital convergence and rapid technological change
5Objectives of Accounting Separation -
International Experience
Objectives of accounting separation vary between
different countries and include the following
- Monitoring cross subsidisation
- Comparison between internal transfer prices and
external wholesale service charges for vertically
integrated operators - Analysing potential anti-competitive pricing
behaviour, such as predatory pricing - Determination and monitoring of interconnect
charges - Monitoring industry and service trends
- Tariff regulation
6Objectives of Accounting Separation in Singapore
To provide a structured reporting framework which
will enable iDA to
- Ensure that Dominant FBOs do not favour their
downstream operations and affiliates in providing
inter-operator services - Monitor compliance with the cross-subsidisation
provisions applying to Dominant Licensees under
the COP - Establish and maintain objective reference points
for evaluating information provided by Licensees
in relation to ad hoc studies - Monitor the provision of IRS by Dominant
Licensees - Monitor ICT market performance and trends
7The Role of Accounting Separation
ICT Sector Objectives
Efficiency, fair market conduct competition,
industry self-regulation
Regulatory Competitive Safeguards
- Classification of FBOs
- IRS regulation
- Prohibition of cross-subsidies unfair
competition
Accounting Separation Information to enable iDA
to administer regulatory safeguards
Information
iDA general information gathering powers
Accounting Separation
8The Role of Accounting Separation (cont)
- Accounting separation provides a complementary
tool rather than a substitute for the various
competitive safeguards in place under the COP. - It is intended to provide iDA with the
information it requires to effectively administer
the regulatory framework. - However, accounting separation itself also acts
as a primary safeguard against potential
anti-competitive cross subsidisation by ensuring
transparency of Licensees financial costs and
revenues. - It also provides the industry with a general
level of comfort that the regulator is able to
monitor the conduct of Dominant Licensees
9Approach to Development ofEnhanced AS Framework
- Review of effectiveness of existing accounting
separation framework in Singapore - Review of experience in other jurisdictions
- Hong Kong, UK, Australia, USA, EU
- Identification of iDAs information needs
- Aim to optimise information objectives while
considering the administrative burden
10The Proposed AS FrameworkTwo-level approach
- Detailed Segment Reporting (DSR)
- As a general rule, DSR will apply to Dominant
FBOs and the entities over which they have
control - In addition, IDA may direct any other FBO or SBO
that is related to a Dominant FBO to report on
DSR basis (reserve power) - Definitions of control and related entity are
contained in the ASG - Control is defined by 50 rule
- Related entity is defined by 20 rule
11The Proposed AS FrameworkTwo-level approach
- Objectives of DSR
- To enable IDA to monitor pricing, potential
anti-competitive conduct and IRS (O/T/T) charges - Separate reporting of major service segments,
including wholesale/retail separation - At the present time, DSR will apply to
- SingTel, SingNet, SingTel Mobile, SingTel Paging
- SCV
12The Proposed AS FrameworkTwo-level approach
- Simplified Segment Reporting (SSR)
- Apply to all FBOs except Dominant FBOs or any
Licensees that are required to report on DSR
basis - Applies only to the licensed FBO entity (i.e.
does not apply to controlled or related entities) - Objectives of SSR
- Main purpose is to enable IDA to monitor market
trends - Higher level of aggregation to minimise
regulatory burden
13The Proposed AS FrameworkExemptions
- A Licensee may apply for an exemption from
accounting separation or from complying with
certain provisions of the Guidelines - IDA may grant an exemption if it concludes that
- the amount of revenues or costs generated by the
Licensee are insignificant or - the information about the Licensees business is
likely to be of limited value to IDA in meeting
the objectives of accounting separation - An exemption may be reviewed revoked by IDA
- Onus on Licensee to notify IDA if circumstances
on which the exemption was granted change (eg
substantial increase in revenues)
14Level of Disaggregationof Services
Dominant FBOs Access Domestic
Network International Network Retail
Services Customer access Domestic
calls Domestic leased circuit svcs Internationa
l calls International leased circuit
svcs Mobile domestic access calls Narrowband
Internet Access Broadband Internet Access Other
Activities
All Other FBOs Fixed Domestic Services Internati
onal Fixed Mobile Services Mobile Domestic
Services Narrowband Internet Access Broadband
Internet Access Other Activities
Wholesale
Wholesale Retail
Retail
15Accounting SeparationSegment Definitions
- The division of the organisations operations for
accounting separation must reflect the objectives
for the use of the information produced - Separation of activities that are subject to
different competitive intensities - Separation of the upstream and downstream
activities of vertically integrated or related
Licensees - Separate reporting of high growth/important
services
16Segment Definitions forDominant FBO Reporting
- Access
- Domestic Network
- International Network
- Retail Services
- Customer access
- Domestic calls
- Domestic leased circuit services
- International calls
- International leased circuit services
- Mobile domestic access calls
- Narrowband Internet Access
- Broadband Internet Access
- Other Activities
17Segment Definitions for DominantFBO -
Access/Domestic Network
18Segment Definitions for DominantFBO -
Domestic/International Network
19Segment Definitions forNon-Dominant FBO Reporting
- Fixed Domestic Services
- International Fixed Mobile Services
- Mobile Domestic Services
- Narrowband Internet Access
- Broadband Internet Access
- Other Activities
20Cost Basis - Overview
- Initially accounting separation will be based on
Historic Cost Accounting - Within a further 2-3 year timeframe, accounting
separation will be migrated to Current Cost
Accounting (CCA), consistent with global
telecommunications regulatory trends - To move directly from the current accounting
separation framework to a new reporting
architecture and CCA would be very complex and
require a substantial implementation period - A two-phased approach will produce immediate
improvements in the information provided, but
also allow a manageable implementation process
The timeframe will depend on the preparations
required by Licensees. Propose to
consider Licensees feedback during the
consultation process in determining an
appropriate timeframe.
21Cost Basis - HCA Reporting Basis
- In general, reporting Licensees should prepare
their accounting separation statements - in accordance with Singapore GAAP and
- in accordance with the accounting policies that
the Licensee uses for statutory financial
reporting, - iDA may direct Licensees to use particular
accounting policies for specific items from time
to time, in order to ensure that the accounting
separation reports provide meaningful information
necessary for iDA to perform its regulatory
functions, or to allow comparability between
Licensees - iDA may approve alternative methodologies which
may be requested by a Licensee
22Cost Allocation Methodology -Overview
Dominant FBOs Based on causation Structured
tiered cost driver approach with simplified
allocation of indirect overhead
costs Prescribed allocation methodologies for
key cost and revenue items Detailed
methodologies to be documented in PCAM and
approved by iDA
All Other FBOs Based on causation Licensees may
determine their own allocation methods consistent
with principle of causation Detailed
methodologies to be documented in PCAM and
approved by iDA
23Cost and RevenueAttribution Principles
- Costs/revenues may be attributed to services
according to the following categories - Direct cost/revenue Solely caused/generated by
a particular service/product/asset/function
recorded in the accounts against the relevant
service/product/asset - Directly attributable cost/revenue Solely
caused/generated by a particular S/P/A/F but not
recorded in the accounts against the relevant
S/P/A/F
24Cost and Revenue Attribution Principles (cont)
- Indirectly attributable cost/revenue Part of a
pool of common costs/revenues but which can be
attributed to a particular S/P/A/F though a
non-arbitrary and verifiable cause and effect
relationship - Unattributable cost/revenue Part of a pool of
common costs/revenues which cannot be identified
to a particular S/P/A/F through a non-arbitrary
and verifiable cause and effect relationship
25Cost and RevenueAttribution Principles (cont)
- Dominant FBOs are required to separately identify
the attribution categories of costs in their
accounting separation statements as follows - Direct directly attributable
- Indirectly attributable
- Unattributable (allocated in proportion to
contribution margin) - Non-dominant FBOs are required to separately
identify - Direct, directly attributable indirectly
attributable costs - Allocated unattributable costs
- All FBOs are not required to separately identify
the attribution categories of revenues in their
accounting separation statements.
26Cost Allocation Methodologyfor Dominant FBOs
The preferred approach is a simplified cost
driver attribution methodology. The key features
of this approach are
- Attribution of costs/revenues is based on
causation using identified cost drivers (e.g.
activity based costing) - A heirachical attribution and allocation
methodology - Prescribed allocation methods for certain
cost/revenue items - Indirect costs which are difficult or complex to
apportion are allocated in proportion to each
segment contribution margin - Unattributable costs (e.g. overheads) are
allocated in proportion to each segment
contribution margin
27Cost Allocation Methodology forDominant FBOs
Simplified Cost Driver Methodology
See page 16 of ASG
28Cost Allocation Methodologyfor Non-Dominant FBOs
A more flexible approach will be used for
Non-Dominant FBO cost and revenue allocation
- Attribution of costs/revenues is based on
causation using identified cost drivers (e.g.
activity based costing) as determined by the
Licensee - Indirect costs which are difficult or complex to
apportion are allocated in proportion to each
segment contribution margin - Unattributable costs (e.g. overheads) are
allocated in proportion to each segment
contribution margin
But subject to approval by iDA
29Overview ofReporting Requirements
Dominant FBOs Income Statement for each
Detailed Segment Income Statement for
each Simplified Segment Stment of Mean Capital
Employed for each Detailed Segment Reconciliation
s to Audited Financial Statements Non-financial
information Audit Report
All Other FBOs Income Statement for
each Simplified Segment Reconciliation
to Audited Financial Statements Non-financial
information Audit Report
Income
Income
Capital
30Detailed Segment Reporting Income Statements
Income statements prepared for each segment will
identify
- Revenues for each segment, with separate
identification of revenue from external sources,
the Licensees internal businesses and from
related entities - Costs for each segment, with separate
identification of direct and directly
attributable costs, indirectly attributable costs
and allocated unattributable costs, charges from
internal businesses, charges from related
entities and charges from other Licensees. Fixed
and variable cost should also be separately
reported and - The calculated return for each segment.
31Detailed Segment Reporting Income Statements
(cont)
Detailed segment income statements will be
required for
- Each of the Detailed Reporting Segments that are
provided by the Dominant Licensee and/or its
controlled entities and - In addition, entities that are subject to
Detailed Segment Reporting must provide income
statements for each of the Simplified Reporting
Segments, in order to enable IDA to monitor the
completed markets for these services.
32Simplified SegmentIncome Statements
Income statements prepared for each segment will
identify
- Total revenues for each segment
- Costs for each segment, with separate
identification of - fixed and variable costs
- direct, directly attributable and indirectly
attributable costs - allocated unattributable costs and
- The calculated return for each segment.
33Simplified SegmentIncome Statements (cont)
Simplified segment income statements will be
required for
- Each of the Simplified Reporting Segments that
are provided by the a non-dominant Licensee
34Reconciliation of Consolidated Income Statements
- A Reconciliation of Consolidated Income Statement
will be required under both Detailed Segment
Reporting and Simplified Segment Reporting - A Reconciliation of Consolidated Income Statement
provides a reconciliation of the consolidated
Income Statements for all segments with the
Licensees audited Income Statement, or
Consolidated Income Statement where a Licensees
business is structurally separated
35Detailed Segment Statements of Mean Capital
Employed
- Statements of Mean Capital Employed should be
submitted for each segment - The mean capital employed is defined as total
assets less current liabilities, excluding
corporate taxes, dividends payable and long term
liabilities. That is, it is the total written
down value of non-current assets and working
capital. - The mean is computed as the average of the start
and end values for the relevant period.
36Detailed Segment Statements of Mean Capital
Employed
The Statement of Mean Capital Employed has two
main purposes
- it allows for a calculation of return on capital
employed for each separated segment and activity
and - it allows for the more accurate allocation of
capital charges to the Income Statement, e.g.
depreciation.
37Detailed Segment Reconciliation of Mean Capital
Employed Statement
The Reconciliation of Mean Capital Employed
Statement provides
- a reconciliation of the individual segment
Statements of Mean Capital Employed to the
Licensees audited Balance Sheet or consolidated
Balance Sheet where a Licensees business is
structurally separated.
38Non-financial Information Report
- iDA proposes that all reporting Licensees should
provide information on key operational and
service usage parameters as part of the standard
reporting requirements for accounting separation. - Network usage parameters will be used by iDA to
- estimate the unit costs and revenues of each
reported service - monitor market trends in the services subject to
accounting separation
39Reporting Timeframes for Detailed Segment
Reporting
Report
Period Frequency
Timeframe
To be submitted within 4 months of the end of the
reporting period
Income Statements
6 monthly
To be submitted within 4 months of the end of the
reporting period
Reconciliation of Consolidated Income Statements
Annually
To be submitted within 4 months of the end of the
reporting period
Statements of MCE
6 monthly
40Reporting Timeframes forDetailed Segment
Reporting (cont)
Report
Period Frequency
Timeframe
To be submitted within 4 months of the end of the
reporting period
Reconciliation of Consolidated MCE Statement
Annually
Non-financial Information Report
To be submitted within 4 months of the end of the
reporting period
6 monthly
To be submitted within 2 weeks of the
audit completion
Audit Report
Annually
41Reporting Timeframes forSimplified Segment
Reporting
Report
Period Frequency
Timeframe
To be submitted within 4 months of the end of the
reporting period
Income Statements
6 monthly
To be submitted within 4 months of the end of the
reporting period
Reconciliation of Consolidated Income Statements
Annually
To be submitted within 4 months of the end of the
reporting period
Non-financial Information Report
6 monthly
42Reporting Timeframes forSimplified Segment
Reporting (cont)
Report
Period Frequency
Timeframe
To be submitted within 2 weeks of the
audit completion
Audit Report
Annually
43Administrative Requirements
- Procedure and Cost Allocation Manual (PCAM) must
be developed by each Reporting Licensee - Licensee must file its proposed PCAM with iDA 90
days after the date of effect of the ASG - iDA approval period for the PCAM will be 90 days
- Detailed specifications for the content of the
Licensees PCAM are set out in the ASG - PCAM (including detailed cost allocation methods)
must be approved by iDA - Any changes to PCAM must be filed with, and
approved by, iDA - There will be no public disclosure of Licensees
PCAMs or accounting separation reports
Subject to extension if required
44Audit Requirements
- Reporting Licensees will be required to obtain an
annual independent audit of their accounting
separation reports - The auditor is appointed by the Licensee and
responsibility for completion of the audit lies
with the Licensee. However, iDA may request
meetings with the auditor to discuss the
auditors work - iDA may undertake a re-audit if it is not
satisfied with the audit undertaken by a
Licensees auditor - The costs of all audits and re-audits must be
borne by the Licensee
45Audit Requirements (cont)
- The auditor shall, in his Auditors Report,
express an opinion on - whether the Accounting Separation Statements for
the year ended have been properly drawn up in
accordance with the Licensees PCAM that has been
approved by iDA under the Accounting Separation
Guidelines and so as to present fairly, in all
material respects the information reported in
each of the accounting separation statements
submitted to iDA.
46Industry Consultation Proposed Timeframe For
Completion
Activity / Milestone
Date
21 June Q3, 2000
Deadline for submission of industry
responses iDA review of industry feedback and
finalisation of framework