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Prepared For:
GSM Association
71 High Holborn
London WC1V E6A
United Kingdom
Economic study on IP
interworking
Prepared By:
Bridger Mitchell, Paul Paterson, Moya Dodd,Paul Reynolds, Astrid Jung of CRA International
Peter Waters, Rob Nicholls, Elise Ball of Gilbert +
Tobin
Date: 2 March 2007
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TABLE OF CONTENTS
EXECUTIVE SUMMARY .................................................................................................. 1
1. INTRODUCTION........................................................................................................ 8
1.1. AIM AND SCOPE..............................................................................................................8
1.2. STRUCTURE OF THE REPORT...........................................................................................9
2. IP INTERCONNECTION IN THE CURRENT PUBLIC INTERNET ......................... 10
2.1. INTRODUCTION.............................................................................................................10
2.1.1. Implications of packet switching and circuit switching ................................................ 10
2.2. INTERCONNECTING IP NETWORKS .................................................................................11
2.2.1. Direct interconnection.................................................... ............................................. 11
2.2.2. Indirect interconnection ........................................................ ...................................... 12
2.3. ANY-TO- ANY CONNECTIVITY ..........................................................................................13
3. INTERCONNECTION PRICING MODELS IN CURRENT INTERNET.................... 15
3.1. OPERATOR HIERARCHY WITHIN THE INTERNET ...............................................................15
3.2. B ASIS OF CHARGING .....................................................................................................17
3.3. INTERNET PRICING MODELS FOR DIRECT INTERCONNECTION ...........................................17
3.3.1. Interconnection between Tier 1 IAPs.......................................................................... 18
3.3.2. Interconnection between Tier 1 IAPs and Tier 2 ISPs...................... .......................... 20
3.3.3. Interconnection between Tier 2 and Tier 3 ISPs......................................................... 21
3.3.4. Initiating Party Network Pays (IPNP)................. ......................................................... 21
3.4. WHO PAYS FOR TRANSIT?.............................................................................................22
3.4.1. Multiple charging models applied in a single internet session.................................... 23
3.5. WHAT IS PAID FOR?......................................................................................................26
3.6. CURRENT TECHNOLOGY SHAPES INTERCONNECTION CHARGING MODELS ........................26
4. THE CHANGING WORLD OF IP............................................................................. 29
4.1. INTRODUCTION.............................................................................................................29
4.2. NEXT GENERATION NETWORKS ....................................................................................29
4.2.1. Introduction ....................................................... ........................................................ . 29
4.2.2. NGN architecture................................................................. ....................................... 30
4.3. QUALITY OF SERVICE ....................................................................................................31
4.4. NGN INTERCONNECTION ..............................................................................................32
4.5. IPX .............................................................................................................................33
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5. DETERMINANTS OF EFFICIENT IP INTERCONNECTION FEES ........................ 37
5.1. INTRODUCTION.............................................................................................................37
5.2.
THE MEANING OF ECONOMIC EFFICIENCY .......................................................................37
5.2.1. Components of efficiency..................................................... ...................................... 38
5.2.2. Relationship to consumer welfare and competition .................................................... 39
5.2.3. Market outcomes of economic efficiency........................................................... ......... 39
5.3. WHO SHOULD PAY FOR INTERCONNECTION?...................................................................42
5.3.1. The economic role of interconnection charges............................................ ............... 43
5.3.2. Determining the efficient retail model ....................................................... .................. 44
5.3.3. Efficient direct interconnection ......................................................... .......................... 48
5.3.4. Efficient transit interconnection ............................................... ................................... 52
5.3.5.
The combination of efficient direct and transit interconnection............................... .... 54
5.3.6. Efficient interconnection charges when traffic is balanced ......................................... 55
5.3.7. Quality of service in efficient interconnection ......................................................... .... 55
5.3.8. Welfare consequences of inefficient interconnect charges......................................... 57
5.4. THE EFFICIENCY OF MULTIPLE IP INTERCONNECTION MODELS .........................................61
5.5. CONCLUSION ...............................................................................................................62
5.5.1. The role of interconnection fees in determining market outcomes ............................. 62
5.5.2. Circumstances determining the efficient interconnection fee ..................................... 63
6. ECONOMIC ASSESSMENT OF ALTERNATIVE CHARGING MODELS................ 69
6.1. INTRODUCTION.............................................................................................................69
6.2. EFFICIENCY OF “BILL- AND-KEEP”...................................................................................70
6.2.1. Direct interconnection.................................................... ............................................. 71
6.2.2. Transit .................................................. ....................................................... ............... 74
6.2.3. BAK in the presence of QoS differentiation ......................................................... ....... 75
6.2.4. BAK imposed by regulation ....................................................... ................................. 77
6.2.5. Conclusion .................................................... ........................................................ ..... 78
6.3. EFFICIENCY OF IPNP....................................................................................................80
6.3.1. IPNP when interconnection price is held constant...................................................... 81
6.3.2. Enhanced performance of IPNP when interconnection fees can vary........................ 84
6.3.3. IPNP imposed by regulation...................................................... ................................. 85
6.3.4. Conclusion .................................................... ........................................................ ..... 85
6.4. EFFICIENCY OF RPNP ..................................................................................................86
6.4.1. RPNP when interconnection fees are held constant .................................................. 87
6.4.2. Enhanced performance of RPNP when interconnection fees can vary ...................... 88
6.4.3. RPNP and regulation......................................... ......................................................... 88
6.4.4. Conclusion .................................................... ........................................................ ..... 89
6.5. EFFICIENCY OF SETTLEMENT-BASED INTERCONNECTION (SBI) ........................................89
6.6. CONCLUSION ...............................................................................................................90
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6.6.1. Direct interconnection.................................................... ............................................. 90
6.6.2. Transit .................................................. ....................................................... ............... 92
7. POLICY IMPLICATIONS.......................................................................................... 93
7.1. INTRODUCTION.............................................................................................................93
7.2. EFFICIENCY OF IP INTERCONNECTION IN THE INTERNET AND IN NGN..............................95
7.2.1. Current IP Interconnection models................................................. ............................ 95
7.2.2. Future IP Interconnection models.................................................................... ........... 97
7.3. ROLE FOR REGULATORY INTERVENTION.........................................................................98
7.3.1. Risks in Intervention........................................................ ........................................... 98
7.3.2. Risk of increased opportunities for arbitrage ................................................... ......... 100
7.3.3. Any-to-any connectivity ........................................................... ................................. 100
7.3.4. Regulatory certainty ................................................... .............................................. 103
7.3.5. Assessment framework............................................................ ................................ 103
7.3.6. Transition between interconnection regimes ......................................................... ... 105
7.4. CONCLUSIONS ...........................................................................................................105
APPENDIX A: BASIC TECHNICAL AND CHARGING CONCEPTS ............................ 107
A.1 B ASIC CONCEPTS .......................................................................................................107
A.1.1 Interconnection models in telephony ........................................................... ............. 107
A.1.2
Relationship between interconnection models and retail services ........................... 111
A.2 TRANSMISSION OF INFORMATION IN DIGITAL FORMATS ..................................................114
A.2.1 Packetisation............... ........................................................ ..................................... 114
A.2.2 Circuit switching ................................................ ....................................................... 114
A.2.3 Packet switching.................................................................. ..................................... 116
A.2.4 Routing in IP networks .......................................................... ................................... 117
A.3 THE INTERNET............................................................................................................117
A.3.1 Introduction ....................................................... ....................................................... 117
A.3.2 Internet Protocol addresses ..................................................... ................................ 117
A.3.3 Domain name server...................................................... .......................................... 118 A.3.4 Ports............ ........................................................ ..................................................... 118
A.3.5 Internet routing ................................................. ........................................................ 118
A.3.6 Best efforts delivery and Transmission Control Protocol .......................................... 119
A.4 IMPLEMENTING QUALITY OF SERVICE ..........................................................................119
A.4.1 Quality of Service parameters ........................................................... ....................... 119
A.4.2 Labelling for QoS paths...... ........................................................ .............................. 121
A.4.3 Billing models for QoS networks......................................................................... ...... 122
A.5 NGN INTERCONNECTION ............................................................................................122
A.6 NETWORK MANAGEMENT IN FIXED AND MOBILE.............................................................124
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APPENDIX B: THE EFFICIENT UNIT AND LEVEL OF INTERCONNECT CHARGES 125
B.1 WHAT SHOULD BE PAID FOR: THE EFFICIENT UNIT OF INTERCONNECTION CHARGES ........125
B.2
HOW MUCH SHOULD BE PAID: THE RELATIONSHIP BETWEEN EFFICIENT INTERCONNECTIONCHARGES AND COSTS .................................................................................................126
APPENDIX C: THE EFFICIENCY OF MULTIPLE IP INTERCONNECTION MODELS 128
C.1 DIFFERENTIATION BETWEEN ACCESS AND CORE NETWORKS .........................................128
C.2 DIFFERENTIATION OF INTERCONNECTION CHARGES AMONG NETWORKS.........................129
C.3 DIFFERENTIATION OF INTERCONNECTION CHARGES AMONG CUSTOMERS OF A NETWORK130
C.4 DIFFERENTIATION OF INTERCONNECTION CHARGES ACCORDING TO SERVICES ...............130
APPENDIX D: EFFICIENCY OF BAK IN TRANSIT INTERCONNECTION.................. 132
APPENDIX E: REGULATORY APPROACHES TO IP INTERCONNECTION ............. 135
E.1 INTRODUCTION...........................................................................................................135
E.2 GERMANY ..................................................................................................................135
E.3 THE UNITED KINGDOM................................................................................................138
E.4 AUSTRALIA.................................................................................................................139
E.5 HONG KONG ..............................................................................................................142
APPENDIX F: THE AUTHORS..................................................................................... 145
F.1 CRA INTERNATIONAL .................................................................................................145
F.2 GILBERT + TOBIN .......................................................................................................146
APPENDIX G: GLOSSARY .......................................................................................... 147
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EXECUTIVE SUMMARY
Telecommunications networks are on the verge of profound generational change.
Century-old circuit-based networks are being replaced by packet-switched “next-
generation networks” (NGNs) using Internet Protocols (IP). With quality of service
parameters (QoS) built in, NGNs will be far more reliable than today’s IP-based public
Internet, capable of delivering telephony, television, data and a plethora of new services
at much lower marginal costs than would be possible on today’s networks. Large gains in
efficiency and welfare will be possible; and if captured, they will be immensely valuable to
society.
IP interconnect is a critical lever to achieving economic efficiency. The GSM Association
(GSMA) has commissioned this study to consider the merits of various interconnectcharging models, including the impact of particular models on investment, innovation,
QoS and competition. And in particular, to consider the implications of a QoS environment
where more sophisticated retail and interconnect services both enable and require more
complex commercial arrangements.
Economically efficient interconnect (wholesale) charging depends on efficient retail
charging. Given the large range of services that will be carried by QoS-enabled NGNs, a
wide variety of retail pricing models will emerge. To be efficient, an associated variety of
pricing models will be necessary at the wholesale level.
Consequently, there is no “one-size-fits-all” IP interconnect charging model that willdeliver superior efficiency outcomes in all situations. Each model examined has different
strengths and weaknesses, depending on the situation. Imposing a single model risks
significant harm to efficiency and consumer welfare. Regulators should therefore proceed
cautiously in recommending or favouring any particular model. Regulatory certainty can
be achieved by issuing explicit assessment criteria – based on whether market outcomes
would be advanced – rather than prescribing solutions to interconnect arrangements
when the services to be carried and the networks over which they will be carried are
undergoing significant change.
Large efficiency and welfare gains beckon
IP interconnection is not a new phenomenon – it underpins the public Internet today. But
today’s IP-based networks are burdened with inefficiencies, and offer only “best-efforts”
quality. They send each message as a series of packets, each bearing the destination
address. These packets can take multiple, independent paths, carried by an
indeterminate set of operators, and must be re-compiled at their destination into a
coherent message.
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Interconnection arrangements in the public Internet are somewhat crude. Traffic is
generally only measurable at the handoff points between each successive pair of
networks. Pricing arrangements at each network handoff point are struck largely in
isolation from each other and from the ultimate retail pricing models, resulting in a rangeof payment models: some sending networks pay to send, others receive a payment for
sending packets, yet others treat interconnect as free. In an economically efficient world,
the nature of customer demand would affect the structure and level of retail charges; and
in turn, these retail services would be supported by an appropriate structure and level of
wholesale interconnection charges. But currently, IP interconnection charges are largely
determined by the tier status of operators and the balance of traffic flows between them,
with no ability to attribute an appropriate value at the wholesale level to the contents of a
particular packet or series of packets. This acts to inhibit the efficient recovery of costs.
These inefficiencies are a direct result of the technical limitations of today’s Internet.
But technological changes are transforming IP services and networks. Future NGNs(which will coexist alongside the public Internet) will be able to carry packets at a
specified quality level (or QoS). This will have far-reaching consequences for both the
retail services that can be offered, and the interconnect services that will be enabled and
required. Multiple services will be simultaneously provided with differential, guaranteed
service levels1. Packets with different quality settings will be able to be differently priced.
This brings with it the ability to enhance consumer welfare by matching the type and
quality of services demanded by consumers with the supply of these services in a least
cost manner, or by giving consumers the ability to select the level of service for which
they are willing to pay. For example, voice over Internet Protocol (VoIP) services could
be delivered using a high-priority network “path” to ensure call clarity, while email services
could use a cheap, low-priority path.
The requirements of end-to-end QoS will fundamentally change how IP networks
interconnect. Current IP interconnection does not have to distinguish between different
classes of traffic. But NGN networks will enable a model where one party takes
responsibility for establishing a “QoS path”, maintaining the right quality level through the
various networks between the sender and receiver. This model is consistent with the IPX
arrangements being considered by the GSMA.
1 The International Telecommunications Union defines an NGN as “a packet-based network able to provide
services, including telecommunications services, able to make use of multiple broadband, QoS-enabled
transport technologies, and in which service-related functions are independent from underlying transport-related
technologies. It offers unrestricted access by users to different service providers. It supports generalised
mobility, which will allow consistent and ubiquitous provision of services to users.”
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Interconnect charging arrangements will need to evolve considerably from today’s models
in order to support QoS. The network resources consumed will vary with the quality of
service required, and these costs must be taken into account in interconnect
arrangements if the cost burden is to be appropriately shared between operators and theirrespective customers. Further, because NGNs permit more centralised control over
messages, interconnect charges can be set in light of a coherent view of the end-to-end
service, including who pays the retail charges. As a result, the interconnection model can
be firmly linked to the retail charging model, and where appropriate, applied end-to-end
(instead of each segment applying its own model).
The current “best efforts” interconnection model may continue to apply to retail services
for which QoS is not required. But, as we explain in more detail below, to simply
transpose these models into the NGN world would stifle the development of more efficient
models, and prevent efficiencies from being full realised.
Relatively few network operators have yet committed to full NGN upgrades. Typically,
core networks are upgraded, with upgrades to the access networks to follow at some
future point. Services to take advantage of QoS-based end-to-end IP are still being
comprehended and developed – with supporting wholesale and retail commercial models
as yet uncertain. But the imminent migration of services to NGNs, and the enormous
potential for gains to society, have already sparked a regulatory and intellectual debate
about the charging model that should be applied to IP interconnection.
Capturing gains by efficient IP interconnect
The key IP interconnect models under debate are examined in this report. They operate
on a continuum of who pays whom for the delivery of a message (a phone call, SMS,
MMS, IM, email or a download of a data file, streaming video or a web page). At one end,
the initiating party’s network pays (IPNP) for termination on the destination network; at the
other end of the continuum, the initiating party is paid by the receiving network for having
originated the message (RPNP). At a midpoint between them is a model known as bill-
and-keep (BAK) where no interconnect payment is made at all. A variant of IPNP and
RPNP is known as “settlement-based interconnection” (SBI) where the packets in each
direction are offset before payment is made. Transit interconnection arrangements
(where an intermediate network takes the message part of the way between the
originating and the terminating network) can be classified along similar lines, depending
on which network pays for transit.
An assessment of these alternative interconnection charging models should be based on
criteria of economic efficiency, because efficiency is a precondition to maximising welfare.
In most practical circumstances, consumer welfare is also enhanced by increasing
efficiency. With efficiency gains, prices fall, quality improves (to the extent consumers are
willing to pay for it), costs are recovered (so investment incentives are preserved), and all
messages carried have a value that is no lower than the cost of delivering them.
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Economic efficiency is defined as the best use of resources (allocative efficiency), least
cost production (productive efficiency) and incentives for innovation and investment
(dynamic efficiency). These dimensions of efficiency can conflict so that determining the
optimal charging model may requiring balancing differing impacts.
In this report, we develop the thesis that efficient interconnect pricing can only be derived
in light of the efficient retail pricing arrangements, and an understanding of the costs
incurred by each network (with some very specific exceptions).
Understanding the efficient retail prices for messages brings some special challenges,
because (unlike many services) messages are jointly consumed by sender and receiver.
Efficient retail prices, as well as interconnection fees, must therefore serve the role of
optimally distributing the charges paid by two types of end customers (in addition to the
other economic roles of pricing, such as ensuring that costs are recovered with minimal
distortions to demand).
Hence, the economic role of interconnection fees is to encourage the originating and
terminating networks to charge their retail customers in a way that ensures that the retail
prices faced by each customer sends signals for efficient consumption of messages. If
this is achieved, messages will only be initiated if they are efficient - that is, if their
aggregate value to both customers exceeds the total costs of service provision.
For these reasons, the efficient wholesale pricing model cannot be identified in isolation
from the efficient retail charges. In an NGN world, QoS-based interconnection enables
this link to be established (similar to that which exists in the telephony world today
between wholesale and retail pricing). This is because the technical limitations of today’sIP interconnect – such as the lack of central control or billing information – will be
overcome by more sophisticated arrangements that support the requirements for
guaranteed QoS priorities. Retail services that promise a particular QoS (e.g. VoIP) will
be backed up by wholesale deals that deliver on that promise and charge accordingly.
Because of this close link between wholesale and retail charges in a future QoS
environment, it is not possible to say that one particular interconnect model will always
meet efficiency criteria better than another interconnect model. The large range of
services that will be carried by QoS-enabled NGNs, and the wide variety of retail pricing
models employed, will need to be linked to a similarly wide variety of pricing models at the
wholesale level. As a result, there is no “one-size-fits-all” interconnect model that is most
efficient in all situations. Indeed, it is likely to be most efficient to employ a range of
different IP interconnect models, co-existing for different networks, customers or other
situations.
It follows that consumer welfare will be harmed if an inefficient interconnect model is
imposed (e.g. by a regulator mandating that a perceived ‘winning’ model be applied
across the board). Services may not be provided to their fully optimal extent; investment
incentives can be damaged; and innovation stifled at both retail and wholesale levels. In
other words, inefficient IP interconnect could inhibit the realisation of many of the
anticipated benefits of NGNs, with potentially very large efficiency and welfare gains
simply “left on the table”.
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Examining particular interconnect models
A significant part of the public regulatory debate has been devoted to the question of
whether BAK2 is a more efficient charging model for interconnection than alternative
approaches, and whether it should be imposed as a charging model in at least some
interconnection situations. Based in part on the incorrect assumption that BAK is the
predominant charging model in the current Internet environment, the argument has been
made that as other services and networks converge to an IP standard, BAK could (or
should) become the prevailing interconnection pricing model of the future.
Indeed, we find that BAK is only efficient under a limited set of specific circumstances.
These are:
• where traffic is evenly balanced between peers (that is, networks with similar traffic
levels and geographical diversity), and cannot be taken out of balance by strategicbehaviour (in this situation all models would yield the same interconnect fee as BAK,
that is, zero); or
• where traffic is stable but not evenly balanced and where the imbalance in traffic
generates benefits to the different end-customers that just coincide with the costs
incurred by each customer’s network.
In situations where traffic is not balanced and operators can avoid costs (e.g. by ‘hot
potato routing’ whereby traffic is handed over as close as possible to a network’s own
retail customers)3 the introduction of a zero-fee BAK model tends to distort the operators’
incentives to provide interconnection services, even in the retail situation specified above.This is because the inherent inflexibility of interconnection fees under BAK (they are
always equal to zero) invites strategic behaviour in order to reduce costs. This incentive
would lead to widespread distortions - likely to be amplified in the context of QoS
provision - at the expense of consumers. BAK’s inflexibility is also likely to impede the
development of QoS-based interconnect, as would occur where terminating networks
would require a higher price for terminating a service at a higher quality.
For transit interconnection, some applications of BAK (e.g. in a chain of transit providers)
raise even greater problems as they leave no prospect of cost recovery for transit
providers and will therefore discourage the provision of transit services.
2 While the terms bill and keep and settlement-based interconnection are sometimes used interchangeably, there
is an important difference between BAK and settlement-based interconnection. Settlement-based
interconnection involves an offset of traffic in each direction so that the operator sending more traffic pays for
the net imbalance. BAK involves no payment for interconnection in either direction, irrespective of whether the
traffic is in balance or not. See our discussion on this point in Appendix A.
3 The practical effect of hot potato routing is that a network uses the network of other operators to avoid both the
cost of building its own backbone capacity or acquiring transit services from another operator who provides that
capacity.
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The problems resulting from applying BAK in the wrong situations can also arise where
IPNP (or RPNP) is applied using a particular interconnection charge that is far from the
efficient charge for that situation. Further, as with BAK, where the level of interconnection
charge is held constant, despite market developments, there would also be a risk thatoperators would engage in strategic behaviour to minimise costs.
Thus, a general advantage of IPNP and RPNP is simply that they encompass a range of
interconnection charges compared with BAK (which implies an interconnect charge of
precisely zero). Accordingly, as general charging models they are more likely to be able
to accommodate the range of interconnection charges that are efficient in particular
situations. Whether a particular level of interconnection charge is efficient will depend on
factors such as how retail customers share in message benefits, whether there are
means by which they can reward each other for initiating useful messages, and their
respective networks’ costs.
In many circumstances, IPNP is likely to be efficient. For a significant share of messages,
the initiating party will be the primary beneficiary and IPNP facilitates those messages
being transported. While there will also be a large share of messages in which both
parties benefit, IPNP can nonetheless support efficient message exchange through
repeated calling arrangements and/or compensation arrangements. IPNP also has the
property of discouraging unsolicited messages (spam) better than any other model by
imposing an economic cost on the network of the customer originating the spam. It helps
to limit the volume of spam through raising the cost of sending messages. IPNP can lead
to termination charges that contribute to not only the cost of the individual message but
also to the receiving party’s general cost of being connected. This provides a means to
efficiently internalise subscriber externalities.
On the other hand, concerns have been raised that IPNP creates a termination monopoly
that results in protracted regulatory inquiries into determining the efficient level of
termination charges. Any market power in relation to the setting of termination charges is
likely to diminish in an IP world, taking into account that there can be a large number of
paths between IP addresses and that content can be multi-homed. Moreover, even
where it is considered necessary for a regulator to continue to be involved in the setting of
termination charges, this would involve a relatively small welfare cost compared with
mandating a zero termination charge in situations where efficiency requires a significant
positive termination charge. The welfare costs of mandating the wrong interconnection
model across the industry are likely to greatly exceed any administrative savings from the
simplicity of BAK.
We also find that there are likely to be other specific situations where RPNP will be
appropriate. In particular RPNP facilitates messages being sent which primarily benefit
the receiver and which may otherwise not occur under BAK or IPNP.
Policy conclusions
Based on our analysis, we have drawn the following regulatory and policy implications for
IP interconnection:
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• Proceed cautiously : Regulators should be very cautious in mandating IP
interconnection charging models for the unfolding NGN IP environment. While
regulators may be called upon to determine interconnection arrangements in
particular circumstances, at this stage there is no justification for regulatoryintervention to mandate a single IP interconnection model. It is too early to tell what
model or models will prevail commercially and regulatory intervention to prescribe a
particular model, such as BAK, is likely to be pre-emptive and risky.
• Don’t mandate a single charging model. Even if a particular charging model develops
considerable commercial currency, it does not follow that this model would be an
appropriate “one-size-fits-all” model for regulators to mandate. Adopting the ‘wrong’
interconnection model in inappropriate circumstances will lead to significant market
distortions, which ultimately reduces consumer benefit. The evidence is that the
industry is working out appropriate IP interconnection models that correspond to the
variety of market circumstances in the absence of ex ante regulatory intervention.Hence, mandating particular interconnection charging arrangements in the current
environment may inhibit the development of inherently more effective and efficient IP
operating models. It is useful to note that global connectivity was achieved for the
current internet without regulatory intervention.
• Don’t assume bottlenecks will be replicated. The deployment of NGNs has the
potential to change the way many services are delivered. A regulator should not
assume that currently perceived bottlenecks (which in places have led to termination
regulation as well as any-to-any connectivity requirements) will be replicated in an
NGN environment.
• Use existing regulatory frameworks. In any event, existing regulatory frameworks
based on objective tests of market power are likely to be adequate to resolve
problems should they arise. Current sector-specific and competition powers exist
which permit regulators to intervene if bottlenecks emerge in IP Interconnection. For
example, some potential upstream bottlenecks in the access network are already
addressed through requiring the wholesaling of unbundled local loops and bitstream
services.
• Employ consumer welfare analysis. However, in circumstances where regulators
identify market failure or are requested to resolve disputes, their intervention should
be applied only as broadly as necessary to solve the problem. Regulators should
therefore not identify a single charging model that would be the ‘fall-back’ option, but
rather should employ a clearly defined assessment framework that appropriately
reflects the drivers of consumer welfare and broader economic efficiency.
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1. INTRODUCTION
1.1. AIM AND SCOPE
IP-based NGNs are being developed and deployed by a wide range of
telecommunications network operators to complement or replace existing circuit switched
networks. As a result, the subject of IP interconnection is receiving increasing regulatory
attention in Europe, at the European and Member State level, and in other regions.4
The mobile industry has taken a leading role in the development of NGNs. The IP
Multimedia Subsystem (IMS) core architecture around which NGNs are being designed
was originally developed as part of GSM standards. The GSMA and its members are
currently developing network, operational and commercial models for IP interconnection
(called the IPX).
These developments have led GSMA to commission CRA International and Gilbert +
Tobin to undertake this study to:
• consider the key issues arising out of current regulatory debate about IP
interconnection, focussing particularly on interconnection charging principles;
• evaluate the advantages and disadvantages of various interconnection and service
charging models that could be employed in the market;
•
consider the impact that particular interconnection models may have oninvestment, innovation, quality of service and competition in the mobile industry;
• assess the implications if regulators were to enforce a “one-size-fits-all” approach
to IP interconnection; and
• consider how the European regulatory framework can foster the development of
efficient and competitive IP interconnection technology and its use in the provision
of a range of services across the mobile, fixed telecommunications and Internet
industries.
4 The European Regulator’s group has issued a consultation document on IP interconnection, See ERG Project
Team on IP Interconnection and NGN, Consultation Document on IP Interconnection, ERG (06) 42, available at:
http://erg.eu.int/doc/publications/erg_06_42_consult_doc_ip_interconnection_rev.pdf; the German regulator has
set up an advisory group on the subject of IP interconnection and has commissioned a number of reports;
Ofcom’s consultations on NGNs and its telecommunications strategic review consider issues relevant to NGN
interconnection; and the Hong Kong regulator has issued a consultation on fixed to mobile convergence which
focuses on interconnection charging models.
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1.2. STRUCTURE OF THE REPORT
A description of the basic concepts of interconnection in the telephony environment and in
the internet environment is set out in Appendix A. In that Appendix we also consider theinterconnection models currently used in the provision of telecommunications services.
We describe the way in which messages5 are routed across networks using Internet
Protocol and how individual Internet Protocol networks interconnect together to form the
internet. We also consider the aspects of network management that differ between fixed
and mobile environments.
Section 2 introduces the technology of Internet Protocol networks by using traditional
circuit switched networks as a reference point to describe how data is transmitted in
digital form using packet switching.
Section 3 describes current IP interconnection models and how these models developedwithin the technical and operational constraints of the current internet.
Section 4 considers future technological changes in the IP environment, which will narrow
the differences between switched and fixed networks, without introducing switched
network architecture on IP networks. These impending changes include the ability to
provide retail and wholesale services with different quality of service and to establish
cascading charging relationships at the interconnection level. A more detailed analysis of
the technical requirements for implementing quality of service parameters in an IP
environment is also set out in Appendix A.
Section 5 sets out the economic framework for determining efficient interconnectionmodels.
Section 6 then uses this framework to assess and compare of alternative charging
models (BAK, IPNP, RPNP, settlement-based interconnection).
Section 7 considers the policy implications arising from our analysis.
5 Throughout this report we use the term “message” in a broad sense. A message can, for example, be a phone
call, SMS, MMS, instant message (IM), email or a download of a data file, streaming video or a web page.
While the various types of messages differ in important aspects, all messages included in our definition can be
described as a flow of data between the party that initiates the message and another party, which can be
described as the receiving party.
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2. IP INTERCONNECTION IN THE CURRENT PUBLICINTERNET
2.1. INTRODUCTION
This section lays the foundation for the next chapter, which discusses IP interconnection
pricing principles. In this section we:
• provide an overview of the key differences between circuit switching and packet
switching;
• describe how individual Internet Protocol networks interconnect together to form the
internet; and
• address some key aspects in relation to the concept of any-to-any connectivity.
As further background to this section, Appendix A contains a description of how:
• traditional circuit switch works to provide a reference point for the transmission of
information in digital form;
• information is transmitted in digital form using packet switching compared to
traditional circuit switching; and
• the internet functions and the way in which messages are routed across it using
Internet Protocol.
2.1.1. Implications of packet switching and circuit switching
From our discussion of circuit switching and packet switching in Appendix A, we can
draw three key distinctions between circuit switched networks and packet switched
networks. These are summarised in Table 1 below.
Table 1: Comparison of key features
Issue Circuit switched Packet switched
Path Single path established for the durationof a session or call
Multipath with variable paths for eachpacket
Signalling system Connection-oriented system withsignalling network providing centralcontrol and billing information
Connectionless system with nocentral control and no centralgeneration of billing information
Network interconnectionknowledge
Central control by signalling systemrequires that all networks used for thecall are known to the originating andterminating parties’ networks and havea commercial agreement tointerconnect
Network partners are not known,other than the possible next networkalong a packet’s pathway
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These three crucial distinctions are discussed in Appendix A and in section 3.6 as part of
the analysis of the differences in interconnection of IP networks and circuit switchednetworks.
2.2. INTERCONNECTING IP NETWORKS
As the internet is comprised of so many networks, interconnection arrangements are
fundamental to its success.
Networks comprising the internet may interconnect either:
• directly with each other (often called peering, at least where it occurs between
similar sized networks). In turn, direct interconnection may be achieved over aprivate peering link or by public peering; or
• indirectly with each other by transiting one or more intermediate networks (called
transit).
2.2.1. Direct interconnection
Where networks directly interconnect, they generally use a border gateway protocol
(BGP), and in these circumstances it is an exterior Border Gateway Protocol (eBGP).
The eBGP is a routing protocol used on the edge of autonomous systems (AS). It
calculates loop-free (or direct) paths across the internet by tracking the path in terms of
which AS it passes through. However, it does not track the “route” through individual
routers within an AS. To use eBGP, an operator must have a router that supports BGP
and a registered public AS number.
Routes learned via BGP use associated properties to determine the best route to a
destination. These properties are referred to as BGP attributes, and are used in the
route selection process.
Figure 1 – Private peering
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Private peering involves the two networks establishing a dedicated link between their two
networks (see Figure 1). Public peering involves more than two operators connecting at a
public peering point. Operators connecting at a public peering point are connected by a
shared transmission network (see Figure 2).
Figure 2 – Public peering
The advantage of private peering over public peering is that the two privately peered
operators are in a better position to agree on capacity upgrades needed on the link toavoid congestion, compared with multiple operators that interconnect at a public peering
point.
2.2.2. Indirect interconnection
As there are so many networks comprising the internet, it is impractical for networks to
directly interconnect with each other. As a result, larger networks may choose to offer a
“transit service”. This is a service for the delivery of packets across a network to IP
addresses which that network can “see”. A transit service provider configures the routing
table of the BGP router to advertise the IP addresses of the network to which it is
interconnected.
As set out in Figure 3 below, Network 4 has elected to be a transit network. It advertises
routes to Network 1, which include the IP addresses on Network 4 as well as the IP
addresses on Network 2. This means that Network 1 can “see” the IP addresses on
Network 2 and does not need to directly connect to Network 2 or enter into a commercial
arrangement with Network 2. On the other hand, Network 3 only advertises the IP
addresses on its own network to each of Network 1 and Network 2. Network 3 does not
offer a transit service.
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Figure 3 – IP transit
2.3. ANY-TO-ANY CONNECTIVITY
The internet permits any-to-any connectivity using IP addresses to locate internet users
from time to time. The domain name server system provides for word-based addressing
(for example, email addresses and web addresses), rather than users having to
remember large numbers of IP addresses. However, it is important to recognise that any-
to-any connectivity does not require direct interconnection. The multipath nature of the
internet means that any-to-any connectivity can be achieved without a requirement for
direct interconnection of any particular pair of networks. That is, a combination of direct
interconnection and transit achieves any-to-any connectivity.
Further, any-to-any connectivity does not create a terminating access bottleneck in the
same way that this occurs in fixed line networks. There are four reasons why there is not
a bottleneck problem:
• in relation to content, much content is either multi homed (that is, there is connection
between the web server and more than one IP network connected to the internet) or
the content is “mirrored” (that is, the content is stored in more than one place and
each web server is connected to a different IP network);
• the multipath nature of the internet means that there are a large number of potential
paths between individual IP addresses. Although ultimately each address is
associated with a single network, the multipath routing means that leveraging
termination is practically impossible;
• as set out in the next section, the basic charging model of the internet is pay to
download. This means that a significant change in internet charging would be
required in order to benefit from any ability to leverage termination; and
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• the users of the internet are not restricted to using any one IP network provider to
access services. This nomadicity contrasts with fixed line telephones and means
that users can access applications regardless of their IP address from time to time.
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3. INTERCONNECTION PRICING MODELS IN CURRENTINTERNET
In this section we set out the pricing models currently used in the IP interconnection
arrangements for providing internet services. We begin by describing the hierarchy of
internet access providers (IAPs) and internet service providers (ISPs) that exists in the
internet environment. We then set out the different interconnection pricing arrangements
between each of the participants in the internet value chain and illustrate how these
arrangements come into play to illustrate how costs are likely to be allocated for a
particular internet session.
3.1. OPERATOR HIERARCHY WITHIN THE INTERNET
The internet is characterised by an informal hierarchy of operators. While the technicaland operational arrangements for interconnection are reasonably standardised across the
internet, the commercial arrangements between two operators will depend on where each
of them falls within that hierarchy.
As a result, the direction of interconnection payments can switch as packets move along
the path to their destination.
The hierarchy of internet operators is set out in Figure 4.
This hierarchy is described by reference to tiers of operators:
• Tier 1 IAPs – Tier 1 IAPs (sometimes known as “backbone operators”) are large
telecommunications operators which have internet networks covering large
geographic areas (countries, regions or the globe) and have significant numbers of
points of presence (PoPs). Tier 1 IAPs interconnect with all other Tier 1 network
operators and do not use transit providers.
• Tier 2 ISPs – Tier 2 ISPs host some content and may have peering arrangements
in place with other Tier 2 ISPs. They usually have some network of their own,
although limited to a geographic region (e.g. the east coast of the USA) and they all
rely on purchasing some level of transit from Tier 1 IAPs to exchange messages
with out of region networks and content providers.
• Tier 3 ISPs – Tier 3 ISPs are purely re-sellers of internet access services, they
provide retail services to end customers but do not provide any wholesale internet
services. Tier 3 ISPs rely solely on interconnection arrangements to provide
internet services. They purchase transit from Tier 2 ISPs.
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Figure 4 – The hierarchy of the Internet
Retail customers purchase internet services from ISPs who may sit at any level in the
tiered hierarchy.
Each operator sets the criteria by which it will assess whether another operator
requesting interconnection is a peer. It does this in interconnection and wholesale
arrangements. However, the peer criteria set by individual operators at each level in each
country tend to coincide.
The three main criteria that determine peer status, particularly at the Tier 1 level, are:
• volume of traffic to be exchanged;
• geographic reach of network and number of PoPs; and
• backbone capacity.
Equivalence of traffic volume is not considered enough to treat operators as peers. A
regional operator in an urbanised area may have an equivalent volume of traffic to an
operator with a nationwide network, but if the two were treated as peers, the regional
operator would get access to nationwide transport for no or low charges.
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IP networks, which are directly connected, are not necessarily in the same tier. For
example, a Tier 2 ISP may directly connect to a Tier 1 IAP. However, this does not
elevate the Tier 2 ISP to Tier 1. All Tier 1 IAPs are directly connected to each other.
Separate hierarchies exist at sub-national, national, regional and global levels. Separate
hierarchies will exist within each country for domestic originated traffic to domestic hosted
content. However, for domestic originated content to content hosted in other countries,
which requires global internet connectivity, the national operators will interconnect within
a different hierarchy covering a larger part of the internet. An operator may be regarded
as a Tier 1 IAP in its own country but be considered a Tier 2 ISP within a regional or
global hierarchy.
3.2. BASIS OF CHARGING
In principle, there are three potential bases for charging for IP based interconnection:
• per port – which is a “take or pay” type of interconnection where the interconnection
bandwidth is agreed and the traffic actually transported is not counted;
• per packet – where the port is dimensioned to be greater than the forecast traffic
requirements and the packets which pass through the port are counted; and
• a combination of per port and per packet.
3.3. INTERNET PRICING MODELS FOR DIRECT INTERCONNECTION
The fundamental pricing principle at play in the current public internet environment is ”pay
to download”.
An important difference to interconnection in circuit switched networks is that ”receiving”
refers to packets of data in the internet, whereas it refers to a message in circuit switched
networks. Accordingly, for the purposes of the following discussion:
• “receiving network” refers to each network that pays to receive a packet from the
immediately preceding network along the path of a packet through the internet, and
not to the final network which connects the end user or content server receiving the
message; and
• “initiating network” (as in IPNP) refers to each network that pays to send a packet to
the next network along a packet’s pathway, and not to the network connecting the
end user or content server which sent the message.
As a packet moves forward along the path to its destination, each network that receives
data is charged as illustrated in Figure 5.
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Figure 5 – Receiving Party Network Pays
As we discuss below, the RPNP model is then overlaid with different approaches, which
apply to packets travelling in the reverse direction between the same two operators, so
that:
• between some pairs of operators, a settlement-based model is used to offset the
packets in both directions (usually with an “out of balance” buffer before offset
payments apply);
• between other operators, one operator, as well as paying to receive, also pays to
send in the reverse direction (that is, pays to download and upload); and
• in most cases, regardless of the direction in which the packets are being sent, if
those packets transit over multiple networks, transit will be paid for.
3.3.1. Interconnection between Tier 1 IAPs
The pricing arrangement between interconnected Tier 1 IAPs is usually settlement-based
direct interconnection. Although not entirely accurate, the pricing model applied between
interconnecting Tier 1 IAPs is often referred to as “settlement-free interconnection” on the
basis that it usually involves no payment by either party.
The earliest forms of interconnection between Tier 1 IAPs used BAK pricing, because it
was considered too hard to measure whether traffic was in fact balanced. As discussed
in Appendix A, “true” BAK involves no payments in either direction, regardless of
whether traffic is out of balance.
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Current pricing arrangements between Tier 1 IAPs rely on a measurement of the balance
of traffic between the interconnecting Tier 1 IAPs. This is done by smart routers between
the interconnected parties, which measure the amount of traffic flowing between the two
IAPs per minute. The data is compared at the 95th
percentile of results, to allow forspikes in traffic flow. The per minute data is then aggregated over a calendar month and
traffic is considered to be balanced, if the total traffic flows to each IAP from the other IAP
are equal or within 5% of each other. If traffic is balanced, then no party pays for
interconnection with the other party. If, however, traffic is not balanced, then the IAP that
has downloaded more data from the other IAP pays an amount to cover the cost of the
additional data downloaded, over and above what would otherwise have been a balanced
amount. The interconnecting Tier 1 IAPs also often agree that an additional buffer to
allow for an imbalance of more than 5% before payment will be required.
Effectively the payment obligations between the Tier 1 IAPs are still offset against each
other and payments are only made for the traffic imbalance between the two Tier 1networks. This charging model is illustrated in Figure 6 below.
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Figure 6 - Settlement-based interconnection where imbalance is offset
3.3.2. Interconnection between Tier 1 IAPs and Tier 2 ISPs
In interconnection arrangements between Tier 1 IAPs and Tier 2 ISPs, the Tier 2 ISP will
be able to offset the charge it would otherwise have recovered from the Tier 1 IAP (for
uploading to the Tier 1 IAP) against the amount it must pay the Tier 1 ISP. This is in
effect the same concept of offsetting payments based on imbalances in traffic as is
applied to interconnecting Tier 1 parties. However the difference is that traffic is measured
by counting all bytes, not just any imbalance at the 95th percentile, and no buffer for
differences in traffic flow is applied.
In this scenario, an incentive therefore exists, for Tier 2 ISPs to host popular (andtherefore valuable) content. The more users the Tier 2 ISP can attract to content hosted
on its own network, the cheaper the cost of interconnecting with the Tier 1 IAP becomes.
This, in turn, assists the Tier 1 operator to achieve balance with other Tier 1 IAPs.
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Figure 7 - Tier 1 and Tier 2 interconnection
3.3.3. Interconnection between Tier 2 and Tier 3 ISPs
As between Tier 2 and Tier 3 ISPs, the Tier 3 ISP will always pay for data it downloads
from the Tier 2 ISP. This is the case regardless of the amount of traffic flow, although
data flowing from the Tier 2 ISP to the Tier 3 ISP is always likely to exceed traffic flowing
in the other direction, given that the Tier 3 ISP has no content to host, and merely sends
retail customer requests for data or applications. For this reason, a Tier 3 ISP has no
opportunity to offset charges for any data it uploads to the Tier 2 ISP, against its charges
for downloading from the Tier 2 ISP. However, in the traditional internet environment, the
Tier 3 ISP usually recovers the entire retail charge for the service from the retail
customer.
3.3.4. Initiating Party Network Pays (IPNP)
The IPNP model involves a payment from the network of a party that initiates a message
to the network of the receiving party. The IPNP model is illustrated in Figure 8 below.
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Figure 8 - Initiating Party Network Pays to Send
This interconnection model is only used in the traditional internet wholesale
interconnection environment in the case where a Tier 3 ISP uploads data to a Tier 2 ISP.
However, this model is widely used in data messaging on mobile. In the mobile context,
this model is usually linked to the retail charging model. The initiating party’s network will
pay for interconnection services from the other networks over which a message passes to
reach its destination. This IPNP model also resembles the standard termination model
that applies in the fixed network and between fixed and mobile networks in most
countries.
This model tends to apply between backbone network providers and ISPs providing the
retail internet access service to end users. This model also tends to be used for
interconnection between content providers or content farms and internet backbone
providers. The content providers usually pay a flat capacity charge to connect to the
IAP’s network.
3.4. WHO PAYS FOR TRANSIT?
Transit interconnection is required when packets traverse one network, in order to reach
an IP address hosted on another network. Traditionally, transit providers have been paid
by the sending network. Where there is a chain of transit networks, each network will pay
the next network down the chain.
Settlement-based interconnection and settlement-free interconnection are not widely
applied in the context of transit. Transit will usually be charged even between operatorsthat regard themselves as peers (although some of the largest Tier 1 operators may also
provide domestic transit on a settlement-free basis). International transit is usually
charged, particularly for transit to the US, given the costs operators face in provisioning
international capacity to allow access to US content (which continues to account for most
content on the internet).
The transit network is providing a wholesale IP carriage service. Specialist backbone
providers supply transit services to connect retail ISPs or regional IAPs to content
providers or to other networks.
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3.4.1. Multiple charging models applied in a single internet session
While an end user is engaged in a single internet session, such as browsing the internet,
packets will be flowing in both directions. When the end user clicks on a web link,outbound packets will be sent to the IP address and inbound packets will bring back the
content to display the web page on the end user’s screen. This process occurs as a
series of, what can be referred to as, hops between ISPs and ASPs and is outlined in
Figure 9.
Figure 9 - Paths across multiple operators
It is in this scenario that all of the traditional internet interconnection pricing models come
into play at different stages of the process. Figure 10 further illustrates this point.
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Figure 10 - Current internet charging models
From this diagram it can be seen that the interconnection charging arrangements apply
separately to the outbound and inbound streams. The red arrows show the flow of data
that is sent when the retail customer clicks to download content from a particular source.
The click, being an instruction to send data back to the customer, is itself data consisting
of a minimal number of bytes that must be sent to the content source requesting delivery
of the content. The blue arrows show the flow of data that is sent in response to the retail
customer’s request. That is, the blue arrows indicate the path of the bytes of data
containing the content that the user requested. This will be a larger amount of data than
the original request. While in this specific session this is likely to cause a traffic
imbalance, generally, balancing is done on an aggregate basis. However, this scenario
illustrates how traffic imbalances occur if multiple transactions of this type occur regularly.
The direction of interconnection payments also will change as a packet moves up one
side and down the other side of the internet hierarchy, as depicted in Figure 5 and Figure
8. This is illustrated in Figure 11 for an instruction packet from an end user to a content
server.
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Figure 11 - Payments for a data request in a packet switched environment
This is in contrast to the circuit switched environment, in which, once the retail provider is
identified, interconnection payments all flow back in the one direction up the chain of
interconnected networks to the retail provider, as illustrated in Figure 12. The illustration
is based on an initiating party pays (IPP) model. In a receiving party pays (RPP) model,
the flow of payments would be in precisely the opposite direction.
Figure 12 - Payments for a call in a circuit switched environment
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3.5. WHAT IS PAID FOR?
Where a charge is payable for either interconnection between the originating and the
terminating network or for transit, it may be calculated in a number of different ways.6
The charge may be on a per packet basis, which results in a traffic-sensitive payment.
Alternatively, the payment may be a capacity fee, usually expressed as a port fee, which
in effect is a “take or pay” arrangement. The interconnection fee also may be volume
based.
3.6. CURRENT TECHNOLOGY SHAPES INTERCONNECTION CHARGING MODELS
Applications of settlement-free interconnection (BAK) between the originating and the
terminating network were mainly driven by the technical limitations of the current IP
environment (that is, the internet a decade ago), because early interconnected networks
were operated by research and academic institutions which had no billing systems. As a
result, there was no demand for router manufacturers to facilitate counting of exchanged
packets. Further limitations include:
• as the terminating network is only undertaking to deliver packets on a best efforts
basis, the initiating network is reluctant to pay for a packet that may never be
delivered or is delivered late;
• as the packets comprising a single message are routed over multiple paths, sending
charging records back to the sending operator would be a complex exercise;
• as the pathway for packets is not set up in advance, the sending or receiving
network will not necessarily know which other networks will be involved in providing
interconnection services;
• as the internet only provides for a best efforts service quality, interconnection
charging would involve paying for packets which may be dropped or delayed. TCP/IP
will make several attempts to resend failed packets and BAK means that operators
do not pay multiple interconnection charges fro delivery of the same message
content;7 and
• the internet is not capable of identifying the origin of packets or billing back up the
chain to the originating operator or down the chain to the receiving operator.
6 The regulatory discussion often compares settlement-free interconnection (BAK) to “calling party network pays”,
where two regulated versions of the latter model are considered: Element Based Charging (EBC) and Capacity
Based Charging (CBC). Both EBC and CBC are based on cost-based charging. In commercially negotiated
CPNP agreements, the parties are of course not constrained to use cost-based EBC or CBC.
7 As a practical matter, modern routers (even state of the art routers) count all packets exchanged between
interconnected networks and do not differentiate between packets being sent for the first time and those being
resent because of a failed attempt.
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Our discussion in Appendix A sets out some of the differences between circuit switching
and packet switching.
Table 2 further summarises the differences between circuit switched and packet switchedenvironments, which are key to understanding the differences in retail and wholesale
services provided in each and to understanding the business models that underpin these
services:
Table 2: Differences between circuit switched networks and packet switched networks
Circuit switched Packet switched
Retail charging
model
Mainly initiating party pays, with some
countries using receiving party pays for
specialist fixed calls (e.g. 800). Receiving
party pays applies to calls to mobiles in
some markets
End user usually pays to upload (initiating
party pays) and pays to download
(receiving party pays).
Basis of retail
charging
Each discrete ”session” by an end user, in
the form of a call or SMS, is charged
separately.
• End users charged on total volume of
packets (e.g. megabytes) over a
period of time, regardless of
individual sessions.
• Some shift to session-based
charging (e.g. rate per 30 minute
usage period).
Type of
interconnection
Direct interconnect with indirect
interconnection/transit most limited to
international services
Direct interconnection between peers but
also substantial use of indirect
interconnect/transit as it is not feasible for
the vast number of networks composing
the global internet to directly interconnect
with each other.
Interconnection
charges
• Mainly IPNP (including settlement-
based interconnection).
• RPNP for some services (e.g. 800).
• BAK for some fixed services and in
some countries for calls to mobile.
Mainly RPNP (downloading charges), with
settlement-based interconnection between
peers.
Interconnection
pathway
Single dedicated pathway comprising
circuit through which signals pass in both
directions
• Inbound and outbound packets travel
in different streams.
• Packets comprising the inbound or
outbound message usually will travel
over multiple inbound or outboundpaths.
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Circuit switched Packet switched
Direction of
wholesale charging
Messages flow in both directions (e.g. two
way call), but interconnection charges flow
in one direction. Interconnection charges
flow up the chain of interconnected
operators to the retail provider of the
service
• The outbound and inbound packet
streams are separately charged for
interconnection purposes.
• Within each stream, there is no
consistency in direction of
interconnection charges. The
direction of charges which apply
between two adjacent networks
along a packet’s pathway will depend
on the commercial arrangements
between the operators (and their
relative positions in the hierarchy of
the internet). When passing a packet
onto a network, some operators
along the packet’s pathway may pay
to send, some may pay to receive
and some may offset against packets
received in the revenue direction. As
a result, interconnection charges not
set are passed back up the chain to
the retail provider of the internet
service.
Charges for transit, on the other hand, have been easier to implement in the current IP
environment. Each network, at its Border Gateway, is able to recognise whether a packet
presented by a directly interconnected network has an IP address that is hosted on its
network or on another network. The receiving network can choose to refuse to accept
packets to IP addresses not hosted on its network, or allow the packets to transit its
network on the way to the ultimate address. If the receiving network does allow transit, it
can charge the network that passed it the packet. This charge is imposed even if the
destination network loses that packet and requests the packet to be resent.
The existence of signalling and inter-carrier billing systems in the circuit switchednetworks avoids many of these problems and provides more options for commercial
charging arrangements between interconnected networks. The original designers of the
internet intended to keep its architecture simple and therefore did not build in similar
signalling superstructure. Therefore, to a large extent, interconnection models which
currently prevail on the internet are shaped by its technical limitations.
While the current architecture of the internet was suited to its not for profit origins, as we
discuss in the next section, technological developments will support the capability to
support differential quality of service offerings and a more diverse range of retail and
interconnection billing arrangements. This raises questions about whether current IP
interconnection models will be appropriate going forward.
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4. THE CHANGING WORLD OF IP
4.1. INTRODUCTION
In this section we describe the features of a stand-alone NGN and then consider how
NGNs may interconnect. The section will draw out the two main differences between IP
interconnection in the current best efforts internet environment and in the future NGN
world, these being:
• the additional demands of IP interconnection to support quality of service (QoS) on
an end to end basis; and
• the capability to support inter-operator billing, that is, tracking and valuing where a
packet travels and linking inter-operator billing to the value of the series of packetssent.
We use the IPX developed by the GSMA as an example of the developing models of a
more sophisticated form of IP interconnection.
The increasing requirement for differential QoS transport arises from the variety of
applications that will be provided over packet switched networks. For example, both
voice and video require higher QoS than email or web surfing. On the other hand, it is
technically inefficient to create networks which are solely QoS transport enabled, if the
users of that network will have some needs which are met by a best efforts solution.
Instead, the network must be responsive and adaptive to the consumer needs and, inmany cases, without consumer intervention. That is, the QoS requirements will, in the
main, be determined by the application and a subsequent consumer decision as to the
service priority.
4.2. NEXT GENERATION NETWORKS
4.2.1. Introduction
The International Telecommunications Union defines an NGN as follows:
A next-generation network (NGN) is a packet-based network able to provide
services, including telecommunications services, able to make use of multiple
broadband, QoS-enabled transport technologies, and in which service-related
functions are independent from underlying transport-related technologies. It
offers unrestricted access by users to different service providers. It supports
generalised mobility, which will allow consistent and ubiquitous provision of
services to users.
The European Telecommunications Standards Institute takes a similar view:
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No single definition of NGN exists so far (and indeed is unlikely ever to exist), but
it is generally acknowledged that its architecture relies on a few general
principles: a shared core network for all access and service types, packet-based
transport technologies, open standardised interfaces between the differentnetwork layers (transport, control and services), support for user-adaptable
interfaces and variable access network capacities and types.
Importantly, the NGN is always a packet-based network and this means that the packet
switched analysis set out in the previous two sections can be applied to NGNs. Further,
an important aspect of the NGN is its support for quality of service enabled transport
technologies.
While NGN will gradually replace circuit-switched networks, the public internet will exist
alongside NGNs – and compete with NGNs for many services.
4.2.2. NGN architecture
NGN architecture supports a range of quality service parameters (discussed in
Appendix A) and consists of four planes which, in order from the end user interface, are
the:
• access plane: this represents the direct interface between end-users and the rest ofthe network;
• transport plane: the IMS forms the core of the transport plane;
• control plane: this is analogous to the signalling system in a circuit switched net-work; and
• service plane: this contains services which can be applied to the lower planes inorder to create products. This plane does not have an analogy in conventionalnetworks but has some comparable functionality to the Intelligent Network.
The access and transport planes form the next generation transport mechanism. Thecontrol and service planes form the next generation services. These are illustrated inFigure 13.
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Figure 13 - Planes
4.3. QUALITY OF SERVICE
The relevance of particular quality of service parameters to specific services is explained
in further detail in Appendix A. The quality of service required in each case will depend
on the application being used and or the consumer’s willingness to pay for increased
priority.
Quality of service is achieved in an NGN through a process depicted in Figure 14 below.
A QoS service path with consistent parameters is created through the network alongwhich packets comprising the message with the QoS commitment then travel (see
Appendix A.4 for a discussion of the key service parameters, such as jitter, latency and
packet loss). This process comprises the following elements:
• packet labelling: packets to which a particular quality of service must attach are
labelled, or assigned a priority. For example, for an IP television service, preventing
jitter and packet loss is key to the consumer’s experience. Packets associated with
this application will be given the highest level of priority;
• service plane and control plane communicating with routers to create QoS
paths: the control plane and service plane in an NGN will create multiple QoS pathsfor packets with similar labels. The service plane provides the path module and the
control plane instructs the routers along the QoS path to prioritise packets according
to their priority labels. QoS paths are not dedicated capacity paths. They are only
created for the duration of the transfer of labelled packets;
• customer premises equipment: the customer premises equipment (CPE) must be
able to respect and apply packet labelling so that it can send packets, and label
packets it sends, with particular QoS priority levels, and so that it can receive
packets labelled a particular priority; and
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• billing for QoS: In an NGN environment, the networks involved in carrying the
prioritised packets along their path are known and it is possible to establish
cascading billing arrangements that support either IPP or RPP charging models and
recompense each network on actual, not estimated, averaged or balanced trafficflow.
Figure 14 - Establishing a QoS path
4.4. NGN INTERCONNECTION
Typically, NGN interconnection will require specific applications to be associated with
QoS parameters, to ensure that they are delivered both within a network and across
networks in a uniform and predictable manner. That is, the mechanisms used to create
QoS enabled transport paths within an NGN will need to be used between NGNs and
respected by interconnecting NGNs to permit effective and efficient interconnection.
In order to provide this level of predictability, IP interconnection will require routing and
prioritisation of packets between networks on a consistent and seamless basis. That is,
interconnected IP networks will need to agree on QoS parameters and also agree on the
way in which they will respect the labelling of packets. The labelling provides the required
parameters for QoS and these parameters will need to be respected by all of the
interconnecting networks. In turn, the interconnected networks will need to agree on an
appropriate billing mechanism for the transfer of those QoS parameters.
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Although the protocols used in IP networks permit and encourage multipath delivery, as a
practical matter there is a strong likelihood that all of the packets in any particular data
stream will, in fact, follow the same route. Indeed, in constructing an IP network, network
operators may seek to achieve this outcome in order to facilitate high levels ofrepeatability in respect of latency and jitter. The use of MPLS described above has also
encouraged this phenomenon. However, this practical outcome does not affect the
requirement to exchange QoS parameters and to respect QoS requirements. Rather, it
indicates that implementation of QoS transport is readily achievable.
The outcome of the establishment of a QoS path across multiple networks is set out in
Figure 15 below.
Figure 15 - Interconnection of multiple networks with QoS path
Creating a QoS path does not determine the direction of charging for wholesale or retail
services. Indeed, it is the implementation of QoS enabled transport services, by way of
labelled QoS paths, which supports calling party pays and receiving party at the retail
level and calling party network pays, receiving party network pays and bill and keep at the
wholesale level. That is, QoS paths permit a range of charging models which are notavailable in the current internet with its differential tiered charging.
4.5. IPX
The GSM Association has developed a series of specifications for a commercially
competitive IP transit network, which will permit the interconnection of IP networks
operated by mobile operators and fixed operators, as well as applications and content
service providers. In order to ensure that the appropriate quality of service parameters
can be associated with traffic crossing this network, latency, jitter and packet
loss parameters are specified. Additionally a security architecture is specified.
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The IPX represents an international QoS transport enabled IP transit network. It is likely
to form the heart of international IP connectivity for many mobile network operators
(MNO). However, it is not the only form of interconnection and is likely to be
complemented by bilateral IP interconnection both between domestic IP networks andinternational partners. Some operators, with a presence in a number of countries, may
interconnect to create an internal network with IPX properties, and this aggregated
connection may then interconnect with the IPX or form bilateral interconnections. These
decisions will be based on appropriate traffic management, based on the services and
applications used by consumers and the QoS parameters that are associated with them.
The form of the IPX is set out in Figure 16 below and this has examples of bilateral, as
well as multilateral, interconnection.
Figure 16 - IPX
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The GSMA conceives of the IPX as being a transit network, built up from IP networks,
provided by competitive suppliers and interconnecting with any operator that wishes to
implement international IP transit at specified QoS levels. It is not expected that the IPX
will replace bilateral interconnection agreements (particularly between operators within asingle country). However, the IPX could also provide very cost effective access to
common content and applications on a global basis. Further, it is likely that smaller
operators will use the IPX as a mechanism to interconnect with legacy services (for
example, circuit switched services) during the migration to all IP networks.
Another way to consider the IPX is that the IPX provider assembles the IPX by acquiring
QoS enabled transport capacity for a number of network operators. Each operator
contracts with the IPX provider (which may also be a network operator). As a result, the
wholesale costs are known for all combinations of quality and quantity of traffic. Further,
the IPX operator can dimension the networks to ensure that the traffic capacity
requirements are met. In effect, the IPX operator functions as a QoS capacity hub and abilling exchange. This is set out in Figure 17.
Figure 17 - Alternative view of IPX
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The IPX is able to provide “cascading billing”. Each of the IPX network providers can
identify the QoS paths created over their network segments. The establishment of the
QoS path gives the connectionless system some of the characteristics of connection-
oriented systems that facilitate the collection of billing data. Each IPX network providerknows the quantity of data (time, volume or events) at each QoS level that it has
transported, and the operators on behalf of which that data has been carried. This means
that the IPX providers can bill on the basis of quantity and QoS colour to each of the
interconnected networks that are sending traffic and recompense the networks which are
carrying traffic based on the quantity and quality of the traffic conveyed.
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5. DETERMINANTS OF EFFICIENT IP INTERCONNECTIONFEES
5.1. INTRODUCTION
This section sets out the economic framework for determining efficient interconnection
fees and for a detailed comparison of alternative charging models which we undertake in
section 6.
The analysis proceeds as follows:
• Section 5.2 explains the tools we will use in our analysis, economic efficiency and its
market outcomes.
• Section 5.3 applies the analytical tool of economic efficiency to the question of who
(if anybody) should pay for interconnection. We describe the role of interconnection
in generating efficiency, the determinants of efficient interconnection – including
considerations QoS context – and the detriments if an inefficient model is imposed.
• Section 5.4 considers the efficiency of applying different interconnection models in
parallel, e.g. applying different models between different networks.
• Section 5.5 provides some concluding remarks.
5.2. THE MEANING OF ECONOMIC EFFICIENCY
Economic efficiency is the touchstone against which we assess interconnect charging
models. This section sets out what we mean by this term and explains how it relates to
concepts of consumer welfare and competition.
By way of summary, economic efficiency has three components: productive efficiency,
allocative efficiency and dynamic efficiency. They can conflict, and must be balanced.
Efficiency is a precondition to maximizing welfare, since it delivers consumer benefits
(such as lower prices and better range of services), producer benefits (such as
investment incentives and the recovery of outlays), market operation benefits (such as the
elimination of inefficient arbitrage) and regulatory benefits (minimising costs of regulation).
Competition is a critical tool to promote efficiency.
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5.2.1. Components of efficiency
Economic efficiency has three components:
• Productive efficiency: Productive efficiency means that goods and services are
produced at least cost. This requires both that the production process be technically
efficient (that is, that the maximum amount of output is produced from a given
amount of inputs using a given technology) and that, among the variety of technically
efficient ways that may be available, the approach employed is that which is
associated with the lowest input costs at prevailing input prices.
If, for example, regulation induced bypass behaviour that involved the use of
technologies or networks which are not the least-cost solution (e.g. taking advantage
of arbitrage implied by regulation in some geographies by routing traffic indirectly),
then productive efficiency would not be achieved.
• Allocative efficiency: Allocative efficiency requires that all resources available to
the economy are employed in the use that generates the greatest value to society.
In an IP interconnect context, this means that the aggregate value to consumers of a
message must exceed the cost of its provision.
• Dynamic efficiency: Dynamic efficiency embodies the inter-temporal (that is,
through time) aspects of efficiency. It requires that firms have appropriate incentives
to invest and to innovate and that the use of resources is allocated optimally over
time. That is, in a telecommunications context, potential investors intelecommunications infrastructure (e.g. NGN) must have an incentive to invest as
long as their investment would generate a positive value to society.
The components of efficiency can conflict. Since allocative efficiency is maximised when
the incremental costs – rather than the average costs – of providing a service are just
covered, this cannot be dynamically efficient in a situation where providers need
additional revenues in order to recover fixed costs. Due to these potential conflicts,
economic efficiency should be evaluated based on a reasonable balancing of the three
efficiency components, in the circumstances of the relevant industry (e.g. existence of
high fixed costs).
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5.2.2. Relationship to consumer welfare and competition
Efficiency is a precondition to maximising economic welfare: a more efficient market
outcome will generate a higher net income to society.
8
Economists typically distinguishbetween the welfare of consumers (of the goods or services in a particular industry) and
producers (in this industry), which in their sum represent total welfare. In many practical
circumstances, policy recommendations based on maximising total welfare will be
identical to those based on maximising consumer welfare, because practices or
circumstances which reduce consumer welfare typically also reduce total welfare.9
Hence, in most practical circumstances, it is reasonable to assume that consumer welfare
is improved when a given market inefficiency is remedied.
The concept of competition is not directly equivalent to efficiency or to welfare. Rather,
competition is a tool to achieve allocative efficiency and to promote productive efficiency.
Similarly, competition can stimulate innovation and investment and hence promotedynamic efficiency. While competition can in many situations assist in improving
efficiency, it is not an end in itself – ultimately market outcomes and policy interventions
must be measured against the criterion of efficiency.
5.2.3. Market outcomes of economic efficiency
Allocative, productive and dynamic efficiency lead to the following tangible market
outcomes, which can be expected to be observed when markets are operating efficiently.
Later in this report (see section 6), we refer back to these factors to test whether
particular interconnection models are consistent with these efficient market outcomes.10
Consumer benefits
1. All customers are served for whom the total benefit of having them on the network is
greater than the cost
8 Economic efficiency does not necessarily imply that all members of the society are better off under a more
efficient outcome. Hence, efficiency analysis gives guidance on models and approaches that maximise the
overall income potential of society. Additional policies can then be applied to alter the distribution of the
outcome if deemed necessary.
9 An exception is price discrimination which can be efficient (and hence maximise total welfare) even if in some
circumstances it reduces consumer welfare.
10 Efficient market outcomes are also reflected in regulatory statutes, for example those of the European Union.
The European Commission requires national regulators within its Member States to take all reasonable
measures which are aimed at achieving the following objectives: [1] promote competition in the supply of
communications networks, electronic communications services and associated facilities and services by inter
alia: (a) ensuring that users derive maximum benefit in terms of choice, price, and quality; (b) ensuring that there
is no distortion or restriction of competition in the electronic communications sector; (c) encouraging efficient
investment in infrastructure, and promoting innovation; and (d) encouraging efficient use and ensuring the
effective management of radio frequencies and numbering resources; [2] contribute to the development of the
internal market; [3] promote the interests of the citizens of the European Union. Article 8 of the Framework
Directive (http://eur-lex.europa.eu/LexUriServ/site/en/oj/2002/l_108/l_10820020424en00330050.pdf).
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2. Full range of services demanded by customers is provided including innovative new
services11
3. Differential QoS is available that matches customer demand
4. Individual messages are sent if and only if the total benefits to the initiating and
receiving customers are equal to or exceed the incremental cost of the messages12
5. Low prices, provided that prices cover the long-term costs of providing services
efficiently13
Network operator impacts
6. Efficiently-incurred operating costs are recovered14
7. Operators have the incentive to undertake efficient investment and innovation15
8. Interconnection arrangements are available which allow services to be provided in
line with consumer demand (e.g. end-to-end QoS)
Market operation benefits
9. Efficient competition is promoted and inefficient arbitrage16 is avoided
11 This also includes that services are available at all locations where consumers are willing to pay for the cost of
service provision. The availability of a broad range of services is usually considered a benefit by competition
authorities and regulators, although situations exist where, from an economic welfare point of view, variation is
excessive. This can occur, for example, where firms excessively differentiate their services in order to avoid
tough price competition.
12 Efficiency is improved if the interconnection regime ‘weeds out’ messages where the aggregate benefit (across
sending and receiving parties) falls short of the resource costs of sending it. For example, in the case of spam
messages that impose a cost on the receiver, an efficient charging regime would ensure that these messageswould not be sent unless the charge to the sender covered the cost imposed on the receiver (in addition to
network costs). Economists refer to this as internalisation of externalities.
13 The price structure might also be relevant for consumer welfare (e.g. it is often argued that consumers prefer
bucket plans), even though the availability of certain price plans might involve higher prices (e.g. a risk premium)
14 Unless operating costs are covered service providers have no incentive to serve customers even in the short
term.
15 Efficient incentives for investment and innovation require appropriate returns. Providing incentives to invest in
networks ensures that services (including new services) are available in the future, and that suppliers make
efficient choices between building and buying, in providing those services. Innovation encompasses process
innovation, which leads to future cost reductions, and product innovation, leading to improved range and/or
quality services.
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10. Costs are minimized by efficient network usage and call routing, including packets
being handed off at economically efficient point
11. Changes in interconnection charging models are made if and only if the benefitsexceed the transition costs
Regulatory benefits
12. If regulation is applied, regulatory administration and operator compliance costs are
minimized
The relationship between allocative, productive and dynamic efficiency, and the tangible
market outcomes listed above, is as follows:
•
Allocative efficiency directly promotes consumer interests, as it ensures thatproducts are available which consumers care about. Another aspect of allocative
efficiency is that markets operate smoothly (e.g. there is no arbitrage, institutions –
such as interconnection regimes – are adopted in an efficient manner and changed
only if the benefit of the change exceeds transition costs) and that operators have
appropriate incentives to provide the services that consumer want (e.g. QoS).
• Productive efficiency ensures that costs are minimised (in production but also
through avoiding unnecessary regulatory costs) and eventually contributes to
consumer benefits (low prices).
•
Dynamic efficiency ensures that consumer interests are optimally served also in thefuture (e.g. available of services at reasonable prices) and that operators have
incentives to invest such that this can occur.
These efficiency effects on consumers, network operators and market operation are
highly intertwined. Some inefficiencies directly generate detriments to consumers (e.g. if
the retail price that is implied by a specific interconnection model may lead to demand for
making particular messages being too high or too low), which then affect operator
benefits and market operation through an inefficient pattern of consumer demand. Other
effects might include distorted investment incentives, which also lead to markets not
operating efficiently and thus ultimately to consumer harm. Consequently, an
interconnection regime that performs poorly with respect to one of the above criteria willtypically also not perform well on several others.
16 Arbitrage occurs when market participants exploit price differentials in the market – for example, to circumvent
levies on some services by switching to other services. Where such switching would be inefficient (that is, the
bypass involves higher resource costs), it would normally be prevented by market mechanisms. However, when
charges (or the lack thereof) are imposed by regulation, then the market loses the flexibility to address inefficient
arbitrage. Hence, regulatory intervention is less effective – and might induce productive and allocative
inefficiency – if it encourages inefficient arbitrage. The net welfare benefit of arbitrage depends on the benefit
that regulation would have if arbitrage were prevented. If regulation were ill-designed or applied without need,
then it would be likely to harm consumer interests. In turn, arbitrage could prevent some of this detriment.
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In the remaining sections of this report we refer to these market outcome implications of
efficiency in describing the consequences of distortions that alternative interconnections
might cause and identify the circumstances in which these inefficiencies are avoided or
minimised. We also employ these criteria in the comparison of IPNP, RPNP and BAK insection 6.
5.3. WHO SHOULD PAY FOR INTERCONNECTION?
This sub-section sets out our analysis of the fundamental question of interconnect: based
on the efficiency criteria above: who should pay ?17 We consider this question both for
direct interconnect (that is, between an originating and a terminating network) and for
transit arrangements.
The analysis below proceeds as follows. We start by describing the economic role of
interconnection fees, which follows from the characteristic that messages are jointly
consumed by the initiating and receiving parties. This consideration implies that efficient
interconnection arrangements must follow from how the costs of providing the service
should be allocated between these retail customers. We then derive the determinants of
efficient interconnection in two steps:
• By first setting out factors that determine an efficient retail pricing model; and
• Then identifying what the efficient retail model, in conjunction with network costs,
implies for efficient direct and transit interconnection charges.
Finally, we discuss the welfare consequences of inefficient interconnection models for
consumer welfare.
The key conclusions from this section can be summarised as follows:
• The question of who should pay whom in direct interconnection, and who should pay
for transit, is determined by two factors: the efficient retail pricing model (which
interconnection charges must sustain) and network costs. Examining the retail layer,
who pays whom is most efficiently answered by how the benefits of the message are
shared, because messages are jointly consumed by both initiating and receiving
parties. Because retail and cost conditions vary across markets and networks, there
is no “holy grail” single interconnection model that maximizes efficiency in all
situations, and dual models may exist for direct and transit interconnection (with
different models each operating in parallel).
17 Two other fundamental questions related to efficient interconnection models – What should be paid for?
(efficient unit of charging) and How much should be paid? (level of cost recovery in interconnection charges) are
discussed in Appendix B.
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• QoS provision does not in principle change how efficient interconnection fees should
be deducted; however, because of the higher costs of providing high quality
services, the distortions associated with applying an inefficient model in a QoS
context will increase. This implies that in a QoS context it will be even moreimportant to optimise the interconnection model to specific cost and retail
circumstances.
• If interconnect charging is inefficient, consumer welfare suffers. If a network’s costs
are not recovered, then network operators will target some customers and avoid
others, and may structure their networks to hand over ‘hot potato’ traffic at inefficient
points of interconnect. There may also be underinvestment in network scope and
quality.
5.3.1. The economic role of interconnection charges
In many markets, economic efficiency requires that the prices, which intermediate and
end producers charge (that is, wholesale and retail prices), are merely reflections of their
variable costs – and, in some cases, reflect the recovery of fixed costs in a way that
minimises distortions to consumption.
However, in the case of message services, efficient retail prices as well as
interconnection fees have the additional role of distributing the charges paid by two types
of end customers: the initiating and the receiving party of a message. This role arises
due to the fundamental character of messages that are jointly consumed18 – and where
all costs are jointly caused – by both the initiating and the receiving party. Hence, the
economic role of interconnection fees is to encourage the originating and terminating
networks to charge their retail customers in a way that reflects an efficient allocation of
retail prices between these customers, so that messages are initiated whenever their
combined value to both customers exceeds the total costs of service provision.
The mechanism through which interconnection payments influence retail charges, follows
from the incentives that interconnection fees imply:
• Interconnection fees paid by an operator represent incremental costs that the
operator will need to recover through retail charges. Hence higher interconnection
fees increase the price that a network has to charge its retail customers in order to
recover its costs.
• Interconnection revenues received by an operator reduce the share of incremental
costs that an operator needs to recover from customers.
18 Point to point messages such as calls, emails or SMS can either generate joint benefits for the sending and
receiving parties or can generate disutility for the receiving party, for example in the case of spam. As a further
example, a data download might benefit the initiating party (access to data) and the receiving party – the content
provider (e.g. through higher advertising revenue).
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The retail charges, which are implied by the recovery of interconnection payments and
other network costs, then set the incentives for retail customers to exchange
messages.Consequently, efficient interconnection fees can be determined in two steps:
• The requirements of efficient usage of message services determine which retail
charging model (the level and structure of retail prices) is efficient;
• The efficient retail model in conjunction with the cost distribution among networks
determines the efficient interconnection fee.19
The determinants of efficient interconnection and the process of deriving the efficient
direction of interconnection payments are illustrated in Figure 18 below.
Figure 18 - Determinants of efficient interconnection
5.3.2. Determining the efficient retail model
The role of efficient retail charges is to generate funds sufficient to cover the resource
costs (including remunerating for investment risks) associated with the provision of the
service, but to do so in a manner that leads to efficient consumption of messages.
Because messages are consumed by more than one consumer, efficient use of
messages (that is, calls, emails, downloads, web searches etc.) requires that retail
charges allocate the resource costs such that customers initiate calls whenever the
aggregate benefit of the call (to the initiating and the receiving party) exceeds the costs of
providing the message. This involves consideration of the joint consumption property, as
well as taking into account whether the message – or subscription decision – also
benefits third parties (that is, parties other than the initiating and receiving party).
19 This implies that the relationship between retail charging models and interconnection models is determinative in
the sense that a given retail charge under a given distribution of costs among networks (and otherwise given
retail market characteristics) implies that a specific direction and level of the interconnection charge is efficient.
However, because network costs, their distribution among networks and retail characteristics of services (e.g.
the relative demand for services) vary across countries, the same retail charging model can be used in
conjunction with different interconnection models across countries or across different services in the same
country.
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Message externalities – the role of joint consumption of messages
From the fact that messages are jointly consumed, by the sending and the receiving
parties, follows that either or both of those parties may derive benefit from the messaging,
with the share of benefit varying between types of messages and groups of consumers 20
In order to achieve economic efficiency, the retail charging model should ensure that
messages are only exchanged when it is efficient – in other words where the aggregate,
shared benefit exceeds the resource costs of sending the message. For this to occur the
benefit to the receiving party would need to be factored into (or “internalised” in) the retail
price paid by the initiating party – otherwise that party may not initiate the message at all.
If this leads to the initiating party paying less then the cost of the message, then the
receiving party must also be charged to ensure cost recovery.
Consequently, the efficient retail model for different circumstances is as follows:
Benefiting party Example Who should pay
Initiating party Telemarketing calls, spam emails Initiating party
Receiving party Toll-free customer order number Receiving party
Both parties (shared benefit) Messages conducting mutually beneficialbusiness transactions or socialinteractions
Both parties if funds reflectingthe willingness to pay of bothparties is required to covercosts. Otherwise, payments byone party may lead to efficientresults, too.
In the last case, where the benefit is shared, there is no single efficient solution to the
question of who should pay. Pricing according to the benefit each party derives from the
message, constitutes one efficient retail price option. Even if the benefit is shared,
efficient market outcomes can be achieved if only one party – for example, the initiating
party – pays for the message. This can occur where a charge levied only on one party is
sufficient to cover all costs but low enough to ensure that beneficial message exchange
occurs.
There are two situations in which the distribution of charges between retail parties does
not influence the market outcome.
First, the allocation of charges does not change incentives to initiate messages, if the
retail parties compensate each other through direct payments (e.g. in the case of a video
download where the party requesting the download pays a fee). These direct payments
between retail parties can be structured in a way to compensate for payments made to
network providers (e.g. the download fee is likely to reflect payments that the content
provider makes to its host for sending the content).
20 Where advertising is involved at the retail level, this could affect the efficient distribution of benefits from the
message between the originating party and the terminating party (e.g. a content supplier who receives a
download request could be receiving advertising revenues for each download). Hence, ‘benefits’ in the main
text should be understood as all benefits (that is, including advertising revenues) that accrue to retail customers.
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Second, retail parties might have non-monetary means to compensate each other. In
many cases, the retail parties’ interaction extends beyond the exchange of a single
message. Repeated interaction can ensure that, regardless of which party initially pays
for a message, benefits will ultimately be balanced through other forms of compensation(e.g. alternating calls or other rewards for beneficial messages) such that messages are
exchanged when it is efficient.
In practice, network operators face the problem that they do not know the precise
valuation of each message to the sending and receiving parties, and these valuations
might vary from message to message. Hence, in reality the best performing retail model
can only be one which is efficient within the dual constraints of limited information and the
need to set low prices to compete effectively.
The retail model that is efficient in this more realistic context, is the model which
generates the greatest welfare benefit through the quantity and type of message traffic itinduces. As a consequence of the fact that messages are jointly consumed, the
distribution of charges between initiating parties and the receiving parties in an efficient
retail model depends on:
• the distribution of benefits between initiating and receiving party relative to the
charges that they bear for typical messages;
• whether and in what message contexts the parties can compensate each other in
other ways for the costs or benefits that that they impose on each other (“negative or
positive message externalities”) via repeated interaction (e.g. alternating who
initiates a message) or other aspects in their relationship (that is, punishment orgratification);
• additional sources of revenue, such as advertising, and which network operator
earns them (i.e., particular 2-sided market effects); and
• customer acceptance – customer aversion against any particular retail pricing model
might reflect a reluctance to adjust to an unknown model; however, it might also
reflect a belief that this model will not “work in their interests” including if the model is
perceived to work inefficiently.
Evaluated against the background of the variety of retail situations, these criteria suggestthat there will not be a one-size-fits-all retail model. Indeed, this is likely to explain why
multiple retail charging models tend to co-exist. In traditional voice calls, payments are
typically made by the initiating party (with the exception of some services and countries
where receiving party payments appear to be driven by the need to accommodate
interconnection regulation), whereas in Internet services payments for download tend to
dominate (with the exceptions discussed in section 3). The variety of retail models is
likely to increase in an NGN environment, where an even larger variety of services will be
offered on a single technology, probably with further variety in the distribution of benefits.
In particular, in an NGN world, payments by the initiating party of calls will be likely to co-
exist with payments for downloading content (which is also a payment by the initiating
party of the message, but involves mostly data transfer from the receiving to the initiating
party, whereas a VoIP call involves data transfer in both directions). This variety is likely
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to constitute an efficient response to the differences in demand characteristics of the
variety of services that will be offered.
Subscriber externalities
A different type of externality, with implications for retail charges, are subscriber
externalities. These exist when an individual’s decision to join a network benefits other
retail customers, who are now able to exchange messages with that individual.
This type of external effect may:
• be limited to on-net subscribers – e.g. subscription to a peering platform where
members exchange content. In this case, benefits generated by new subscribers can
be reflected in an efficient retail charge structure, such as discounts for new
members; or
• apply more broadly - e.g. a new 3G / video calling subscriber benefits all other
subscribers with video calling capability, because they can now have video calls with
more people. In this case, the ideal pricing structure would involve a transfer from all
beneficiaries to the new subscriber. Which subscribers would receive compensation
(by way of lower charges), and which subscribers would have to pay for it, depends
on direction and strength of subscriber externalities.
Economic theory has advanced the examination of the interaction of message (usage)
externalities and subscriber externalities in relation to so-called ‘2-sided’ (or ‘platform’)
markets, which serve two types of customers, for example, users and content providers.21 Whether particular customers join a network, and their willingness to exchange messages
on that network, will be affected by the fixed and variable charges they face. The key
element of 2-sided markets is that the decisions of one type of customer will also be
affected by the decisions of the other type of customers using the network, and these
impacts are not necessarily internalised. For example, a content provider may prefer to
have its content on a network that provides access to more end-customers while an end-
customer may prefer to join a network with more content.
The key insight from the analysis of 2-sided markets is that the structure of prices, i.e. the
extent to which costs should be recovered from each side of the market, is critically
important to achieving efficient outcomes and maximising overall welfare. The
importance of price structure is also recognised in commercial price-setting. As Rochet
and Tirole note:
21 Other examples of 2-sided markets in telecommunications include the situation where readers and advertisers
both use a webpage. In many cases the market will be 3-sided, bringing together users, content providers and
advertisers. A more detailed discussion about the economic implications of 2-sided markets can be found in
J.C. Rochet and J. Tirole, “Two-sided markets: A Progress Report”, the Rand Journal of Economics, 2006.
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“Managers devote considerable time and resources to figure out which side
should bear the pricing burden, and commonly end up making little money on one
side (or even using this side as a loss-leader) and recouping their costs on the
other side”.22
Where the efficient price structure requires one type of customer to bear a greater
proportion of the costs and those costs are spread across multiple networks supplying the
services, then interconnection charges can be crucial to ensuring that retail revenues are
allocated so that each network can cover its own costs, and thereby ensuring the service
can be supplied sustainably.
5.3.3. Efficient direct interconnection
While some messages are initiated and terminated on the same network, many traverse
more than one network. From an economic point of view, this means that no single
network owner can “internalise” the externalities generated among the retail customers of
different networks, because each network can only charge its own retail customers.
Interconnection fees, therefore, have a role in indirectly transferring payments between
the retail customers of different networks in order to compensate for message
externalities and/or subscriber externalities. The alternative models of interconnection
fees – IPNP, BAK, RPNP – represent a continuum of interconnection fees (positive
termination fee, termination fee=0, negative termination fee – that is payment for
origination). The task of determining which model is likely to perform best, therefore is a
task of determining the correct value (or range) of interconnection fee.
Derivation from efficient retail prices and network costs
Efficient interconnection (wholesale) fees result from the efficient retail model and the
distribution of costs among networks. Here we examine some variations of efficient retail
pricing, and consider how they determine efficient interconnection charges in conjunction
with costs.
22 J.C. Rochet and J. Tirole, “Two-sided markets: A Progress Report”, the Rand Journal of Economics, 2006, p.6.
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In summary:
Benefitingparty
Who shouldpay (retail)
Who should pay (interconnect)
Initiating party Initiatingparty
As long as the terminating network incurs some costs of delivering themessage, the initiating party’s network pays termination fee, andpasses cost on to the initiating customer.
Receiving party Receivingparty
As long as the originating network incurs some costs of delivering themessage, the terminating network pays the originating network anorigination fee (a ‘negative termination fee’) and passes this fee on tothe receiving customer.
Both parties(sharedbenefit)
Shared cost,but in manycases,initiatingparty
payment isefficient
Where the efficient retail model is for the initiating party to pay, theinitiating party’s network pays a termination fee. Where the efficientretail model is for the receiving party to pay, the terminating networkpays an origination fee.
Where the efficient retail model is for both parties to pay, efficientinterconnection fees depend on the distribution of retail payments tonetworks in comparison to their costs. No interconnection fee will bean efficient outcome only in specific circumstances.
•
Similarly, where efficient retail model is a bucket plan:
• with limited initiating messages only – efficient interconnection involves a
termination fee;
•
with limited receiving messages only – efficient interconnection involves anorigination fee;
• with a limit on both – efficient interconnection fee depends on the relative
importance of each limit, and on network costs; or
• that has no limits – efficient interconnection fee depends on the distribution of
benefits, and on network costs.
By way of expansion, in the first two cases – where either the initiating or receiving party
gains all of the benefit – it is relatively straightforward to extrapolate the efficient retail
model to derive the efficient interconnect model. In both cases, the network levying the
retail charge pays a portion of its revenue to the other network, ensuring that costs are
covered at both ends. If the retail charge that the customer is willing to pay cannot cover
both-end costs, then the benefit associated with the message must be lower than its cost,
and efficiency dictates that it should not be initiated at all.
In the case of shared benefit, the situation is more complex. If there is repeated
interaction between sender and receiver, then any imbalance of benefits is often
compensated through other means (monetary or otherwise, as described above). But in
one-off interactions, there are no such compensatory mechanisms and inefficient
messages may occur. This is because the initiator is not bearing all the costs of the
message, but offloading some costs onto the recipient (e.g. the cost of dealing with spamemail or receiving unwanted telemarketing calls).
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As set out earlier, this suggests that in many cases the most efficient retail model is for
the initiating party to pay - resulting in matching wholesale payments that is, termination
payments by the initiating party’s network. The ‘match’ arises because the terminating
network can cover its costs without having to charge the receiving party, and theoriginating network can pass the termination charge onto its retail customer (by way of
increased charges per message or by fixed charges). Hence, a termination fee
(assuming it is sufficiently large) creates incentives to adopt the initiating-party-pays retail
model.
In all cases, where both parties benefit, but IPP is not efficient, the efficient direction of
interconnection payments depends not only on the efficient retail model, but also on the
distribution of network costs. For example, if the efficient retail model is a 50-50 sharing
of costs between the initiating and the receiving party, but the terminating network incurs
higher costs than the originating network, then the efficient interconnection model
involves a termination payment compensating for half of the difference in costs (theterminating network would recover the other half from its retail customer).
As we will discuss extensively in section 6, the specific model where no interconnection
fee is paid, is efficient only under very specific circumstances, where the efficient retail
payments by each retail party exactly match the costs of the network that receives the
payment, and where these retail and costs conditions are stable.
If the efficient retail model involves ‘bucket” plans23 – such as are increasingly common
for mobile users – it is necessary to examine the plans in more detail before deriving the
most efficient interconnect model.
If the bucket plan has usage restrictions, the nature of the restriction is important for
example:
• if there are usage restrictions on initiating but not on receiving messages, then the
plan represents a model where the initiating party pays. Accordingly, the efficient
interconnect model would be one with termination fees (that is, IPNP);
• if there are usage restrictions on receiving but not on initiating messages, then the
plan represents a model where the receiving party pays. Accordingly, the efficient
interconnect model would be one with origination fees (that is, RPNP); and
• if the buckets have usage restrictions on both receiving and initiating messages, then
they represent a model where both the initiating and the receiving party pays. The
efficient interconnect model in this case depends on the relative importance of
restrictions on initiating and receiving messages, as well as on the distribution of
network costs.
23 Bucket plans are fixed fee plans, often with usage restrictions. Unrestricted bucket plans are known as “all-you-
can-eat” plans.
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Plans with no usage restrictions are typically offered as an additional option where other,
usage-restricted plans are available to the same customers. Here, the efficient
interconnect model is one that supports the available usage-related retail tariffs.
However, interconnection payments influence market outcomes even in cases where only
flat rates apply. Also in this situation interconnect fees have an important role in
balancing the benefits between retail customers, and if they fail to exert this role,
distortions will result. For example, if only initiating parties benefit, but no termination fee
is charged, network operators would have an incentive to target customers who receive
disproportionately few calls, because these customers trigger fewer termination costs.
Customers would have an incentive to join networks with a large share of originating
traffic, because the uncovered termination costs on those networks are spread over a
larger customer base, thus allowing the fixed fee to be lower. This would lead to market
failure due to business bias – a phenomenon which we discuss in more detail in section
5.3.8.
This shows that one determining factor for efficient interconnection is ultimately the
distribution of benefits between the retail customers – these benefits are often, although
not necessarily (e.g. when prices are flat rates), reflected in retail prices.
Fixed-fee retail arrangements do not mean that interconnect arrangements should
necessarily also be fixed-fee. At the retail level, the decreasing marginal benefit of
messages protects the supplier that charges fixed fees from unlimited usage. There is no
such mechanism to protect suppliers at the wholesale level, so aggregators of retail
demand could exploit an interconnection flat rate (potentially up to the limit of the
network’s technical capacity).
Derivation from subscriber externalities
Subscriber externalities represent another case where interconnection models can be
used to direct efficient consumption decisions.
For example, if adding a subscriber to network A benefits the sum of customers on
network B more than a new customer on network B benefits the sum of customers on
network A, then the presence of subscriber externalities would imply that the efficient
interconnection charge would involve higher interconnection payments from B to A (or
lower payments from A to B). Thus, subscriber externalities have an effect on the amount
and direction of the efficient interconnection fee.
Interconnection fees can help internalise subscriber externalities. However, there are
practical issues in identifying the optimal externality adjustment particularly where there
are different types of networks interconnecting. Subscriber externalities add to the
complexity of identifying the optimal interconnection arrangements.
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Achieving direct interconnection efficiency
In summary, the direction of efficient interconnection payments between the originating
and terminating networks depends on the nature of message externalities, any subscriber
externalities and costs. Variation in any of these elements could alter the direction of the
efficient flow of interconnection payments.
The ability of interconnection payments to match efficient retail charges is subject to two
important practical limits:
• firstly, it may not be possible to design interconnection payments in units which
match efficient retail payments. For example, assume that the efficient retail model
is one in which only the initiating party pays for initiation of a message. As noted
earlier in section 3.6, in the current Internet IP interconnection environment operators
are technically constrained to charging for packets rather than individual retailsessions, because identification of the message to which a packet belongs is not
feasible. Accordingly, technical constraints – at least in the current IP environment –
limit the extent to which efficient retail models can be matched at the wholesale level.
In future, it may be possible to charge by session using elements such as call server
or session border controllers;
• secondly, in some cases it is not possible to differentiate interconnection by service.
Where this applies (e.g. in the Internet and to some degree also in NGN), the most
efficient interconnection fees are those that best meet the aggregated market
characteristics of all of the services to which interconnection applies.
However, throughout the remainder of this section we make two simplifying assumptions
(unless stated otherwise). One is that both retail charging and interconnection relate to
messages, and we distinguish retail parties according to whether they initiate or receive
the message (rather than send or receive data). The second is that interconnection fees
can be set at a service level.24
5.3.4. Efficient transit interconnection
In this section we discuss the question of who should pay for interconnection in the
context of transit arrangements, under which the originating and terminating networks are
not directly interconnected, but interconnection is facilitated through one or more transit
networks.
24 We make these assumptions solely for the purpose of keeping the analysis focused on key economic
considerations. They do not affect the key elements of our result, in particular, they do not affect our finding that
no single interconnection fee is more efficient than alternative fees and that the performance of BAK is
negatively affected by its inherent inflexibility to adopt any level of interconnection fee other than zero.
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Where transit is required, payments to the transit provider are made by either the initiating
or the terminating network, or both; however, no direct payments between the initiating
and the terminating network occur. Due to the absence of direct payments between the
networks that have the retail relationships, the opportunity to induce efficient retailcharges through interconnection fees becomes less direct. Effectively, the only way to
balance the charges between the initiating and the receiving retail party is through transit
payments, which might take the form of sequential cascading payments along the route
taken by the message.25
For transit charges to be efficient with respect to any particular message, they must (in
their sum):
• induce efficient retail charging models (unless a relationship between the initiating
and the receiving party exists to directly compensate for message externalities and
2-sided market effects); and
• give all network providers in the delivery chain an incentive to provide the
interconnection service.
Because the efficient retail model depends on the situation and transit networks might
differ in their costs, the efficient level of transit charges also depends on the
circumstances. We illustrate this in the context of two different transit models.
In the case where payments for transit are sequential (that is, payments are made only
between subsequent networks along a chain):
• if it is efficient for the initiating party to pay, while the receiving party neither makes
nor receives a payment, then efficient transit payments will be made from the
initiating party’s network to the first transit network, cascading from each transit
network to the subsequent transit network, and from the last transit network to the
terminating network. The payment to the first transit network would have to cover
the costs of all transit networks as well as termination; and so on down the transit
chain so that decreasing sums26 are paid at each stage; and
25 If payments between the originating and the terminating network were possible and practically feasible, then the
transit payment is neutral with respect to the efficiency properties of the interconnection system – as long as the
transit charge is efficient in its level and the interconnection payments between the originating and the
terminating network are derived on the basis that the transit charge is an incremental cost to the network that
paid for it. However, we do not consider this case in the main text, because when transit occurs, direct
payments between the originating and terminating network tend not to occur.
26 Decreasing by the amount of cost incurred by the network making payment. In other words, each network
subtracts its costs and passes on the remainder to the next network.
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• if it is efficient that only the receiving party pays, while the initiating party does not
make or receive a payment, then a similar pattern of payments will be efficient, but in
the opposite direction. The receiving party’s network will pay the last transit network,
and so on up the chain to the first transit network, which will pay the originatingnetwork. Again, the payment to the last transit network would have to cover the
costs of all transit networks as well as origination; with each sequential payment
decreasing in amount.
An alternative transit model is where one network (either originating or terminating) pays
a fee to an intermediary, who organises transit with all transit providers and
interconnection with the terminating network. Assuming the same retail situations as in
the two examples above, the efficient transit payments would be as follows:
• when retail costs should efficiently be borne by the initiating party: The initiating
party’s network makes a payment to the intermediary. This payment would have tocover the costs of all transit networks, termination and the costs of the intermediary.
The intermediary then makes payments to each transit network and to the
terminating network reflecting the costs incurred by that network in providing the
service; and
• when costs should be borne by the receiving party: The terminating party’s network
makes a payment to the intermediary. This payment would have to cover the costs
of all transit networks, origination and the costs of the intermediary. The transit
network then makes payments to each transit network and to the originating network
reflecting the costs incurred by that network in providing the service.
In both transit models just described, the efficient net revenue earned by each network is
the same. Clearly, efficient payments do not depend on whether charging is sequential or
whether a single intermediary organises transit on behalf of the network bearing the
costs.
Practically, though, it is more difficult to achieve efficiency where sequential payments
occur, because a series of transactions is required; whereas in the alternative case a
single party organises transit and pays for it on behalf of a network. This difference is
exaggerated by the constraints of the current technical environment (where the chain of
transit networks involved cannot be foreseen), compared to the options for transit
interconnection in the more sophisticated NGN environment.
5.3.5. The combination of efficient direct and transit interconnection
While both efficient transit and direct interconnection fees depend on efficient retail
pricing, the specific services provided by transit operators and their specific costs will
generally differ from those involved in direct interconnection.
As a consequence, the efficient charging system for direct interconnection will usually
differ from the charging model adopted for transit interconnection.
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Therefore, a dual system – or a range of dual systems that accommodate the variation
between retail markets – differentiating between direct interconnection and transit is likely
to be efficient in general.
5.3.6. Efficient interconnection charges when traffic is balanced
If traffic is balanced (including in the sense that networks are peers and hence have the
same cost structure and customer profile) and this balance is not expected to change
through either evolving market circumstances or deliberate measures taken by network
operators, then the direction of payments (or BAK) is not relevant to efficiency.
Furthermore, in this case of stable balanced conditions, it would not be important whether
the interconnection fee is flexible or set. The reason is that, under stable balance
between peers, any choice of interconnection fee would result in exactly the same (zero)
net payment between networks and ultimately the same market outcomes. Because not
making any payments involves lower transactions costs than making offsetting
payments, BAK is efficient under these circumstances.
In real-world markets these restrictive conditions tend not to hold: Even if traffic between
some networks appears balanced at a point in time, network operators have scope to
influence this balance, and/or the balance is likely to be disturbed by evolving market
conditions. In this situation of an instable balance, alternative choices of the
interconnection model have significant effects on market outcomes, and the efficient
interconnection fee must be derived from considering the retail market as well as network
costs as described in section 5.3.3. Moreover, in the situation of unstable balance – and
regardless of the specific fee that is adopted –flexibility of interconnection fees to reflect
changing costs and market conditions becomes essential in preventing distortions to the
business conduct by network operators.
5.3.7. Quality of service in efficient interconnection
Traffic prioritisation is, in the medium and long term, necessary to cope with demand
growth in order to ensure high quality of service.27 It is expected that there will be a wide
range of services with varying QoS requirements. For example, voice services may come
in many guises (voice with added value services, voice over broadband, voice over
narrowband, etc).
In this section we discuss the implications of quality of service (QoS) provision for the
efficiency of interconnection.
27 See, for example, Hackbarth, Klaus-D. and Kulenkampff, Gabriele „Technische Aspekte der
Zusammenschaltung in IP-basierten Netzen unter besonderer Berücksichtigung von VoIP“. Study prepared for
the Bundesnetzagentur für Elektrizität, Gas, Telekommunikation, Post und Eisenbahnen; 27 July 2006; p 2.
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Implications for who should pay
Retail price differentiation is inherent to any network offering QoS. Without price
differentiation for quality, all customers would have the incentive to request the highest
priority for their packets; all packets would have equal priority and the service would be a
‘best efforts’ service similar to that provided by the Internet today.
Because the efficient retail prices at various QoS levels differ, the efficient interconnect
prices may also differ.
Fees for transit at a higher QoS level must be higher in order to reflect the higher costs.28
Efficient direct efficient interconnection fees for a high QoS level will necessarily exceed
the efficient level of interconnection fees at a lower quality level if the efficient retail model
is that only one retail party pays – in this case the higher fee for higher quality would
reflect the higher cost of the network that receives the interconnection payment. If bothretail parties pay, the efficient interconnection fee at alternative QoS levels may be equal,
although this occurs only in highly specific circumstances.29 The efficient fee difference
may also exceed the cost of the quality differential.30 Interconnection charges may
therefore vary for different QoS levels by more than their cost. If this occurred, it would
not necessarily indicate inefficient charging.
In sum, QoS provision is likely to lead to different interconnection fees for high and low
quality levels, where the extent of the differential depends on how the benefits of high
quality are on average distributed among retail customers and how the costs of high
quality provision are distributed across networks.
28 Some technologies may present greater challenges for QoS than others. For example, as explained in
Appendix A, mobile networks operate on limited spectrum, and customers must share the "last mile" of
bandwidth, whereas fixed network ADSL customers enjoy a dedicated pipe for this segment. Network
management of QoS in a shared environment is likely to more chal lenging as priorities must be traded offacross users. Where this results in greater costs, those costs must be taken into account in interconnection
fees.
29 This occurs when the benefit of the quality differential and its costs are distributed in the same proportion among
retail customers and networks as the benefit and costs for the low quality service. For example, if at two quality
levels the benefit accrued to the initiating and the receiving party is equal and the cost incurred by the
originating and terminating network is equal, then an interconnection fee equal to zero would lead to an efficient
allocation of costs between retail customers at both quality levels. Moreover, this system would give networks
an incentive to charge their retail customers a premium for higher quality so that the high quality service is
requested only where customers are willing to pay for the higher costs associated with the quality differential.
30 For example, the fee increase may exceed the cost increase where (i) increased QoS tends to amplify the share
of total benefit that accrues to the initiating party; and (ii) a positive termination payment would be efficient in the
case of both low and high QoS.
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Which parts of networks will be affected by QoS?
Because quality provision is an end-to-end process, all network components used to
transmit QoS-differentiated messages will be affected. Hence, QoS will affect efficient
interconnection charging across all network elements, for transit as well as for direct
interconnection. QoS standards therefore need to be reflected in interconnection prices
in all network parts where QoS differentiation occurs.
5.3.8. Welfare consequences of inefficient interconnect charges
In addition to supporting efficient retail charging, as explained above, an efficient
interconnection model ensures that the costs of each network are covered (after taking
account of its retail revenues) and that total interconnection charges do not exceed the
costs of efficiently providing interconnection services.
Unless revenues – that is, the sum of retail revenues and interconnection fees –
compensate a network for the provision of interconnection services, the network owner
will have no incentive to provide these services to an efficient degree. For example, a
terminating network that is not able to cover at least its marginal costs from termination
(or which considers that it would earn more profits if it were to originate rather terminate)
would bias its behaviour in the following ways:
• business bias: The network operator would have an incentive to target specific
types of customers (e.g. outbound telemarketers, who initiate more traffic than they
receive) and avoid serving other types of customers (e.g. inbound call centres, who
mainly receive messages);
• network structure bias: The network operator would have an incentive to receive
another network’s traffic as close as possible to its own customers;
• underinvestment in the scope of networks: The network operator’s incentive to
invest in networks (e.g. coverage) would fall short of the socially optimal level; and
• underinvestment in quality: The network operator would lack the incentive to
invest efficiently in capacity or other quality of service aspects which benefit initiating
parties on other networks (with the risk of congestion, or that higher quality services
are not offered at all).
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If interconnection charges exceed the costs of efficiently providing interconnection
services, consumer welfare is also impaired. Above-cost charges by the initiating network
are unlikely to be stable, so long as consumers have alternative sources of network
access. Regulators have been concerned that, by contrast, above-cost charges by thereceiving network could persist, because that network is perceived to have a “termination
monopoly” for access to that consumer. On this basis, regulators have tended to
intervene to regulate the level of terminating interconnection rates in an IPNP circuit-
switched regime. However, as discussed in section 2.3 in relation to any-to-any
connectivity, competition to supply end-user access, multihoming and the ability of end
users to readily switch networks is likely to temper any such power in an IP environment.
As a result, IPNP is unlikely to incur the costs of maintaining regulatory oversight of
termination rates.
Similarly, a network operator who provides origination of a message and who is not able
to cover at least its marginal costs from origination (or who believes that the incrementalprofits from termination are higher) would:
• target customers who tend to terminate more traffic than they originate (business
bias);
• hand over traffic as close as possible to its own customers (network structure bias).
This practice is known in the IP environment as the ‘hot potato’ problem;
• under-invest in the scope of its network; and
• under-invest in quality and capacity that benefits the terminating parties on othernetworks.
Finally, a transit provider who is unable to recover at least its marginal transit costs would
undersupply transit capacity and deploy fewer PoPs (this is similar to a network structure
bias) and under-invest in quality.
In the remainder of this section we discuss the economic incentives leading to these
distortions and the consequences for consumer welfare in more detail.
Business bias
This can occur where the sum of a network’s incremental interconnection revenues and
incremental retail revenues does not cover the incremental costs (including
interconnection payments) caused by some customers.31 For example, if retail payments
are made as a flat rate (that is, if they are not directly related to usage) that does not
differentiate between customer types, networks have an incentive to avoid customer
groups who tend to incur costs that would not be covered by the flat rate. On the other
hand, networks would tend to compete more vigorously for more profitable customers.
31 Business bias can also occur where all customers are incrementally profitable but a network is restricted by
capacity constraints, creating incentives to pick to the most profitable customers.
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If network operators have sufficient commercial flexibility to react to such cherry picking
(e.g. by engaging in similar customer targeting or by adjusting interconnection rates
selectively with respect to some other networks),32 competition is likely to prevent some
of the harmful effects of this customer targeting. Nevertheless, the effort spent incustomer targeting would be socially wasteful, since it does not add value to services
available to consumers and does not lead to any production cost savings. However, in
some situations networks lack the flexibility to deter targeting through adjustments in
interconnection fees (e.g. where regulators require networks to charge equal and
reciprocal termination fees to all other networks) and might not be equally effective in
targeting (for example, due to differing regulatory service obligations or different levels of
public scrutiny and criticism). In these circumstances, targeting can be even more
socially harmful, because:
• selective customer targeting tends to result in some unserved or underserved
customers who are willing to pay for messages in excess of the resource costs ofproviding them. Each message requires origination and termination, a disincentive to
provide one of these services (manifested in avoiding customers that are relatively
high in their propensity to either originate or terminate messages) would tend to
suppress traffic below its socially optimal level;
• as a result of the bias, traffic might shift across networks without proper regard to
which network has the lowest cost of providing certain services, increasing overall
costs and ultimately retail prices; and
• some networks may not recover their long-term costs, creating a disincentive to
invest and resulting in lower availability of services and/or higher prices in the future.
Network structure bias
This occurs where investments in particular network elements are not fully rewarded and
where networks have the option to determine the point of interconnection. For example, if
interconnection fees are imposed by a regulator and these fees do not respond to the
costs that networks incur, this would mean that network owners have an incentive to
reduce their costs, by tilting their network structure.
Where it occurs, network structure bias can lead to inefficient network design (e.g.
underinvestment in the trunk network) and to services being carried in ways which would
result in higher overall costs of communications services (even if the bias enables an
individual network to minimise its own costs). It can also lead to underinvestment in
connectivity, e.g. in high cost areas. The consequence for consumers would be higher
prices and potentially lower availability of communication services.
32 For example, if there was a bias in favour of customers who receive a disproportionate amount of traffic (like
ISPs) increases in termination fees could compensate for the asymmetry of traffic flow and thereby neutralise
the bias.
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Underinvestment in the scope of networks
This occurs when revenues are insufficient to generate an appropriate return to
investment, without necessarily inducing the network structure bias described above. For
example, for technical reasons, messages to mobile customers are typically handed over
to the mobile network at the earliest possibility. Consequently, a mobile operator may not
be able to engage in biasing the structure of its network to the same extent as other
network operators, who can more easily shift POI closer to their customers. However,
insufficient revenues to fully recover investments between the POI and the mobile
customer would nevertheless lead to distortions, which would simply materialise in sub-
optimal network rollout at all levels. This distortion would reduce the availability of
services to customers.
Quality underinvestment
This is similar to underinvestment in the scope of networks: in both cases, expected
revenues are insufficient to cover an operator’s costs of providing a network quality to
socially optimal level. Hence, quality underinvestment implies that consumers end up
being offered lower quality services than they would be prepared to pay for.
Quality underinvestment concerns can also apply to the provision of QoS levels in two
ways. First, not being adequately rewarded for quality differentiation will discourage
operators from investing in systems that allow quality differentiation. Second, unless
operators are adequately rewarded for better quality interconnection, their incentive is to
provide it at low quality. Clearly, both aspects of inefficient QoS provision harm
consumers who do not receive the QoS differentiation that they require and are willing topay for. 33
33
Vogelsang, in his study prepared for the German regulator, argues that quality underinvestment only occurs in asituation where a low-quality network could free-ride the high quality of other networks, that is, if the quality of
the message increases by increasing the QoS standard of any network over which the message is transmitted.
Conversely, he assumes there is no distortion in the incentives to provide quality if the message quality is equal
to the minimal QoS provided any the networks involved (that is, if the “weakest link” determines the overall
quality), because then a low quality network cannot free-ride on the high quality network’s efforts. However, we
believe that the underinvestment problem can also occur in this situation, although through a different
mechanism than free-riding: A high quality network H (whose own customers appreciate quality) might prefer
(and be willing to pay for) high quality on the networks with which it interconnects. However, without receiving
interconnection payments, other networks do not have an incentive to provide quality to a degree which reflects
the benefit to H ’s customers. This would lead to inefficient under-investment, when the additional value that a
given quality improvement would imply for customers on network H, outweighs the costs associated with the
providing the incremental quality. Vogelsang, Ingo “Abrechnungssysteme und Zusammenschaltungsregime aus
ökonomischer Sicht”, Study prepared for the Bundesnetzagentur für Elektrizität, Gas, Telekommunikation, Post
und Eisenbahnen; 28 April 2006; p 141.
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Conclusion
As the preceding discussion demonstrates, the incentives to provide an efficient level of
interconnection services result from the payments that a network operator receives as a
direct consequence of interconnection. In the case of the originating and terminating
networks, these payments potentially include an interconnection charge from the other
network and retail charges from each network’s own customers.34 For the transit
provider, the only potential ultimate sources of payment are the originating and the
terminating network.
Thus, in a situation where networks have to accommodate an interconnection regime that
is imposed on them, they can either adjust the retail model in order to fully recover their
costs – which would almost certainly lead to an inefficient retail model – or, they can try to
avoid some of their costs by biasing their behaviour in the ways described above. As our
analysis shows, these actions are inefficient, because they reduce demand or thenetwork’s future capability to deliver services that consumers want and are willing to pay
for.
5.4. THE EFFICIENCY OF MULTIPLE IP INTERCONNECTION MODELS
Future IP networks will essentially be layered, with a number of services and a variety of
QoS levels. Given the many dependencies described in this section, with respect to the
efficient direction of payments and the additional considerations of the efficient unit and
level of interconnection fees, which we discuss in Appendix B, an efficient
interconnection model will involve different models for different situations:
• interconnection models may differ between direct interconnection and transit. As we
discussed earlier in this section, efficient interconnection is likely to involve dual
regimes for transit and direct interconnection;
• across networks, costs and customer preferences may differ. Flexibility in the
interconnection charging model is an important means of optimisation – for example,
by correcting or preventing inefficient biases;
• similarly, costs and customer preferences may differ across interconnection
customers that connect with a given network. Cost-based differentiation in
interconnection charges encourages the efficient use of resources and avoids
inefficient cost-avoidance behaviour, and price discrimination can ensure that fixed
costs are recovered while minimising distortion; and
34 The possibility of retail payments from the originating customer to the terminating network is excluded as not
being practical.
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• the characteristics of retail services differ. Differentiation of interconnection charges
by service – while not currently possible, because interconnection occurs at lower
network layers which do not differentiate among alternative uses of packets – would
also increase the flexibility of interconnection fees to match a variety of retailcircumstances.
We comment on each of these dimensions of variation of interconnection models in
Appendix C.
Applying a single or a small number of interconnection models across the board, requiring
reciprocity, preventing differentiation of interconnection arrangements among
interconnection arrangements on a single network, or otherwise limiting the flexibility of
interconnection fees, would:
•
reduce the efficiency of interconnection overall, as interconnection fees would bemore limited in reflecting particular retail and cost circumstances; and
• limit the capability of interconnection fees to respond to changes in the type of
product that interconnecting networks supply to each other (e.g. traffic hand-over at
a point closer to its own customers) and therefore bias operator’s incentives. This
would further distort market outcomes against the interests of consumers.
5.5. CONCLUSION
In this section we draw out our conclusions on the role of interconnection fees and
circumstances that need to be taken into account when determining which
interconnection model is efficient in a particular situation.
5.5.1. The role of interconnection fees in determining market outcomes
As outlined in earlier sections, the role of efficient interconnection charges is to ensure
that:
• the efficient amount and type of messages are consumed, taking account of the fact
that messages are consumed by both the initiating and the receiving party; and
• network providers have an incentive to provide the message exchange services
demanded.
Efficient message exchange involves encouraging message traffic for which the benefits
outweigh their resource costs it involves, at low prices and to an appropriately high
quality. It can only occur if the underlying interconnection services are provided to an
efficient extent and quality.
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Unless revenues – that is the sum of retail revenues and interconnection fees –
compensate a network for the provision of interconnection services, the network owner
will have no incentive to provide these services to the degree necessary to meet
consumer demand. Therefore, network operators can be expected to react to the leveland structure of interconnection fees, by adjusting the retail prices they charge and/or by
influencing their level costs.
Where an interconnection model is adopted, without regard to its efficiency implications in
the retail market or on incentives to minimise costs, this will necessarily lead to distortions
to the amount and type of messages being exchanged, the availability of services, and
service quality and prices.
5.5.2. Circumstances determining the efficient interconnection fee
In the following we summarise the implications of alternative circumstances on the
efficient direction and level of interconnection fees. A list of the relevant circumstances
that determine the efficient interconnection fee is presented in section 7.3.5.
Traffic balance
If traffic is balanced (including in the sense that networks are peers and hence have the
same cost structure) and this balance is not expected to change through either evolving
market circumstances or deliberate measures taken by network operators, then BAK is
efficient. However, in real-world markets these restrictive conditions are extremely
unlikely to hold.
The distribution of benefits between end customers and the distribution of networkcosts
As our economic analysis demonstrates, retail market and cost criteria together determine
the efficient direction of payment for interconnection.
The conceptual graph in Figure 19 shows how an economically efficient interconnect
model can be derived, if the distribution of benefits and costs for a specific message are
known. The graph depicts a situation where the total benefit of the message is equal to
the total cost of providing it and both retail customers benefit from the message. This
Figure is drawn based on benefits arising only directly to the particular retail customers,
although the Figure can be modified where the message exchange also needs to take
into account subscriber externalities.
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Figure 19 - Efficient interconnection in response to retail benefits and network costs
• if only the initiating party benefits, but at least some of the costs are borne by the
terminating network, then IPNP is efficient regardless of the distribution of costs
between the originating and terminating network;
• similarly, if only the receiving party benefits but some costs are incurred by the
originating network, then RPNP is always efficient;
• along the diagonal line depicted in the figure, the efficient interconnection fee is
equal to zero (BAK). This line can be derived as follows:
• when only one party benefits and only this party’s network incurs costs, then
the efficient way to recover these costs is for the network that incurs the
costs to charge its retail customer and for interconnection fees to be equal to
zero;
• when both parties benefit equally, and termination costs are equal to
origination costs, then the efficient interconnection fee is equal to zero (point
A in the figure);
• if compared to the situation in A, the initiating party benefits somewhat more,
then the zero interconnection fee maintains its efficiency if the originating
network incurs somewhat higher costs. Similarly, if compared to the
intersection of the 50% lines (which indicate equal distribution), the receiving
party benefits somewhat more, then the zero interconnection fee maintains
its efficiency if the terminating network incurs somewhat higher costs;
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• the area to the left of the zero-fee diagonal represents situations where IPNP is
efficient. The area to the right of the zero-fee diagonal represents situations where
RPNP is efficient.35
If the interconnection fee is chosen in this way, it would be ensured that the message is
initiated, which would be efficient, because the total benefit of the message is larger than
the cost of providing it.
In practice an interconnection model applies to many different messages between many
parties and potentially several service types. Such messages vary in their total value, as
well as in the distribution of benefit between the retail customers. Therefore, the
interconnection model that is efficient in the market is that which strikes the best balance
between messages that would be efficient, but are not initiated, and messages that are
inefficiently made. Deriving the efficient interconnection fee would then require a very
substantial amount of information (e.g. the statistical distribution of types of messagesthat would potentially be made). Given the absence of such detailed information in
practice, the efficient interconnection fee can be thought of as reflecting the ‘typical’
market conditions. Figure 19 can be used as a conceptual aid to represent these typical
conditions.36 Naturally, as these typical market conditions evolve, the interconnection fee
would have to be adjusted in order to maintain the level of efficiency.
In determining the interconnection fee based on the conceptual approach presented in
Figure 19, it is also important to note that the direction of payment of the direct
interconnection fee is mainly relevant to situations where message externalities or 2-sided
market effects are in play, and where the interconnection fee is required as a tool to
allocate the costs among retail customers efficiently in response to these externalities
(that is, where externalities are not otherwise internalised). These are situations where no
direct payments between the retail parties exist and where the typical receiving party
does not have means to reward the initiating party for initiating beneficial messages – or
‘punish’ for damaging messages. In these situations, the interconnection fee has a role of
balancing benefits among retail parties through the way in which network costs are
recovered from retail customers. Hence, the efficient direction of interconnection fees
should be determined mainly based on market situations in which message externalities
and 2-sided market effects are important and not otherwise internalised.
35 With 2-sided market effects the location of the BAK line would shift. For example, if both parties share the
benefits equally and both networks incur the same costs (point A), but also other customers on the terminating
network benefit from the message, then efficient interconnection would involve RPNP (accounting for the fact
that most of the benefits accrue to customers of the terminating network) and BAK would no longer be optimal
(essentially, the BAK line would shift towards the upper left of the graph).
36 The figure would change somewhat for messages whose total benefit exceeds costs. Then, the location of
situations where BAK is efficient would be represented by a channel around the diagonal line depicted in Figure
19. In fact, in this channel IPNP, RPNP and BAK would generate identical market outcomes; however, due to
lower transactions costs, BAK would be preferred. The reason is that the excess of benefit over costs leaves
some headroom to allocate charges between the initiating and the receiving party in different ways without
distorting the initiating party’s decision to initiate the message. The size of the channel would be determined by
the amount by which the total benefit exceeds total costs.
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Two key insights emerge from this analysis:
• first, because retail conditions vary across markets, no single interconnection fee
always generates superior outcomes, compared to alternative fees. The fact that theefficient interconnection model depends on the characteristics of related retail
charging models, as well as on the cost structure of networks involved in providing
the services, underscores the value of flexibility to select interconnection approaches
according to particular circumstances. As we have discussed, differentiating
interconnection schemes according to the networks involved, assists in improving
the fit between interconnection charges and retail conditions; and
• second, the ‘typical’ market conditions might change over time and so might the
distribution of costs between networks (which network operators can actively
influence through their investments). Thus, while efficient interconnect pricing in the
first instance means aligning the current interconnection fee with current marketconditions and costs, the efficiency of an interconnection model needs to be
assessed in light of changes in market conditions and costs. Therefore, the
responsiveness of a charging model to evolving conditions (or in response to
deliberate actions to reduce costs) is as relevant as whether the model best reflects
current conditions.
Overall, preserving the flexibility of networks to differentiate interconnection according to
the situation as much as possible, would ensure that interconnection models support
efficient charging for the variety of services that are available or that will be available in
the future.
In Table 3 we summarise the relevance of traffic balance, cost balance (peer status), thedistribution of benefits and costs as well as the stability of these conditions for the effi-
ciency of alternative direct interconnection (IC) models.37
37 For simplicity of the presentation, the table presents the situation where there are no direct payments (or other
forms of balancing benefits) between retail parties. As we have discussed above, if an interconnection fee were
restricted to the situation in which direct compensation occurs between retail parties, then the direction of the
interconnection fee would not alter market outcomes (e.g. the interconnection fee and the resulting charges by
network operators could be taken into account in the payment between the retail party). However,
interconnection fees typically apply to a variety of retail situations and hence have a role in balancing benefits
between retail parties in situations where no direct payments or other mechanisms of balancing benefits exist.
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Table 3: Comparative efficiency of interconnection models in key market situations
Market situation Model for direct interconnection Generallypreferred model
BAK38 IPNP RPNP SBI
Traffic balancebetween peers,where thisbalance cannotbe changed bynetworkoperators(‘condition 1’).
Efficient, andavoidsmeasurementand billing costs
Efficient (all models lead to the same net payments for IC) BAK
Efficient whenbenefits accrue toinitiating party
only while somecosts are incurredby the terminatingnetwork
Efficient whenbenefits accrue toreceiving party
only while somecosts are incurredby the originatingnetwork
Imbalanced traffic(or trafficbetween non-
peers);
Stable marketconditions; and
Network costscannot beavoided inresponse to ICfees.
Efficient, wherethe efficientpayments by
each retail partyto its networkoperator exactlymatch the costsof the networkthat receives thepayment(‘condition 2’)
Efficient when benefits are shared.Efficient level and direction of IC feesthen depend on distribution of benefitsbetween retail customers anddistribution of costs among networks
Efficient when feefor imbalance ischosen in the
same way as theefficient fee inIPNP or RPNP
IPNP, RPNP orSBI
Unstable marketconditions; or
Network costs
can be avoided inresponse to ICfees
Inefficient due toinflexibility of ICfee, which isalways equal to
zero
Efficient if initial fee doe all traffic (INPN/RPNP) orimbalance (SBI) is chosen efficiently according to demandconditions and costs and appropriately responds tochanging market conditions and costs
IPNP, RPNP orSBI
Direct interconnection vs. transit
Our analysis shows that the principles of deriving efficient transit fees mirror those of
deriving efficient direct interconnection charges, with the added requirement that transit
charges must yield appropriate revenues to transit providers.
38 An argument has been made that in an NGN environment, BAK may become reasonable if the incremental
costs of traffic on a network become negligible. This argument is at odds with the widespread view that traffic
prioritisation in an NGN environment will be required to use capacity efficiently and the fact that capacity
upgrades involve costs suggest that incremental costs of traffic will in all likelihood not be negligible. Moreover,
usage independent retail access charges are unlikely to be commercially viable or economically efficient for
some retail services such that interconnection fees have at least in principle a role in recovering some fixed
costs in addition to incremental costs (see also our discussion about the efficient cost basis for interconnection
fees in Appendix B.2). Finally, as we have discussed in this report, network structure can in generally not be
taken for granted and such that BAK would in many NGN situations imply that network operators have an
incentive to reduce at least their fixed costs by moving interconnection points closer to their end customers.
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Quality of service requirements
QoS requirements do not affect the principles of the approach, although QoS provision
might have an impact on the distribution of costs and benefits and hence on the level of
the efficient interconnection fee. In addition, QoS provision increases the costs
throughout networks and therefore increases the potential disparity between efficient
retail payments and costs that need to be covered. Consequently, applying an inefficient
interconnection model (including one that does not appropriately react to changing market
and costs conditions) either to direct interconnection, transit or both, could have the effect
of seriously impeding the introduction of QoS into the market.
The level and type of costs
Efficient market operation requires that each network involved in providing services earns
revenues sufficient to ensure that incentives are maintained to invest in infrastructure thatmeets customers’ needs. In the case of direct interconnection, these revenues are
derived from interconnection fees and retail payments, whereas in the case of transit,
these revenues only consist of interconnection fees for transit.
The presence of fixed and common costs in telecommunication infrastructure implies that
charging only on the basis of incremental costs will not ensure that network operators
have incentives to invest efficiently. Hence, the efficient revenues that networks obtain
for providing their services should, on average, recover all costs of efficient investment,
including those costs associated with taking risks. Accordingly, the costs taken into
account should generally include an appropriate contribution to fixed and common costs.
If the implications of the circumstances listed above are reflected in the interconnection
model(s) that the market adopts or which is imposed on the market by a regulator, then
the system of interconnection fees would meet the efficiency criteria listed in section
5.2.3.39
39 Regulatory benefits have not been considered in this section as the analysis first sought to establish what would
be efficient, before analysing specific interconnection models (including their potential regulatory benefits) in
section 6.
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6. ECONOMIC ASSESSMENT OF ALTERNATIVE CHARGINGMODELS
6.1. INTRODUCTION
As we have described earlier in this report, telecommunications networks are on the
verge of profound generational change, where many kinds of traffic will be carried and
switched as packets of data in an all-IP environment. The value of efficient IP
interconnection is both high and growing as connectivity becomes more pervasive (e.g.
more devices become connected, for more of the time). This raises the important
question of what will be the most economically efficient interconnection arrangements.
This section uses the economic analysis developed in section 5 to consider the relative
merits of alternative interconnection models that could be applied in an IP context. Whilesection 5 considered how to derive an efficient interconnection model suitable for its
situation, the purpose of section 6 is to:
• identify the type of distortions that might occur if a particular interconnection model
(BAK, IPNP, RPNP) is used in circumstances in which it is inefficient; and
• compare the alternative interconnection models with regard to their benefits and
disadvantages.
We find that no one model will be the single most efficient across a range of real-world
circumstances and point to the importance of flexibility of interconnection fees to react tochanging circumstances.
The approach we adopt in this section is to first illustrate the mechanisms and situations
that can lead to efficient and inefficient market outcomes in the context of one particular
charging model, BAK. It is useful to choose BAK as the starting point, as it has received
considerable attention in the debate to date on IP interconnection. The assessment of
BAK can then be used to highlight the relative advantages and disadvantages of
alternative models.
The analysis proceeds as follows:
• section 6.2 provides an evaluation of the efficiency of BAK (for both direct and transit
interconnection);
• section 6.3 evaluates the efficiency implications of IPNP;40
• section 6.4 evaluates the efficiency implications of RPNP;
40 Throughout this section we refer to IPNP/RPNP in relation to messages (which, as discussed earlier in this
report, are defined broadly, that is, they include downloads web searches etc.). Applying this terminology, the
initiating party’s network is the network of the customer that initiates the message (e.g. sends an email, requests
a download, etc).
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• section 6.5 analyses the implications of settlement-based interconnection; and
• section 6.6 provides concluding remarks.
6.2. EFFICIENCY OF “BILL-AND-KEEP”
In this section we consider the efficiency implications of applying BAK — that is, not
charging for interconnection regardless of any imbalance between networks.41
Imbalance means that the amount of traffic traversing two networks in each direction is
unequal, that the quality attributes of that traffic differ in each direction, and/or that the
costs associated with transporting traffic are different across the two networks.
From our analysis in section 5 it follows that BAK is efficient in two conditions, which are
determined by traffic balance, cost-benefit distribution and the potential for change in
these parameters as summarised in section 5.5.2:
• Condition 1: where traffic is evenly balanced between peers (that is, networks with
similar costs), and cannot be taken out of balance by strategic behaviour (in this
situation all models would yield the same interconnect fee as BAK, that is, zero); and
• Condition 2: where traffic is not evenly balanced (but is stable, and operators cannot
engage in strategic behaviour to avoid costs), and the retail benefit shares of
initiating and receiving customers exactly match the shares of originating and
terminating network costs.
Our assessment of BAK in this section goes beyond identifying the situations in whichBAK is efficient. In particular, the aim of this section is to outline the implications of
applying BAK on other situations, through an in-depth analysis of the distortions that
would occur. In summary:
• outside Conditions 1 and 2, BAK leads to market distortions and damages efficiency.
By setting all origination and termination payments to zero, BAK requires networks to
gain all of their revenues from their own retail customers, which usually leads to
inefficiencies in retail pricing. Moreover, BAK – mainly due to its inflexibility to react
to changing costs – gives rise to network structure bias (‘hot potato’ problem) and
may lead to under-investment in the extent of networks and their quality. Applied to
transit, BAK also leads to similar inefficiencies and, in addition, would discourage the
provision of transit because of the absence of transit payments; and
41 As we discuss in section 3.3.1, in a situation where no interconnection payments are made if traffic is balanced
but there is an understanding that charges will be paid (or the interconnection arrangement be reconsidered)
when the networks are out of balance, the adopted charging model is settlement-based interconnection, not
BAK.
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• these inefficiencies are likely be amplified in an IP-world where QoS differentiation
would otherwise be facilitated to the benefit of end-customers. Applying BAK to
direct and/or transit interconnection could have the serious effect of impeding the
introduction of QoS differentiation.
6.2.1. Direct interconnection
Because, by definition, BAK prevents the terminating network from receiving revenues
from the initiating party’s network, the only source of revenue to a terminating network are
its own retail customers (including advertising customers). Under a BAK interconnection
system for termination, operators have the following options (individually or in
combination) to generate revenues from their retail customers to cover their origination
and termination costs:
Option 1. The originating network recovers all of its cost from the initiating party; the
terminating network recovers its costs from the receiving party.
Option 2. Each network recovers its costs through retail payments by its subscribers for
unrelated messages, for example:
• the originating network recovers its origination costs by charging more for messages
terminated on its network; and
• the terminating network recovers termination costs by charging more for messages
initiated on its network.
Option 3. Both network operators recover their costs through increasing the price for
bucket plans, fixed access fees or all-you-can-eat plans.
In our analysis below we demonstrate that – except in very special circumstances – all
options involve distortions to market outcomes.
Option 1: The originating network charges the initiating party and the terminating
network charges the receiving party
Charging the initiating and the receiving party each for the costs incurred by their own
network operator would – assuming that charges are sufficiently high – ensure that bothoperators have an incentive to provide services to the degree and quality requested by
customers. While this option solves the cost recovery problem from the perspective of
the networks, its problem lies in its retail implications.
As we demonstrate in section 5.3.2, the distribution of retail charges should reflect the
benefits accrued by each of the parties involved in message exchange. The retail model
of option 1 is efficient only when it appropriately reflects the distribution of consumer
benefits, that is, when each retail party benefits from the message by at least the value of
payment to its network provider. However, as our earlier analysis shows, in many
situations this distribution of benefits is unlikely. In particular, recovering termination
costs from the receiving party can lead to distortions in the following situations:
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• the receiving party does not benefit to an extent equal to at least the termination cost
it bears. For example, a person receiving a request for content from his or her
personal homepage where downloads do not generate advertising revenues, would
be discouraged from providing the content if that person had to pay for downloadsinitiated by some other party;
• both parties benefit from messages; however there is an asymmetry in that the
receiving party usually rewards the initiating party for beneficial messages, but has
less scope to “punish” parties who initiate nuisance messages. As we discuss
earlier, in this case the amount of socially desirable message traffic is maximised by
charging only the initiating party, as this allows socially beneficial messages to be
exchanged, whilst discouraging undesirable messages.
Option 2: Cost recovery through payment for unrelated messages
An operator that does not receive interconnection payments could also try to cover its
costs from charges on unrelated messages (e.g. the terminating network could try to
recover termination costs from outbound messages). Recovering network costs from an
unrelated message sends distorting price signals, because the parties who bear the cost
of the message have not been involved in it. Hence, this retail model tends to lead to an
excess of undesirable traffic, to a suboptimal level of socially beneficial traffic, or a
combination of both.42 These distortions of message traffic would also be reflected in
distortions to subscription decisions wherever subscription fees are relevant: Some
customers would have an incentive to subscribe only because of inefficient messages
they generate, whereas other customers would not subscribe, because they would have
to pay for messages which they neither initiate nor receive.
The disparity between customers who cause costs and those customers who are charged
to recover those costs also results in business bias. While this bias can arise either for
origination or termination (depending on where BAK leaves a gap between retail
payments and network costs), we illustrate it in the situation where BAK leads to under-
recovery of termination costs. In this case the bias leads to targeting of customers that
cause only a small amount of termination traffic and associated costs.
The root of the targeting incentive, is the problem that option 2 involves payments by
customers who do not cause the incremental costs of termination. Therefore, customers
would have an incentive to avoid networks which have a disproportionate amount of
termination traffic, because on these networks they would be charged a higher monthly
fee or pay more whenever they initiate a message. As customers would be willing to pay
a premium to join a network with low termination traffic, network providers would have an
incentive to target customers who originate a disproportionately large amount of traffic.
42 In the event that all messages are identical in origination and termination costs and in their benefits to the
initiating and the receiving party, option 2 could be used to indirectly reinstall efficient retail payments – and
efficient traffic outcomes (e.g. initiating party payments could be re-installed). However, as the costs and
benefits of messages as well as subscriber characteristics on different networks vary significantly, this condition
is extremely unlikely to hold even approximately.
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As we discussed in section 5.3.8, the negative selection process involved in business
bias generally leads to usage which is too low (as some demand for messages is under-
served). Furthermore, the fact that traffic flows reflect a network’s targeting success,
rather than its cost efficiency, and that targeting efforts constitute a wasteful use ofresources, would ultimately lead to higher prices for consumers.
Option 3: Increasing the price for bucket plans, fixed access fees or all-you-can-eat
plans
Because bucket plans and all-you-can-eat plans indirectly involve payments for initiating
or receiving messages, adjusting these prices would be a variant of option 1 (e.g. if the
terminating network recovers costs by increasing the price for buckets on receiving
messages or by imposing additional restrictions on receiving messages on its bucket
options) or of option 2 (e.g. if the terminating network recovers costs by increasing the
price for buckets on initiating messages or imposing additional restrictions on initiatingmessages on its bucket plans). Thus, reacting to BAK by adjusting bucket plans or all-
you-can-eat pricing, leads to the economic outcomes that we discussed above in relation
to options 1 and 2. Therefore, we focus below on the case of introducing (or increasing)
fixed fees, e.g. access fees.
Where a fixed fee is introduced (or increased) relative to traffic sensitive charges as a
reaction to the introduction of BAK, this would distort traffic:
• it leads to excess traffic because the variable charges for messages are below the
costs caused by the message; and
• it tends to distort subscription decisions. Some low usage subscribers who would
have joined a network, no longer do so (because their low usage no longer justifies
the increased fixed fee), whereas other types of subscribers join in excess (those
who disproportionately participate in message exchange that would be discouraged
if the parties of a message had to bear the variable cost of the message, but who
would not have subscribed had only their socially useful traffic be encouraged).
As in the case of options 1 and 2, these distortions relative to the efficient retail outcome
occur whenever the fixed fee structure, adopted in response to BAK, results from the
need to recover costs (rather than being a result of how the benefits of message
exchange are distributed between retail customers).
In addition to these traffic distortions, option 3 involves business biases similar to that of
option 2. Essentially, with access charges that do not vary among customers or that
imperfectly reflect the differences in costs caused by specific customers (which may be
due to differences in the cost of origination vs. termination or the amount of traffic caused
by customers), networks have an incentive to avoid customer types who cause
disproportionately higher costs. Similarly, prospective customers would have an incentive
to avoid networks with a high-cost customer profile.
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Distortions which are unrelated to the retail model
Bill-and-Keep also leads to distortions that are not related to the specific retail model a
network operator employs in response to BAK.
Importantly, BAK causes network structure bias behaviour (the hot-potato problem). The
source of this problem is that under BAK, interconnection payments are equal to zero and
not variable with the amount of costs a network incurs. Hence, all networks have an
incentive to avoid network costs by locating interconnection points closer to their own
customers. As described earlier in this report, network structure bias would ultimately
reduce the availability of services to customers and/or increase retail prices.
Moreover, where a combination of inefficient retail charges, business bias and/or network
structure bias does not compensate for the investment disincentive associated with the
absence of interconnection revenues (e.g. because some networks may not be able toavoid the ‘hot potato’), under-investment in quality or networks in general would occur,
which will inevitably reduce the future availability and quality of services.
Finally, low or zero interconnect charges, in combination with higher fixed charges, may
risk reducing competition for subscribers.43 When termination charges are below the cost
of supplying termination, marginal customers are less valuable to acquire. This leads to
less intense competition for customers and provides the ability for operators to set
excessive fixed charges. The ultimate result is that the benefit from low call prices is
more than offset by the higher fixed charges so that overall consumer welfare is reduced.
6.2.2. Transit
BAK may also be applied to transit interconnection – potentially either as a result of
specific transit arrangements or as a result of using a BAK model between two networks,
which then applies to all traffic between these networks (that is, to direct interconnection
as well as transit). We analyse the implications of applying BAK to transit interconnection
in Appendix D. As we demonstrate, BAK applied specifically to transit traffic would lead
to more severe distortions than BAK applied to direct interconnection, because transit
does not generate retail incomes.
43 Gans, J. and S. King, “Using ‘Bill and Keep’ Interconnect Arrangements to Soften Network Competition”,
Economic Letters, 71 (3), June 2001, pp.413-420. This result contrasts with earlier research which had found
that networks would cooperatively prefer high termination rates with the aim to soften price competition.
However, these earlier results were derived under the unrealistic assumptions that (i) on-net/off-net price
differentiation was not possible and (ii) retail charges consist only of a fixed charge per unit of service but does
not include a subscription fee.
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6.2.3. BAK in the presence of QoS differentiation
While the Bill-and-Keep model generally leads to a number of distortions, even in the
relatively simple environment of switched voice interconnection, these problems will beexacerbated as quality of service provision becomes technically available. Therefore, as
we discuss in detail below, the speed and scope at which the transition to QoS will occur
will strongly depend on whether BAK is imposed.
For example, where BAK for direct interconnection implies that some amount of
termination costs are unrecovered at no QoS differentiation, then an even higher amount
will go unrecovered for terminating messages at a high quality level. An obvious cost
avoidance strategy for the terminating operator would then be to provide BAK termination
only at a low quality and reserve its network capacity for traffic that both originates and
terminates on its network (that is, for traffic that generates revenues for QoS provision).
Even forcing the operator to provide its highest available quality for termination (or tomatch the quality level at which off-net traffic enters its network) would not avoid the
distortion, because such a requirement would simply reduce the incentive to prioritise
traffic or to invest in other QoS capabilities in the first place. Aside from the distorting
effect of BAK on traffic generally, the result would be that the provision of quality would be
driven by efforts to alleviate the impact of BAK and would not necessarily reflect
consumer demand.
In addition, because QoS would increase costs at all elements of a network, it would
increase a network’s benefit from locating the points of interconnection close to its
customers, thereby aggravating the network structure bias.
Similar distortions would also occur if BAK were to be applied to transit, because – as the
examples discussed in Appendix D demonstrate – BAK applied to transit prevents any
indirect payment between the originating and terminating networks. That is, there would
be no rational firm willing to provide transit services on the basis of a BAK interconnection
model. In addition, not paying for transit even at high quality would further discourage
transit providers from offering services, particularly at high quality.
The additional distortions caused by BAK in the presence of QoS apply to interconnection
at all points in a network, because QoS provision involves costs throughout the network.
For example, prioritising a data packet at any part of a network incurs the cost of the
opportunity to prioritise another packet.
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A recent study44 prepared for the German telecommunication regulator, BNetzA, deviates
from this view. It recommends a dual interconnection system, whereby BAK would be
applied to direct interconnection45, and where CPNP46 (in its Element Based Charging
(EBC) variant) would be adopted for transit where regulation of transit charges isnecessary. The rationale for this recommendation appears to be the following, in the
author’s view:
• BAK is the preferred interconnection system if QoS considerations do not play a
role;47
• CPNP (either as EBC or Capacity Based Charging (CBC)) is the preferred
interconnection system if QoS considerations are relevant;48 and
• QoS considerations are not significant for originating and terminating access.49
Accordingly, the author concludes that, because (in his view), BAK is generally the
preferable interconnection model in the absence of QoS consideration, then it is still
preferable in relation to interconnection for originating and terminating access, even in
networks that adopt QoS standards.
Our analysis in this section has shown that BAK implies several distortions. In the
following sections, after considering alternative interconnection models, we conclude that
BAK is not necessarily preferable to these alternatives even in the absence of quality of
service considerations. In addition, there are compelling reasons to suggest that QoS
plays a significant role for originating and terminating access:
44 Vogelsang, Ingo “Abrechnungssysteme und Zusammenschaltungsregime aus ökonomischer Sicht”, Study
prepared for the Bundesnetzagentur für Elektrizität, Gas, Telekommunikation, Post und Eisenbahnen; 28 April
2006; p 172. It should be noted that Vogelsang’s efficiency analysis is somewhat more limited than the analysis
in this report as he compares only the relative performance of Bill–and-Keep with two specific variants of CPNP
(both of which are cost-based).
45 The study uses the term “interconnection” in the access network to refer to origination/termination.
46 Calling party network pays. The main focus of that study is IP voice traffic.
47 Vogelsang derives this conclusion from his analysis of alternative interconnection charging models in the PSTN
and in NGN (and specifically for VoIP without QoS considerations) with a fixed-line access network, but
concludes that his assessment is valid more generally and in particular applies also to mobile networks.
Vogelsang, ibid, pp 86-87, 118-119 and 129.
48 Vogelsang, ibid, p 148.
49 Vogelsang, ibid, p 142. Vogelsang points out (p. 143) that the BAK approach for origination/termination “could
lead to more problems”, if the possibilities of quality differentiation in the access network (in particular with
regard to termination) are significant.
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• firstly, access networks can be, and in practice sometimes are, affected by capacity
shortages, which constitute the problem that QoS traffic prioritisation attempts to
solve. The reason for capacity shortages in access networks is that adding capacity
to them can be particularly costly, as the elements of the access network at a givenlocation (e.g. a fixed line access network, mobile towers or spectrum) are used only
by a relatively small number of retail customers. Further, mobile network operators
will generally not be able to easily purchase additional spectrum to meet the
increased capacity requirements associated with QoS-free interconnection; and
• secondly, interconnection for originating and terminating access is not restricted to
the first point of interconnection (in the case of origination) or the last point of
interconnection (in the case of termination). For example, interconnection with a
mobile network for call termination typically occurs at the first point of interconnection
with the terminating network, because the geographical location of the receiving
party is unknown. Hence, a terminating mobile call is usually transmitted oversignificantly more elements of the terminating network than just the portion of the
network that provides access to the receiving customer. At every point along this
path, quality of service will need to be ensured for, say, a high quality video call.
Overall, this indicates that interconnection for the purpose of origination/termination
cannot be decoupled from QoS standards. Accordingly, it is essential that the
interconnection regime adopted for origination/termination induces incentives to provide
an efficient level of QoS in the context of both direct interconnection and transit.
6.2.4. BAK imposed by regulation
The results of the preceding analysis can be used to evaluate commonly held perceptions
about BAK in a regulatory context. Proponents of BAK put forward the following benefits
as the rationale for using BAK in IP interconnection arrangements:
• firstly, proponents argue it is simple and certain, both from the perspective of market
participants and regulators. Because there are no interconnect payments,
transaction costs (e.g. billing) are saved and operators can be sure what the cost will
be (which is helpful in the case of, say, retail bucket plans). In addition, regulatory
resources needed to manage a BAK system are low and there is no risk of
regulatory error which might otherwise occur if the regulator attempts to set the ‘right’interconnection fee;
• secondly, in a regulatory context, the BAK model has raised interest as a means for
regulators to overcome what has been called a “termination monopoly”. This refers
to the finding, that because a network controls the access to its customers,
termination charges may not be equal to the economically efficient level even if
networks compete intensively for customers. Because BAK sets the termination fee
to zero, there can be no concerns about over-pricing of termination; and
• thirdly, proponents argue that BAK avoids regulatory-induced arbitrage in which calls
may be routed inefficiently to take advantage of any differences in terminationcharges.
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However, in light of the preceding analysis, none of these arguments in favour of BAK
withstands closer scrutiny.
First, applying BAK efficiently is not simple. If BAK were to be applied efficiently, thenextensive monitoring is required to assess whether the conditions under which BAK is
efficient continue to hold. That is, if BAK is applied in condition 1 traffic balance and cost
balance need to be monitored, whereas if it is applied in condition 2 the cost and benefit
distributions would need to be monitored. Without evaluating whether these conditions
hold (and continue to hold for as long as BAK is applied), applying BAK would risk very
significant distortions in the market place (because, as discussed earlier, it is not suitable
to reflect the variety of retail and cost conditions which are encountered in practice and
which will be even more important with the migration to NGN). The significance of which
will in many cases outweigh the burden of carefully choosing an interconnection model
and monitoring its performance. Thus, applying BAK efficiently does involve potentially
significant transaction costs.
Second, BAK should not be applied as a standard remedy to termination bottlenecks.
There is no guarantee that – in a situation where termination bottlenecks exist and market
based termination rates are excessive (considered within the overall strategy of operators
to recover their costs through various prices)50 – imposing BAK would yield more efficient
market outcomes than imposing any other arbitrary interconnection fee. Indeed, there is
no guarantee that in this situation BAK would lead to outcomes that are more efficient
than those that would be achieved without intervention. The reason is again that, when
applied outside conditions 1 or 2, BAK implies inefficiencies.
Third, regulatory arbitrage is not a failure of interconnection charging models other than
BAK, but a result of inconsistent regulation. Where regulation is applied consistently,
arbitrage is minimised. BAK is not an efficient shortcut to avoid arbitrage, because it
would – outside conditions 1 and 2 – imply inefficient use of services and cost avoidance
behaviour (which eventually will further distort consumption).
6.2.5. Conclusion
In this section we investigated in detail the inefficiencies that follow from applying BAK in
other circumstances other than conditions 1 and 2 listed in Table 3.
Under BAK, network operators must recover their costs from their own retail customers.
Our discussion demonstrates that the most obvious retail charging model which operators
can employ to cover their costs, leads – except in the specific case where the benefit
accrued by each retail party coincides with the cost of its network (as depicted by the
diagonal line in Figure 19) – to inefficient consumption of messages. Alternative models,
which try to recover costs more indirectly, have even more distorting effects (e.g.
business bias). Different operators may have differing abilities to recover costs from their
customers and hence BAK may also impact the relative competitiveness of operators.
50 As discussed in section 7.3.3 in relation to any-to-any connectivity, concerns about traditional termination
bottlenecks may become less relevant in an IP-world.
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Moreover, even in combination with the best performing retail model and under the
assumption that this model efficiently reflects retail benefits, BAK causes network
structure bias (the hot-potato problem). This bias results from the fact that under BAK
interconnection payments are invariably set equal to zero, which creates an incentive foreach network to avoid costs by locating interconnection points closer to its own
customers.
Where a combination of inefficient retail charges and biased business conduct do not
compensate for the investment disincentive associated with zero interconnection
revenues, under-investment in networks and their quality will follow.
BAK applied at the transit level can lead to one or more transit providers not receiving any
revenues. This implies additional distortions, because with no transit payments, transit
providers incur costs but have no means to recover them. As a result BAK would act as a
disincentive to provide transit – an effect that markets could only overcome through costlybypass.
Finally, the distortions generally occurring under BAK are likely to increase in the
presence of QoS, because QoS provision increases the costs throughout networks and
therefore increases the potential disparity between retail payments resulting from an
efficient retail model and the costs that need to be covered. Hence, applying BAK to
direct interconnection, transit or both could have the serious effect of impeding the
introduction of QoS into the market.
In short, unless BAK is applied in a situation of traffic balance between peers, and this
balance cannot be changed through strategic moves, BAK is generally an inefficientinterconnection model with far-reaching consequences, which include distortions to the
amount and type of traffic, unavailability of services and quality levels, as well as high
prices.
Regulators could try to mitigate the disincentives under the BAK model, for example by
preventing the targeting of customers, regulating the location of interconnection points
and mandating network investments to meet quality requirements. However, given the
complexities involved, this would be highly unlikely to be successful. Hence, regulation
alone would not suffice to ensure a mandated BAK would work efficiently.
Our analysis also shows that commonly held beliefs that BAK should be imposed when
markets fail, are incorrect. Applied correctly, BAK is neither a simple remedy nor an
efficient way to respond to termination bottlenecks, where they require intervention.
Table 4 summarises the benefits and disadvantages of imposing BAK with reference to
the efficiency criteria introduced in section 5.2.3.
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Table 4: General assessment of BAK against efficiency outcomes
Type of impact Assessment
1. Consumer benefits • Except under specific circumstances (Conditions 1 and 2), retailprice distortions potentially lead to too few beneficial messagesand too many undesirable messages being sent and tocorresponding distortions in subscription decisions
• Allows some internalisation of positive subscriber externalitiesalthough it may also lead to some customers not being served atall (e.g. those who mainly receive messages and for whom theirown benefit of receiving the messages is lower than the cost)
• In general, impedes the supply of higher QoS-based servicesrequiring interconnection, as the terminating network may not havean incentive to provide the higher QoS
2. Network operator impacts • Where operators are required to accept traffic, BAK may lead to
operators being forced to receive calls without adequateremuneration, deterring network investment (and/or forcing theoperator to adjust its retail charging, which outside Conditions 1and 2 is inefficient)
3. Market operations benefits • The ‘hot-potato’ problem emerges (networks inefficiently hand offtraffic as soon as possible, raising overall cost of supply)
• Potential to soften network competition
4. Regulatory impacts • Avoids regulator involvement in detailed estimation of efficientinterconnection charges; however, strategic behaviour may needto be monitored, and traffic measured to test whether conditions 1or 2 still hold
6.3. EFFICIENCY OF IPNP
IPNP, BAK and RPNP are a continuum of options involving a fee for termination, a
termination fee equal to zero, or a positive origination fee (or, in other words, a negative
termination fee), respectively. For this reason, many of the inefficiencies that can occur
when BAK is applied in an inappropriate situation, can also occur when IPNP (or RPNP)
is applied in (different) inappropriate situations. Therefore, much of the analysis provided
in the previous section is also relevant to the assessment of both IPNP and RPNP, albeit
the benefits or disadvantages of each model appear in different situations.
Efficient interconnect pricing in the first instance means aligning the current
interconnection fee with market conditions and costs. However, because the charging
regime will be in effect for a long time, its efficiency needs to be assessed in terms of
likely changes in these market conditions and costs. Therefore, the responsiveness of a
charging model to changing conditions is as relevant as whether the model best reflects
current conditions. Based on these static and dynamic aspects of the performance
characteristics of charging models, the following analysis focuses on two aspects of
IPNP:
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• firstly, we assume that IPNP is applied by imposing a specific termination fee, which
does not change in response to actions taken by network operators or in response to
other changes in the market. This setting, albeit restrictive, already reveals some
advantages of IPNP; and
• secondly, we consider how the performance of IPNP changes if, rather than
imposing a specific interconnection fee, the fee simply responds to evolving market
developments – for example, by being related to costs that network operators incur.
We demonstrate that in this setting, IPNP has additional potential to outperform BAK.
Our key findings can be summarised as follows:
• in the situation of the fixed interconnection fee, IPNP has the potential to outperform
BAK on efficiency measures in many situations. This is due to the wider set of
conditions under which IPNP is efficient, which follows from the fact that IPNP, unlikeBAK (where the interconnection fee is equal to zero), does not imply a specific
interconnection fee. Moreover, IPNP is likely to be efficient in even more situations,
because payments by the initiating party are often an efficient retail model that is
best complemented by IPNP. Finally, compared to BAK, IPNP can be applied in a
way that covers the costs of transit networks and thereby avoids the distortion of
applying BAK to transit; and
• in the situation where the termination fee is adjusted according to evolving market
conditions, IPNP has the potential to outperform BAK even further, because, by
definition, BAK implies an unchangeable interconnection fee equal to zero.
6.3.1. IPNP when interconnection price is held constant
This section shows that, even in the situation where it is assumed that one specific
termination charge is adopted and not changed in response to market conditions, IPNP
has advantages over BAK. These advantages also hold when a more flexible fee is
adopted, however, they do not result from flexibility.
In this section, we focus on direct interconnection. In relation to transit models, we simply
note that IPNP enables transit providers to cover their costs and so avoids a key problem
associated with BAK in that context.
As we have already identified in section 5.3.2 and summarised in Table 3, IPNP is
• efficient when only the initiating party benefits from a message while some of the
costs are incurred by the terminating network; and
• inefficient when only the receiving party benefits from a message.
When both parties benefit, IPNP may be efficient, depending on each customer’s
valuation of the message and the distribution of costs between networks.
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If the IPNP model is applied in a situation outside these circumstances, then inefficiencies
will follow. For example, if a termination payment is adopted in a situation where the
receiving party should bear the full cost of a message, then traffic will be distorted. The
origin of these distortions is that the originating network incurs the costs of origination andpays for termination, but does not receive revenues under the efficient retail model. As
discussed in section 5.3.8, the originating network could respond by deviating from the
efficient retail model (e.g., by charging its customer for initiating the message) or by
avoiding some or all of its costs (e.g. by targeting customers who initiate relatively less
traffic). In a QoS context this distortion would tend to be magnified, because QoS
provision increases the costs throughout networks and therefore increases the potential
disparity between the retail payments resulting from an efficient retail model and the costs
that need to be covered.
In sum, the type of distortions that can arise under a BAK model (where the termination
fee is equal to zero) can also arise under specific fixed charges for termination. Thus, anassessment of which model is likely to lead to the best market performance needs to
consider the specific market circumstances, that is, how far is the termination charge
(including a zero charge under a BAK) from the efficient level. However, because
adopting IPNP does not limit the choice to a specific interconnection fee, whereas the
interconnection fee under BAK is always zero, the range of circumstances in which IPNP
is more efficient than BAK is large (represented by the comparison of the diagonal BAK
line with the area left of it).
Thus, unlike BAK, IPNP (and also RPNP) does not imply that a specific interconnection
fee is selected regardless of market circumstances. Therefore, IPNP has an inherent
advantage over BAK, as the level of the interconnection fee can be set on the basis of
evidence regarding the typical distribution of message benefits between retail customers,
retail customers’ ability to reward each other for initiating useful messages, and network
costs. If, in addition, the possibility of applying RPNP in some situations is not excluded,
then IPNP and RPNP, unlike BAK, allow the question regarding which interconnection
model should be applied, to be considered without preconceiving market conditions.51
Moreover, the IPNP area depicted in Figure 19 is of particular practical importance.
There are reasons to suggest – and market determination of retail payments appears to
support this – that a model with payments only by the party initiating a message
(commonly understood as the “Initiating Party Pays” (IPP) principle) performs well in
many situations. To see this, consider the consumer welfare implications of a shift
towards higher payments by the initiating party. Raising the price to the initiating party,
and correspondingly decreasing charges to the receiving party, has two conflicting
welfare implications:
51 An assessment of market conditions without preconception may of course result in an interconnection fee that is
equal to zero in specific circumstances. But unlike BAK this interconnection fee would change as market
conditions evolve.
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• a welfare benefit, because some socially wasteful messages (e.g. where the
receiving party does not benefit enough for the total benefit to exceed resource
costs) are less likely to be sent; and
• a welfare detriment, because some socially beneficial messages (e.g. messages that
are socially desirable only because they generate a benefit to the receiving party, in
addition to any benefit to the originating party) are less likely to be sent.
The overall welfare effect, therefore, depends on which effect dominates. If the former,
then moving more of the cost burden onto the initiating party would increase welfare. If
the latter, then efficiency would be improved it the receiving party bore more of the cost.
In many cases, IPNP will result in the overall welfare benefit outweighing any detriment.
First, the detriment is generally likely to be low, because in many situations the initiatingparty can receive appropriate compensation from the receiving party for initiating
messages, which, in part or even mostly, benefit the receiving party. This compensation
may be monetary, such as parents paying their children’s mobile bills, or non-monetary
particularly in repeated calling relationships (e.g. where both parties call each other or
sending a useful message is rewarded through other aspects of the relationship between
sender and receiver).
Second, the welfare benefit of charging only the initiating party may be significant
because, in interactions that are one-off, it may be less likely that a message will benefit
the receiving party, and ‘compensation’ for negative effects on the receiving party (e.g.
for an interruption) is not feasible.
Further, IPNP can lead to termination charges that reduce not only the cost of the
individual message that the receiving party must bear, but can also lead to operators
reducing retail prices to the receiving party (as they become more valuable to acquire).
This can provide a means by which subscriber externalities can be internalised. These
reasons suggest that IPNP has the potential to promote efficiency in many – but not all –
common retail market situations.52
52 The distribution of benefits is to some extent a function of the retail charging model. Charging the receiving
party tends to stimulate messages which exhibit a negative externality (such as spam), which tips the
distribution of benefit to the sender. In other words, the character and pattern of the traffic will change in
response to the charging model. As a result, the benefits of a model which involves charging the receiving party
cannot be assessed on the basis of the typical character and pattern of messages exchanged under a model
where only the initiating party pays. Doing so would lead to the misleading suggestion that charging the
receiving party would improve welfare.
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We note that IPNP mobile markets have traditionally experienced lower average minutes
of use than other markets, such as in the US and Canada where interconnection between
mobile operators is typically on a BAK basis. Making international comparisons of market
outcomes is complicated, however, by the range of factors at play. For instance, prepaidplans (with higher per minute charges) are the most popular form of mobile plan in
Europe, whereas only 11 per cent of US subscribers are on prepaid plans. 53 In addition,
overall mobile penetration rates in North America continue to significantly lag European
penetration, with the consequence that the US market simply does not have many of the
low usage customers that have mobile phones in Europe. There appears to be
increasing convergence in the outcomes between markets -- for instance, prepaid is
growing in the US, while buckets plans are becoming increasingly more common in
Europe. Consequently, IPNP is likely to be relatively more efficient than other
interconnection models in many cases.
Additional advantages of IPNP over BAK arise in the context in which the level of thetermination charge can vary in response to market developments. We consider this next.
6.3.2. Enhanced performance of IPNP when interconnection fees can vary
Adopting an IPNP interconnection model entails the option of allowing interconnection
charges to flexibly reflect market conditions. For example, termination charges could
increase when the costs incurred by the terminating network increase.
The advantage of this flexibility is that it would avoid the distorting behaviour that would
be encouraged by the adoption of a fixed level of interconnection charges. When
interconnection fees do not change, network operators have an incentive to reduce their
costs, as this change will not have an impact on their interconnection revenues or
payments. Specifically, they have an incentive to distort their networks so that
interconnection points are close to their customers (network structure bias). This
incentive can be blunted if interconnection fees change in a way that reflects the change
in the costs. Thus, IPNP – when applied appropriately – also avoids the inflexibility of
BAK with regard to evolving market conditions, including those changes caused by
strategic behaviour.54
Consequently, when IPNP/RPNP are applied in a way that reflects market conditions and
costs and where interconnection fees respond to changes in these factors, then thesemodels have the potential to avoid economic problems inherent in BAK.
53 FCC, Eleventh Annual Report on the State of Competition with respect to Commercial Mobile Services, 29
September 2006.
54 Of course, the potential flexibility IPNP and RPNP does not imply that interconnection fees should change
immediately or frequently in response to evolving market conditions. In an efficient application of IPNP and
RPNP the cost of changes and frequent monitoring will be weighed against the potential benefit of changes.
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6.3.3. IPNP imposed by regulation
At first glance, IPNP appears more complex than BAK, or may result in termination
bottlenecks and regulatory arbitrage, if IPNP is poorly implemented by a regulator.However, as we have demonstrated in section 6.2.4, none of these assertions holds after
closer scrutiny, which weighs the social costs of adopting BAK in situations where it leads
to market inefficiencies, against the cost of adopting a more sophisticated approach to
determining interconnection fees.
6.3.4. Conclusion
The relative merits of IPNP with the flexibility for the level of termination charges to be
changed in response to market developments are summarised in Table 5. This Table
highlights the potential for IPNP to deliver significant benefits where the level of
termination charges is appropriate to the particular market situation (and where the levelchanges in response to changing market condition).
Table 5: General assessment of IPNP against efficiency outcomes
Type of impact Assessment
1. Consumer benefits • Helps to discourage unwanted messages (e.g. spam).
• May prevent some beneficial messages from being initiated,although this impact will be minimised by frequent messagingrelationships or other mechanisms which are available whereindividuals interact more broadly.
• Potentially higher subscriber numbers by providing a means tointernalise subscriber externalities.
• Differential QoS supported by means to reward both initiating andreceiving networks for carrying higher QoS.
2. Network operator impacts • With the appropriate level of termination charges and the ability tochange termination charges if costs change, IPNP ensures costrecovery and encourages efficient network investment.
3. Market operations benefits • An appropriate level of termination charges can promote efficientmarket operations.
4. Regulatory impacts •
Regulatory view of ‘termination regulation’ can involveadministrative costs and risk of regulatory error in estimatingefficient termination charges. Nonetheless, these risks are likelyto be outweighed by the cost of instead mandating a zerotermination charge (BAK) regardless of whether the marketcircumstances actually require a significant positive terminationcharge.
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As we have previously noted, while in many situations a positive termination charge will
be appropriate and hence IPNP is likely to be the best model, there will be other
situations when this is not the case. Accordingly, the full range of benefits listed in Table
5 should be understood as relating to the application of IPNP in the right circumstances.However, overall, Table 5 assesses IPNP more favourably than Table 4 summarises
BAK. As we have discussed in detail in this section, the reason is that IPNP implies a
less specific fee than BAK, payments by the initiating party are in many situations efficient
regardless of the distribution of benefits between retail parties and because termination
fees can be adjusted in response to market evolution and cost changes (whereas BAK
implies an invariable fee equal to zero).
6.4. EFFICIENCY OF RPNP
An RPNP model involves a positive origination fee, that is, the receiving party’s network
pays an origination charge levied by the initiating party’s network. For example, a
business may want to offer free calls to its customer service centre. The network to which
the business belongs will then arrange to pay an origination charge to the networks of
customers making calls to the service centre. The origination charges will then be
recovered from the business in the charge for the free call service. Much of the analysis
provided in the previous sections is also relevant to the assessment of RPNP.
As in the discussion of IPNP we consider the static and dynamic performance aspects of
RPNP in two steps:
• firstly, we assume that RPNP is applied by imposing a specific origination fee which
does not change in response to actions taken by network operators or in response to
other changes in the market. This setting albeit restrictive, already reveals some
advantages of RPNP over BAK but disadvantages over IPNP; and
• secondly, we consider how the performance of RPNP changes if, rather than
imposing a specific interconnection fee, the fee simply responds to market
developments – for example, by being related to costs that network operators incur.
We demonstrate that in this setting, RPNP has additional potential to outperform
BAK.
Our key findings can be summarised as follows:
• in the situation of the fixed interconnection fee, RPNP has the potential to outperform
BAK on efficiency measures in many situations. This is due to the wider set of
conditions under which RPNP is efficient (as depicted in Figure 19) which follows
from the fact that RPNP, unlike BAK (where the interconnection fee is equal to zero),
does not imply a specific interconnection fee. At the same time, in most common
situations, RPNP is likely to be inferior to IPNP. Finally, compared to BAK, IPNP can
be applied in a way that covers the costs of transit networks and thereby avoids the
distortion of applying BAK to transit; and
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• in the situation where the origination fee is adjusted according to evolving market
conditions, RPNP has the potential to outperform BAK even further, because, by
definition, BAK implies an unchangeable interconnection fee equal to zero.
6.4.1. RPNP when interconnection fees are held constant
Assuming that under transit models other than BAK the costs incurred by transit networks
will be covered, RPNP consistently avoids a key problem of applying BAK to all transit,
namely that the transit providers do not recover their costs. In the remainder of this
section, we focus on direct interconnection.
As we have already identified in section 5, RPNP is:
• efficient when only the receiving party benefits from a message but some of the
costs are borne by the originating network; and
• inefficient when only the initiating party benefits from a message.
When both parties benefit, RPNP may be efficient, depending on each customer’s
valuation of the message and the distribution of costs between their networks.
If the RPNP model is applied in a situation outside these circumstances, then
inefficiencies will follow. For example, in a situation where the initiating party should
typically bear the full cost of a message, if an origination payment is adopted, then traffic
will be distorted. The origin of these distortions is that the terminating network incurs the
costs of termination and also pays for origination, but does not receive revenues underthe efficient retail model. As discussed in section 5.3.7, the terminating network could
respond by deviating from the efficient retail model (e.g., by charging its customer for the
origination of the message) or by avoiding some or all of its costs (e.g. by targeting
customers who terminate relatively less traffic). In a QoS context, this distortion would
tend to be magnified, because QoS provision increases the costs throughout networks
and therefore increases the potential disparity between the retail payments resulting from
an efficient retail model and the costs that need to be covered.
In sum, the type of distortions that can arise under a RPNP mirrors those that can arise
under BAK and IPNP, again illustrating our earlier finding that, which model is likely to
lead to the best market performance, depends on specific market circumstances.
However, because adopting RPNP does not limit the choice to a specific interconnection
fee, whereas the interconnection fee under BAK is always zero, the range of
circumstances in which RPNP is more efficient than BAK is large (represented by the
comparison of the diagonal BAK line with the area right of it).
Because as discussed in section 6.3.1, recovering the full cost of a message from the
initiating party is efficient in many important situations, RPNP consequently has less
potential to be applied efficiently than IPNP.
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Overall, the type of distortions that can arise under a BAK model (where the origination
fee is equal to zero) can also arise under a specific fixed charge for origination. Thus, an
assessment of which model is likely to lead to the best market performance must have
regard to the specific circumstances under which interconnection is supplied.
6.4.2. Enhanced performance of RPNP when interconnection fees can vary
Adopting an RPNP interconnection model entails the option of allowing interconnection
charges to flexibly reflect market conditions. For example, origination charges could
increase when the costs incurred by the originating network increase.
As noted in our discussion of IPNP, the advantage of this flexibility is that it would avoid
the disincentive for network operators to, for example, distort their networks in a way that
interconnection points are close to their customers (network structure bias). This
incentive can be blunted if interconnection fees change in a way that reflects the change
in the costs.
Thus, similarly to IPNP (in the situations where it is superior to RPNP), RPNP also avoids
the inflexibility of BAK with regard to evolving market conditions, including those changes
caused by strategic behaviour.
6.4.3. RPNP and regulation
When interconnection costs are recovered through origination charges, the question
arises as to whether there would be any parallel “origination bottleneck”, in that the
receiving party who ultimately pays the origination charge, is not the initiating party who
has chosen to join the network on which the message is originated. A concern about
market power in this context would appear to arise only where access to the customers
initiating the messages is in some sense essential, e.g., such as where the viability of the
business is dependent on having access to the large customer base of the incumbent
operator and where there are not alternative means of reaching those customers. As with
access issues more generally, it would also be relevant to consider the incentives of
individual operators to deny access or to set inefficiently high origination charges.
Where interconnection is being negotiated between two networks that are not dominant in
any broader market, it is unlikely that there would be any need for regulation of theorigination charge. For example, if a small network sought to set an excessive origination
charge, companies offering freephone calls could choose not to accept calls from that
network. The loss in revenue from origination charges, as well as potential loss of
customers who would be encouraged to switch away from a network on which freephone
calls were unable to be made, would be likely to lead the initiating network to reduce its
origination charges.
However, even if in a specific situation there were a need to intervene, in order to prevent
inefficiently high origination charges, BAK would generally not be a better solution than
determining an appropriate regulated origination fee for the same reasons discussed in
section 6.2.4.
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6.4.4. Conclusion
We summarise the efficiency outcomes that can result from RPNP in Table 6. In short,
RPNP may have a role in certain market situations, but risks deterring a substantialvolume of traffic if applied more generally.
Table 6: General assessment of RPNP against efficiency outcomes
Type of impact Assessment
1. Consumer benefits • RPNP can support initiation of messages which primarily benefitthe receiver and which may otherwise not occur under BAK orIPNP.
• However, general application of RPNP would risk a massivegrowth in undesirable messages being sent, to the detriment of thereceiving customer.
2. Network operator impacts • In situations in which it is appropriate for there to be a positiveorigination charge and origination charges can be changed if costschange, RPNP ensures cost recovery and encourages efficientnetwork investment.
3. Market operations benefits • An appropriate level of origination charges in particular situationscan promote efficient market operations.
4. Regulatory impacts • RPNP avoids regulatory oversight of termination charges.Oversight of origination charges is likely to be desirable only foroperators that have market power in a more general market.
6.5. EFFICIENCY OF SETTLEMENT-BASED INTERCONNECTION (SBI)
Settlement-based interconnection is a special case of either Initiating Party Network Pays
(IPNP) or Receiving Party Network Pays (RPNP), depending on whether the initiating
network or the receiving network pays for the traffic imbalance. This applies in the
context of direct interconnection, as well as to the use of settlement-based
interconnection for transit.
This also implies that the commercial and economic outcomes (including the relationship
between the interconnection model and retail charges) that can be achieved with
settlement-based interconnection where the initiating network pays for the imbalance, can
similarly be achieved with an IPNP model without settlement.55 Similarly, the outcomesfrom settlement interconnection where the terminating network pays for the imbalance,
can similarly be achieved with a RPNP model without settlement.
55 For example, consider two networks, A and B, which apply settlement-based interconnection where A pays B,
because A initiates more traffic (and/or A’s traffic that has on average higher priority and/or its traffic tends to be
sent at peak times) terminating on B than B does in the reverse direction. If the balance changes, such that B
initiates relatively more traffic terminating on A, B would now make a payment to A. The same change would
occur if IPNP were applied: B would, on balance, pay more to A than vice versa. Under both models, if the
traffic balance between the networks changes then the balance of payments also changes, however, the
network making a net payment is the network which initiates the imbalance of traffic.
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The difference between settlement-based interconnection and these two alternative
options seems to be largely a technical one, in which the gross payments between the
parties are lower due the recognition of the balanced traffic.
The operation of settlement-based interconnection is critically related to the concept of
“balance”. The definition of “balance” is not simply the balance of megabits or minutes
that the operators terminate for each other over a specific time frame. The relevant
"balance" is in the long-run costs each interconnected operator incurs to provide the
interconnection. If operators' cost structures and demand profiles are similar, balance in
traffic is a sound and measurable proxy for balance in costs. In this regard, to be
reflective of the operators’ (opportunity) costs of providing termination to each other, the
balance must take into account the time at which services were provided (in order to
distinguish times of high and low network utilisation) and the priority as well as other
quality characteristics of the service provided. Once the definition of “balance” has been
agreed, the parties to settlement-based interconnection then need to identify rules toguide their relationship in the event of either casual or systematic imbalance. Finally, they
need to monitor traffic flows in order to be able to assess the balance.
It is clear that, if the balance between two networks is monitored precisely, then the
complications involved in settlement-based interconnection are likely to be similar to the
transactions costs of negotiating and implementing any other interconnection model in
which (at least under some circumstances) payments are made. However, in many
circumstances setting off payments against each may facilitate interconnection and,
hence, settlement-based interconnection might enhance the efficiency of IPNP/RPNP – in
particular when the charges for imbalance are reflective of market conditions and costs
are revised according to the evolution of circumstances.
In sum, settlement-based interconnection represents a special case of either IPNP or
RPNP, depending on which network pays for the traffic imbalance. Due to the setting-off
of traffic in the reverse direction, gross payments may be lower and transactions may be
facilitated, but settlement-based interconnection generally has the same merits, problems
and dependencies as IPNP / RPNP models.
6.6. CONCLUSION
6.6.1. Direct interconnection
This section has illustrated the detriments to market outcomes, which might occur if a
specific interconnection fee is adopted under unsuitable circumstances. Where
inefficiencies occur, they are likely to increase in the presence of QoS, because QoS
provision increases the costs throughout networks and therefore increases the potential
disparity between retail payments resulting from an efficient retail model and the costs
that need to be covered. Hence, applying an inefficient interconnection model could have
serious effects on the introduction of QoS into the market.
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The potential inefficiencies are particularly clear in the BAK model, because it involves a
very specific interconnection fee (zero), which cannot be changed. Adopting specific
interconnection fees within an IPNP or RPNP (with or without settlement) model can lead
to similar distortions (although the distortions would arise in different circumstances).However, adopting an IPNP or RPNP model generally implies an advantage over
adopting BAK, as long as the specific interconnection fee in the IPNP or RPNP model is
chosen in correspondence with market conditions.
Adopting an IPNP or RPNP interconnection model also entails the option of allowing
interconnection charges to flexibly reflect evolving market conditions. For example, in an
IPNP regime, termination charges could increase when the costs incurred by the
terminating network increase.
The advantage of this flexibility is that it would undermine distorting behaviour that would
be encouraged by the adoption of unchangeable interconnection fees. Wheninterconnection fees do not change, network operators have an incentive to reduce their
costs, as this will not have an impact on their interconnection revenues or payments.
Specifically, they have an incentive to distort their networks in a way that interconnection
points are close to their customers (network structure bias). This incentive can be
undermined if interconnection fees change in a way that reflects the change in the costs.
Because unlike BAK, IPNP and RPNP do not imply that a specific interconnection fee is
maintained regardless of market circumstances, these models have an inherent
advantage over BAK, especially when no pre-selection between IPNP and RPNP (that is,
about the direction of payments) is made without supporting market evidence. Thus, not
only do these models allow approaching the question about which interconnection model
should be applied, without the preconception with regard to market conditions that is
implicit in BAK, they would also avoid the inflexibility of BAK with regard to evolving
market conditions, including those changes caused by strategic behaviour.56
Consequently, when IPNP/RPNP are applied in a way that reflect market conditions and
costs, then they have the potential to avoid virtually all economic problems inherent in
BAK, which ultimately result from the assumption that the interconnection fee should be
zero regardless of circumstances.
We have identified reasons, why in many practically relevant situations IPNP is likely to
be a well performing model. IPNP, more than RPNP or BAK, discourages socially
undesirable traffic (that is, spam), whereas it is typically unlikely to prevent desirable
traffic to a significant extent. Thus, in many situations, IPNP is likely to be optimal if the
‘right’ level of fees is chosen.
56 An assessment of market conditions without prejudice may of course result in an interconnection fee that is
equal to zero in specific circumstances. The important difference to BAK is that this interconnection fee would
change as market conditions evolve.
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This ‘right’ level of termination fees is not always adopted in a market without the
intervention of regulators. IPNP may in some cases however lead to termination
bottleneck problems, where market equilibrium rates exceed the desirable interconnection
fee. The result is a distortion to market outcomes, such as a relatively low amount oftraffic.
However, the possibility of termination bottlenecks is no reason to impose BAK (or RPNP)
instead of IPNP. First, and generally, intervention should be limited to situations where
distortions would actually arise. Second, our analysis demonstrates that imposing BAK
(or RPNP) would generally not be an efficient remedy of bottleneck market power, but
lead to multiple distortions, which might far outweigh the benefit of simplicity of BAK – and
might even outweigh the distortions originally caused by the bottleneck. Hence,
regulators, where they have reason to intervene in response to bottleneck concerns, are
well-advised to impose a termination fee which is based on careful market analysis, rather
than one which is chosen based on simplicity alone. The costs to society of choosing aninterconnection model that is grossly incoherent with the efficient interconnection model
can be very significant, such that simplicity alone does not appear to ensure market
outcomes that are in the interest of consumers in the short and long term.
6.6.2. Transit
The principles of efficient charging models for direct interconnection and transit fees are
similar to each other. For this reason, our conclusions about the comparative
performance of the alternative charging models in direct interconnection also apply to
transit. Efficiency hinges on applying interconnection models that reflect market and costs
conditions on an ongoing basis.
Transit fees have the added efficiency requirement that transit charges must yield
appropriate revenues to transit providers. For this reason, BAK tends to be even more
problematic when applied to transit, given that BAK between transit providers would imply
that transit costs are not covered. The resulting disincentive to provide transit would
increase the cost of production (e.g. bypass of efficient transit facilities) and ultimately
lead to higher prices.
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7. POLICY IMPLICATIONS
7.1. INTRODUCTION
In the preceding sections of the report, we have outlined the evolution of IP
interconnection and looked in depth at the economic efficiency and consumer welfare
implications of various interconnection charging models. Our key observations from this
analysis are as follows:
• IP interconnection has been around for some time – it is how the public internet
functions as a “network of networks”. Inherent technological features of the way
interconnection works at present mean that today it is only possible to provide a
generic best-efforts grade of IP service. It also means there are quite severe
limitations to the scope for interconnection charging models, in conjunction with retailprices, to be structured to deliver consumer welfare and broader economic efficiency
benefits;
• developments in the IP standard will transform the performance of the internet.
Future IP-based NGNs will, for example, allow multiple services to be simultaneously
provided with differential, guaranteed service levels. These developments demand
more sophisticated IP interconnection arrangements. They also provide greater
scope for IAPs to simultaneously structure retail prices and interconnection charges
to maximise consumer welfare. Consumer welfare is maximised by matching the
type and quantity of services demanded by consumers with the supply of these
services in a least cost manner;
• inherent in any meaningful economic analysis of interconnection charging models is
recognition that consumer welfare is ultimately determined by the structure and level
of the retail prices paid by final consumers, and that any analysis of the consumer
welfare impacts of particular charging models needs to start by identifying the
efficient retail pricing construct for the circumstances being considered. The
efficiency characteristics of different interconnection charging models depend on
their ability to allow the costs of message carriage by network operators to be
recovered and need for new investment to be clearly signalled, without distorting the
efficient structure of retail charges;
• the transition towards NGN has sparked a regulatory and intellectual debate about
the charging model that should be applied to IP interconnection, although how the
industry will move from today's IP interconnection arrangements to those that will
support NGN is subject to substantial uncertainties,. A significant part of the debate
has been devoted to the question of whether Bill and Keep (BAK) is a more efficient
charging model for interconnection than alternative approaches, and whether it
should be imposed as a charging model in at least some interconnection situations;
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• this position is based in part on the assumption that BAK predominates in the current
internet environment, and that as networks are converging to an IP standard, BAK
logically should become the prevailing interconnection pricing model of the future.
This argument is misconceived for a number of reasons, not the least that BAK is thepredominant IP interconnection charging model today – for example essential transit
interconnection services are not exchanged on a BAK basis;
• when the economic efficiency characteristics of the different possible interconnection
charging models – BAK, IPNP, RPNP and settlement-based interconnection – are
considered, it becomes apparent that no one model is superior under all
circumstances in which the model might be implemented. For BAK, there is in fact
only a very narrow range of circumstances under which it would be an efficient
approach to interconnection charging. And while the other possible charging models
are in general more robust in their efficiency characteristics with regard to the
underlying circumstances, no one of these models would be the most efficientapproach in all feasible circumstances. This implies that efficiency, and associated
consumer welfare, would not be maximise by regulators pre-emptively determining
the interconnection charging model that should apply; and
• the success of NGN services will critically depend on delivering different classes of
service quality on an end to end basis, and to differentially charging at retail and
wholesale to reflect these quality differences. This presents both challenges and
opportunities for IP interconnection arrangements. Operators will need to agree on
compatible service classes so that an end-to-end QoS “tunnel” can be created
across interconnected IP networks. This will allow a significantly higher degree of
efficiency in interconnection charging.
From this a number of policy issues emerge, which we address in this section:
• firstly, we apply the welfare/efficiency perspective developed in earlier sections to
the IP world as we know it today and as we expect it to develop (section 7.2);
• secondly, we look at the implications of this analysis for the role for regulators
(section 7.3), covering the risks of intervention, whether the any-to-any
connectivity requirement that underpins access regulation in many jurisdictions is
relevant in an IP world, the assessment framework regulators might use in
considering IP interconnection charging models, how an appropriate degree of
regulatory certainty can be achieved without being simplistically prescriptive, and
the transition issues that would be faced by consumers and operators in moving
to a prescribed interconnection charging regime; and
• finally we draw some overall conclusions (section 7.4).
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7.2. EFFICIENCY OF IP INTERCONNECTION IN THE INTERNET AND IN NGN
In this section we apply the lessons from analysing the characteristics of efficient
interconnection models, in order to assess the efficiency of interconnection in the currentinternet world and to evaluate the anticipated IP interconnection arrangements that will
exist for NGNs.
7.2.1. Current IP Interconnection models
IP interconnection in today’s internet is currently technologically constrained in ways that
limit the flexibility of the charging model to reflect the characteristics of the variety of retail
market. The constraints affecting IP interconnection today include:
• interconnection fees must be cascading (that is, each provider has a billing
relationship only with the next and previous provider in a transit chain), because it isnot possible to identify, and bill, the originator of a packet at points where the packet
traverses two transit networks;
• it is not possible to predetermine the route taken by a particular message; and
• interconnection fees can only be based on the flow of packets, as network operators
are unable to identify the session to which the packet belongs.
These technical limitations impose a number of constraints on interconnection, which
ultimately limit the ability of the current interconnection system to induce efficient retail
charging:
• interconnection occurs on a best effort basis, because quality along a chain of
networks cannot be monitored and because billing the network requesting a high
quality is not possible. Accordingly, the current internet does not realise welfare
benefits which would result from prioritisation of services and other quality aspects
for which there is now – or would be in the future – a market demand;
• the structure of interconnection payments can reflect the distribution of benefits
accruing to the initiating and receiving party only in a very approximate way,
because:
• the interconnection fee between any two parties is negotiated between these
two parties without regard to any specific circumstances – that is, it does not
correspond to the type of service or to the value that a particular network in
the chain adds to the generation of a service to the end customers; and
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• in the current interconnection regime, it is only possible to bill for individual
packets (where separate arrangements apply to packets in either direction)
and not for any other unit, such as a message (that is, a call or a download
inclusive of a request). This implies that the current IP interconnection modellacks the flexibility to closely match retail models that are not based on data
flows. However, efficient retail models are not necessarily based on data
flow, because data flow in many situations does not reflect the value that the
initiating and receiving party attribute to a message (e.g. in a situation where
the initiating party should bear the costs of downloading content, it should
also bear the costs of requesting the download, that is, it should bear the
costs of all data flows related to the download).
In sum, current IP interconnection is a “one size fits all” approach, in the sense that
interconnection arrangements made between any two networks, apply to all of the traffic
between these two networks. This inflexibility is bound to deliver inefficient results in theprovision of some, if not many, retail services.
The limitations resulting from the inability of current IP interconnection to flexibly respond
to the situation of particular retail markets do not, of course, negate the welfare benefits
associated with the flexibility to adopt a charging model (that is, settlement peering, BAK,
IPNP, RPNP) which best reflects the retail characteristics of the (average) traffic between
two networks. Forcing any specific model onto the interconnection in the current internet,
would simply further decrease the flexibility of interconnection models to accommodate
retail market characteristics, and would in many cases be likely to distort the behaviour of
network operators in one or several of the forms discussed earlier in this report (that is,
business bias, network structure bias, network underinvestment, quality
underinvestment). For example, imposing BAK on all interconnection in the internet
would:
• imply a disincentive to provide transit services (as transit providers are not able to
recover their costs from any retail party related to the transit message); and
• could, depending on the relevance of the factors discussed in section 5, distort
network operators’ incentives to efficiently provide their services and/or lead to less
efficient retail charging models, when imposed on direct interconnection between the
originating and terminating networks.
In addition to the limitations in the current internet to reflect the variety of retail markets,
the sequential character of transit payments results in inefficiency, due to multiple margin
setting along the input chain. It is a widely accepted economic principle that price setting
by independent suppliers of inputs and final goods leads to a price for the end product
that is higher than it would be had the production been integrated, as each supplier
charges a margin on all previous inputs.57
57 Because the current internet does not allow charges to vary according to the place of the transit provider in the
supply chain of a particular message, multiple margins are likely to be set on the basis of the average position of
the provider in the vertical supply chain as well as the average characteristics of messages.
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7.2.2. Future IP Interconnection models
In an NGN environment, the technical restrictions characterising current IP
interconnection no longer apply. While the public internet will continue to exist (andcompete with NGN for many services) on NGN, there will be a significantly broader
choice of interconnection arrangements that are technically feasible. This includes, for
example:
• the possibility to charge one network for all services provided along a chain;
• end-to-end quality of service assurance (and billing); and
• the possibility to charge per message or for data flows.
These changes, while not affecting the possibilities available in the best effort internet,
add a technological option that will vastly improve the flexibility of interconnection
charging between two networks, even in situations where no transit is required.
However, the main efficiency improvement is likely to result from the possibility of
streamlining transit. In NGN, providers are likely to emerge who take responsibility for
establishing a QoS path through the various networks between the originating and
terminating networks. These one-stop-shop providers would collect the payment from the
originating network (or the terminating network – depending on how the costs of the
message should be allocated between the retail parties) and organise the transit of
packets between the originating and terminating network at a specified QoS level. The
QoS path provider could then make payments to all transit providers in proportion to theircontribution to customer utility and pay a termination fee to the terminating network (or
pay an origination fee to the originating network).
Therefore, the disadvantage of cascading fees that are unrelated to the nature of a
particular retail service, will become obsolete in NGN, which will result in interconnection
charges reflecting the efficient retail model in a particular situation significantly more
closely than this is possible today.58 In addition, the QoS path model would significantly
reduce the inefficiency due to multiple margin setting along the vertical chain: instead of
each transit provider charging a margin on all previous transactions along a chain, each
transit provider would only charges a margin for its own contribution to the output.
Against this background, locking in any interconnection charging models on the basis of
how IP interconnection currently occurs, would not only further limit the ability of current
IP interconnection to induce efficient retail charges, it would also represent a potential
barrier to the efficient evolution of IP interconnection which is just in its beginnings.
58 As we explain earlier in this report, in circuit switching messages can also be traced back to their source such
that cascading billing is not necessary. However, circuit switching is less flexible than NGN packet switching in
an NGN, because the latter gives the option (although does not imply a necessity) to charge for packet flows
(rather than per minute of a session).
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7.3. ROLE FOR REGULATORY INTERVENTION
In this section we consider the appropriate present role for regulators in the area of IP
interconnection, focussing on the risks in regulator intervention (section 7.3.1), thediminished relevance of any-to-any connectivity requirements in an IP world (section
7.3.2), why regulatory certainty need not and should not lead to a prescriptive ex ante
approach to regulation in this area (section 7.3.4), the assessment framework regulators
should use in considering interconnection charging models (section 7.3.5) and the
transition issues that would be faced by consumers and operators in the shift to a
particular interconnection charging model (section 7.3.6).
7.3.1. Risks in Intervention
It is apparent from the economic analysis in sections 5 and 6 of this report that imposing
any ubiquitous pricing solution for IP interconnection at this stage would risk stifling the
development of IP based services, hampering competition and limiting the consumer
welfare benefits from emerging NGN developments. Many of the operators interviewed
for this report were prepared to shape their services, and develop their plans for
deployment and use of IP networks, on the basis of their ability to recover the costs of
building the network and providing it with the necessary functionality and pricing
arrangements to make the IP network a competitive option. Prescriptive regulatory
intervention at this early stage could prevent market efficiencies developing.
Not only is there no clear view of the appropriate pricing model, but it is also unclear
where potential bottlenecks may lie. As Ofcom has pointed out:
… telecoms is so fast-moving. The dividing line between the bottleneck and the
competitive part of the network might be in one place today, but in a completely different
place tomorrow.59
Some of the current regulated services are likely to remain important in future and may be
sufficient to address bottlenecks. Bitstream policy should seek to deal with network
access issues in the deepest part of the network and not seek to regulate matters at other
levels, at which market forces will determine arrangements. Ofcom has said it may need
to adapt to reflect the changes discussed above such as QoS. Ofcom’s view is that layer
2 and layer 3 bitstream services (called DataStream and IPStream respectively in the UK)
would disappear in an NGN environment, replaced by a bitstream service which provides
access seekers with more flexibility and greater economies while reducing arbitrage risks
faced by BT:
Ideally, a next generation bitstream product would improve on the current situation by
offering the following characteristics:
59 Ofcom, Beesley Lecture - A Strategic Approach to the Economic Regulation of Spectrum, Telecoms and
Broadcasting - 29 November 2005.
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• it would be complementary to LLU, i.e. it would promote broadband competition in
geographies where LLU is not effective. Currently, DataStream [layer 2] does not
fulfil this role, because of the scale economies present with purchasing dedicated
capacity to each DSLAM. To successfully address the geographic issue it seemslikely that a next generation product would need to provide some form of
capability to aggregate traffic across multiple MSANs;
• it would allow all operators to benefit from the increased economies of scale and
scope provided by NGNs;
• it would enable operators to differentiate their services, as this would support
greater innovation and competition in downstream broadband markets.
DataStream currently allows this, but IPStream is less flexible. This suggests a
new bit-stream product may allow sufficient control over, for example, contention
and quality of service (e.g. delay); and
• it would provide an appropriate incentive for operators who deploy their own
infrastructure. The current DataStream charging structure provides a very limited
incentive, and IPStream provides no incentive at all because all traffic is charged
at the same rate regardless of where it is delivered.60
Furthermore, current retail models may remain better suited to similar services delivered
over different access technologies, based on established consumer preferences. For
example, in the case of internet access over a mobile network, timed access charging or
monthly subscription charges have been more widely accepted than bit-consumption
based charging, as consumers can more easily relate to the time-based charging thanwith a charge based on the size of data downloaded during browsing. Mandating
interconnection charging arrangements that would require a shift in this retail model to
allow cost recovery may not be in consumers’ best interests.
In sum, rather than prescribe solutions and risk regulatory errors with potentially profound
negative consequences for efficiency and welfare, regulators should:
• intervene only in the event of demonstrable market failure (and if intervention can be
expected to result in benefits which exceed the cost of regulation);
• intervene only to an extent that is necessary to remedy the market failure; and
• tailor the solution to the specific market circumstances, rather than applying a
standard ”fall-back” option.
60 Ofcom, Next Generation Networks: Developing the regulatory framework , 7 March 2006, p.27.
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7.3.2. Risk of increased opportunities for arbitrage
Regulators also need to remain alert to the fact that a decision to regulate a particular
application or service in an IP environment may increase opportunities for arbitrage. Inthe circuit switched environment, the technical characteristics of the retail service and the
wholesale service are closely tied together and, for example, origination or termination of
a circuit switched voice call can be characterised as "1/2 of a retail voice call".
In the IP environment, the same infrastructure is used to support a broad range of
applications. The nexus between the wholesale and retail characteristics are not as tightly
aligned as in the circuit switched environment. In the NGN environment packets can be
distinguished by whether they have QoS labels or not, and by the level of priority or grade
of QoS attached to the packet. However, the NGN will not necessarily distinguish packets
based on the type of application or content. The network ordinarily will not look inside the
packet to determine whether the packet is carrying voice, video or email data. Thereforeregulating a particular application or service in an IP environment risks subjecting all
packets with the same QoS attributes to the same regulation. For example, because the
network will not distinguish between a VoIP packet with a gold label and any other packet
with a gold label, there will be an arbitrage opportunity to send and receive packets with
the same attributes at regulated rates. The network will have to treat all gold label packets
as though they are for the regulated service. Regulation of an application in this way
becomes akin to regulating an entire band or level of QoS.
As there will be a relativity in value between the different QoS bands, regulating the price
for one band also has an impact on the pricing of the other bands. Therefore, in an IP
environment, the risks of arbitrage may be greater than in a switched environment.Regulation, which is applied to particular services in a circuit switched environment, may
generate arbitrage opportunities if carried forward with those services into an IP
environment. For this reason regulators should be cautious of the potential impact of
regulation of any one particular application.
7.3.3. Any-to-any connectivity
A mandated any-to-any connectivity requirement has in some jurisdictions been seen as
a key policy platform in the introduction of network competition to telecommunications
markets - and in particular, telephony markets. In these countries, policy makers
considered it necessary to formally require the incumbent telecommunications operator to
connect to any new networks that were established, to avoid potential abuse of market
power through denying interconnection with nascent networks, with the objective of
damaging their ability to attract customers.
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However, as competition has evolved, the any-to-any connectivity requirement has
provided an unintended avenue for possible regulator intervention in network
interconnection arrangements in circumstances where substantial market power (SMP)
may no longer exist.61
The internet, on the other hand, has experienced enormous growth in use and achieved
global ubiquity, without any formal any-to-any regulatory requirement. Nonetheless, there
have been suggestions that the any-to-any requirements that were introduced in the
telephony world should carry through to IP interconnection, as telephony as well as other
services move to an IP environment.62
However, the inherent technical and commercial characteristics of the evolving IP
environment mean that a statutory any-to-any connectivity condition is not required to
achieve competitive outcomes in a fully IP world. That is, the competitive need for any-to-
any connectivity is not faced with the potential for originating and a terminating accessbottlenecks in the same way that this is often seen to occur in fixed line networks.
Network operators and IAPs cannot effectively block interconnection by a particular party,
for the following reasons:
1. Much content is either multi homed (that is, there is connection between the web
server and more than one IP network connected to the internet) or the content is
“mirrored” (that is, the content is stored in more than one place and each web
server is connected to a different IP network).
2. The multipath nature of the internet means that there are a large number of
potential paths between individual IP addresses. Although ultimately eachaddress is associated with a single network, the multipath routing means that the
terminating network will be connected to multiple networks, each of which in turn
will be connected to yet more networks. The charging relationship between the
terminating network and each of the networks to which it is directly connected, will
be determined by where the terminating network is in the internet hierarchy,
compared to that other network. Closing off alternative pathways to leverage
higher termination charges or otherwise create anticompetitive harm would be a
difficult, if not impossible, strategy to implement.
3. As set out previously, the basic charging model of the internet is pay to download.
The terminating network is usually the downloading network and, therefore pays
to receive the message.
61 In this regard, European regulators could apply the Art 5 requirement for interconnection (ie a requirement that
applies even in the absence of SMP).
62 See ERG Project Team on IP Interconnection and NGN, Consultation Document on IP Interconnection, ERG
(06) 42, available at: http://erg.eu.int/doc/publications/erg_06_42_consult_doc_ip_interconnection_rev.pdf. In
particular comments on interoperability at p 5 and conclusions on end-to-end connectivity at p 31. Also see
ACCC, internet Interconnection Service, Final Report, 1 December 2004 at p 21.
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4. Under settlement based interconnection arrangements, networks have an
incentive to attract users to their networks to generate more outbound packets to
offset against inbound packets. If the costs of off net parties accessing content
and services on a network is high because of terminating traffic charges, contentproviders and other users may not host on the network.
5. Finally, the users of the internet are not restricted to using any one IP network
provider to access services. This nomadic characteristic contrasts with fixed line
telephony and means that users can access applications regardless of their IP
address.
In short, there is a strong case for no regulatory intervention on IP interconnection, at
least initially. This is because the very nature of IP interconnection and the services which
it underpins raises the potential for the traditional originating and terminating bottlenecks
perceived in a legacy telephony world to be overcome.
If a mandated any-to-any interconnection requirement were deemed necessary, an issue
is whether it should require full interoperability of all IP-based services - that is, access to
technical interfaces and protocols and use of standardised interfaces and protocols at all
IP network layers. The ERG appears to consider that, in order to ensure any-to-any
connectivity, regulation will be required to cover all types of interconnection. From the
perspective of economic efficiency, and assuming this is the ultimate objective of an any-
to-any mandate, intervention should be limited to the network layers at which
interconnection is indispensable to any-to-any connectivity. This implies that
interconnection at one layer may be sufficient if other layers could be substituted by the
access seeker.
Duplicative intervention at several layers is not only unlikely to be necessary, it would also
involve risks:
• consistency of regulatory decisions (inconsistencies could lead to arbitrage); and
• hindering competition in standards and application developments (because
innovators would have to ensure interoperability and would also benefit less from
improving their applications compared to their competitors).
If, on the basis of a mandated any-to-any connectivity requirement, a regulator did see arole for itself as an arbitrator between parties that fail to conclude commercial
interconnection arrangements, all interconnection charging models are in principle
consistent with fulfilment of this role. From the perspective of the regulator, BAK might be
seen as a particularly convenient tool to achieve any-to-any connectivity. However, using
BAK as the default option in arbitration cases would not be warranted, unless there are
strong grounds for generally imposing BAK in the market using regulatory intervention.
This is because, if BAK is the default arbitration option, this would create an environment
where it is unlikely that parties could ever agree on any other charging model than BAK.
In other words, threatening BAK as the model of last resort would induce a tendency to
the adoption of BAK, even in situations where it is disadvantageous from an economic
efficiency perspective and where it would not arise in negotiations were such a default
option not imposed on negotiations.
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7.3.4. Regulatory certainty
Regulators and operators generally ascribe value to certainty with regard to how a
regulator would respond if required to intervene on a particular matter. For IPinterconnection, it could be argued that this is best brought about by regulators indicating
the charging model they would mandate if called into a dispute on such a matter.
However, this is clearly not the only way regulatory certainty can be provided. On the
basis of the analysis in this report, which shows that substantial efficiency costs are likely
to result from ubiquitously mandating one particular charging model, signalling in advance
that it would impose a particular charging model is unlikely to be the most efficient
solution to achieving regulatory certainty.
Rather, appropriate levels of regulatory certainty could be provided by regulators
indicating that their decisions would be guided by a clearly defined framework for
assessing the effectiveness of a range of interconnection charging models in thecircumstances of the dispute. This would give the industry guidance on likely regulator
conclusions on the appropriate charging model to be applied, while minimising the
efficiency-distorting cost of intervention. A proposed efficiency-based assessment
framework for considering interconnection models is described in section 7.3.5 below.
7.3.5. Assessment framework
Where regulators have identified demonstrable market failure (and if intervention can be
expected to result in benefits which exceed the cost of regulation), the interconnection
model imposed by regulation should be identified by comparing the efficiency implications
of alternative charging models. We suggest that the following framework, which is based
on the practical market outcomes of efficiency in an interconnection context, be applied:
A FRAMEWORK FOR ASSESSING INTERCONNECTION CHARGING MODELS
Interconnection charging models should be assessed against the following implications of
efficiency that we identify in section 5.2.3:
Consumer benefits
1. All customers are served for whom the total benefit of having them on the network
is greater than the cost.
2. Full range of services demanded by customers is provided including innovative
new services.
3. Differential QoS is available that matches customer demand.
4. Individual messages are sent if and only if the total benefits to the initiating and
receiving customers are equal to or exceed the incremental cost of the
messages.
5. Low prices, provided that prices cover the long-term costs of providing services
efficiently.
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Network operator benefits
6. Efficiently-incurred costs are recovered.
7. Operators have the incentive to undertake efficient investment and innovation.
8. Interconnection arrangements are available which allow services to be provided
in line with consumer demand (e.g. end-to-end QoS).
Market operations benefits
9. Efficient competition is stimulated and inefficient arbitrage is avoided.
10. Costs are minimized by efficient network usage and call routing, including packets
being handed off to connecting network at technically efficient point.
11. Changes in interconnection charging models are made if and only if the benefits
exceed the transition costs.
Regulatory benefits
12. If regulation is applied, regulatory administration and operator compliance costs
are minimised.
In some cases, there may be a need to trade-off particular criteria so as to determine the
optimal charging model in those cases.
When assessing a particular interconnection charging model against these criteria, the
circumstances in which the model will be implemented need to be identified and taken
into account. We have identified in section 5 that the key aspects that need to be
considered in this regard include:
1. Quality of service requirements:
• Is differentiated quality of service demanded by customers or parties providing
content, applications and services over the network?
2. Traffic balance:
• Is traffic balanced or unbalanced?
• Is there scope for either the initiating party network or the terminating party
network to change the traffic balance?
3. Beneficiaries from message:
• Initiating party only?
•
Terminating party only?
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• Both initiating and terminating parties?
4. Networks involved in message carriage:
• Initiating party network and terminating party network only (direct
interconnection)?
• Transit networks also involved (indirect interconnection)?
5. Network costs:
• Are costs among the networks involved balanced?
As our conclusions in sections 5.5 and 6.6 show, these circumstances are a useful tool to
assess the efficiency performance of alternative charging models.
7.3.6. Transition between interconnection regimes
Regulators should also consider the transition issues involved with requiring a certain IP
interconnection model to be used. The implications for consumers and operators in
moving from one interconnection charging model to another needs to be taken into
account, as the change in the interconnection charging model may drive a change in the
retail pricing approach (e.g. to cover costs) and the retail pricing construct required by the
interconnection charging model may not be efficient.
The evolution from current IP interconnection arrangements to new ones in an NGN willnecessarily impose a variety of “transition costs” on consumers and operators. In
particular, where interconnection charges are currently asymmetric, the transition costs in
moving to BAK are likely to be high.
These transition costs would reduce the appeal of adopting a charging model that is
superior in the long run, unless this model is already adopted.
Furthermore, transition costs are likely to place a higher burden on the market (e.g. in the
form of inefficient arbitrage, or complicated or lengthy processes to prevent arbitrage)
when the new model is imposed by regulation, as this takes away flexibility from the
operators to time the transition in a way that minimises arbitrage.
Finally, transition costs will differ depending on the current termination charge situation.
For example, transition costs to a BAK regime would be less significant in a country with
currently lower termination rates and in jurisdictions such as the US where the regulator
currently requires that interconnection rates be reciprocal.
7.4. CONCLUSIONS
Our key policy recommendations are as follows:
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• Proceed cautiously : Regulators should be very cautious in mandating IP
interconnection charging models for the unfolding NGN IP environment. While
regulators may be called upon to determine interconnection arrangements in
particular circumstances, at this stage there is no justification for regulatoryintervention to mandate a single IP interconnection model. It is too early to tell what
model or models will prevail commercially and regulatory intervention to prescribe a
particular model, such as BAK, is likely to be pre-emptive and risky.
• Don’t mandate a single charging model. Even if a particular charging model develops
considerable commercial currency, it does not follow that this model would be an
appropriate “one-size-fits-all” model for regulators to mandate. Adopting the ‘wrong’
interconnection model in inappropriate circumstances will lead to significant market
distortions which ultimately reduce consumer benefit. There is no evidence that the
industry will not be able to work out appropriate IP interconnection models in the
absence of ex ante regulatory intervention that correspond to the variety of marketcircumstances. Hence, mandating particular interconnection charging arrangements
in the current environment may inhibit the development of inherently more effective
and efficient IP operating models. It is useful to note that global connectivity was
achieved for the current internet without regulatory intervention.
• Don’t assume bottlenecks will be replicated. The deployment of NGNs has the
potential to change the way many services are delivered. A regulator should not
assume that currently perceived bottlenecks (which are the basis for termination
regulation and any-to-any connectivity requirements) will be replicated in an NGN
environment.
• Use existing regulatory frameworks. In any event, existing regulatory frameworks are
likely to be adequate to resolve problems should they arise. Current sector-specific
and competition powers exist which permit regulators to intervene if bottlenecks
emerge in IP Interconnection. For example, some potential upstream bottlenecks in
the access network are already addressed through requiring the wholesaling of
unbundled local loops and bitstream services.
• Employ consumer welfare analysis. However, in circumstances where regulators
identify market failure or are requested to resolve disputes, their intervention should
be applied only as broadly as necessary to solve the problem. Regulators should
therefore not define a single charging model that would be the ‘fall-back’ option, but
rather should employ a clearly defined assessment framework that appropriately
reflects the drivers of consumer welfare and broader economic efficiency.
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APPENDIX A: BASIC TECHNICAL AND CHARGINGCONCEPTS
A.1 BASIC CONCEPTS
In this section, we outline the basic interconnection models that we use throughout the
analysis of this report. While our focus is on interconnection, it is necessary to relate the
models to retail charging approaches. This is because:
• market outcomes are ultimately achieved by retail purchasing decisions; and
• the costs of all of the interconnected networks eventually need to be recovered from
retail charges.
Therefore, this section also discusses the inter-relationship between retail and wholesale
models.
The relationship between the interconnection and retail services requires an
understanding about the nature of the retail service. We define the retail services as a
“message” in a broad sense. A “message” can, for example, be a phone call, SMS,
MMS, IM, email or a download of a data file, streaming video or a web page.
Although this report is concerned with IP interconnection, we use switched telephone
calls examples in this section to illustrate interconnection and retail charging models, for
two reasons. First, these models were initially developed in the traditional, and simpler,PSTN environment. Second, understanding the differences between circuit switched
networks and packet switched networks will help explain how IP interconnection has
developed and will continue to evolve.
A.1.1 Interconnection models in telephony
We distinguish between two types of interconnection:
• direct interconnection, which refers to interconnection between two networks
where the message originates from a network address (e.g. a telephone number or
an IP address) hosted on one network and terminates at a network address hostedon the other network; and
• indirect interconnection, which refers to interconnection between two networks
through one or more transit providers.
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Direct Interconnection
There are two forms of direct interconnection: Initiating Party Network Pays (IPNP)63 and
Receiving Party Network Pays (RPNP). As illustrated in Figure 20, IPNP involves the
initiating party’s network operator (the originating network) directly connecting with the
called party’s network operator (the terminating network).
Figure 20 - Initiating Party Network Pays
In this model, the originating network usually will pay the terminating network an
interconnection charge for the termination service, being the right and ability to connect a
call to the called party on its own network. As traffic is usually being exchanged in both
directions, the termination services each provides to the other, may be netted-off and the
operator which sends more traffic than it receives will make a balancing payment to the
other operator (which we call settlement-based interconnection).64 Because each time
a call is connected, capacity is dedicated to that connection, there is no measurement of
traffic flow within a session, traffic is measured between interconnecting circuit switched
operators on a per call or per session basis only.
The IPNP model applies to most fixed network switched telephone calls. The IPNPmodel universally applies for calls from mobile phones to fixed telephones and in most
countries, for calls from fixed telephones to mobile telephones.
63 In the traditional circuit switched environment, IPNP is also termed calling party network pays. We have used
the term “initiating” rather than “calling” to accommodate a broader set of messages, such as a mouse click to
request a download from a website.
64 See discussion below of the distinction between settlement-based interconnection and BAK arrangements.
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RPNP involves the called party’s network directly connecting with the called party’s
network. The called party’s network (the receiving party network) acquires originating
access from the other network. The RPNP model applies to specialist fixed network
switched telephone services where the direction of the retail charging is reversed (seeFigure 21below). The RPNP model applies in Hong Kong to calls from fixed telephone to
mobile telephones, although the regulator, OFTA, is currently reviewing these
interconnection arrangements.
Figure 21 - Receiving Party Network Pays
A third direct interconnection charging model is settlement-free interconnection or BAK.
As illustrated in , each network provides the connectivity required to originate or
terminate the call within its own network, without charging the other operator. Instead,
each operator recoups its costs of originating calls on its network and/or terminating calls
from the other operator’s network out of its own retail charges for outbound and, if a retail
charge applies, inbound calls. BAK may apply to calls in both directions between
networks or only in one direction.
Figure 22 – Bill and keep
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Some commentators use the term BAK to describe settlement-based IPNP
interconnection in situations where the traffic between two networks is “balanced”.
However, in “true” BAK, charges will not apply even when the traffic flowing to one
network exceeds the traffic flowing in the reverse direction (“out of balance” traffic). Inthis report we use the term BAK to describe settlement-free interconnection regardless of
traffic balance.
Hybrid models combine elements of BAK, settlement-based interconnection and IPNP.
For example, in New Zealand local calls are exchanged between fixed networks on a
BAK basis to a threshold of 20% imbalance (that is, the volume of traffic in one direction
is 20% higher than in the other direction) after which termination changes are payable by
the originating network. The New Zealand regulator, the Commerce Commission has
recently extended this model to calls between the incumbent fixed network and a mobile
network when the mobile subscriber is using a fixed geographic number in a home
zone.65
Indirect interconnection
When no direct interconnection between the originating and the terminating network
exists (that is, when at least one additional network is involved in transferring a message
from the originating to the terminating network), then interconnection has two aspects, as
illustrated in Figure 23.66 First, one party pays the transit provider for providing the transit
service. Second, payments are made between the originating and the terminating party
(e.g. a termination fee may be paid). In the switched environment, the transit party
usually acquires the termination or origination and bundles it with the transit fee in to a
single wholesale carriage charge.
65 Vodafone New Zealand Limited application for a determination under section 20 of the Telecommunications Act
with respect to interconnection with Telecom’s fixed PSTN designated access service, 28 September 2006,
www.comcom.govt.nz.
66 The diagram illustrates an IPNP transit arrangement where the transit and termination fees are paid by the
originating network. Indirect interconnection also can apply under an RPNP model, for example where the
receiving network provides an 800 service, which requires universal access from the subscriber base, but the
receiving network does not have direct interconnection arrangements with all local networks.
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Figure 23 - Indirect interconnection
A.1.2 Relationship between interconnection models and retail services
As at the interconnection level, retail charging models can involve a retail charge paid by
either the initiating party or the receiving party or, less commonly, by both.
Most fixed network telephone calls are initiating party pays (IPP), such as local calls, long
distance calls and international calls. As noted above, some telephone services involve
only the called party paying the call charges (RPP), such as reverse charge or collect
calls and calls to toll free numbers (typically numbers which begin 0800 or 1800).
In some markets, RPP applies to calls from fixed telephones to mobile telephones,
usually combined with the calling party also paying a retail charge. Examples include
Singapore, the USA and Canada. In Hong Kong, only the called mobile party pays a
retail call charge.
An emerging retail model in traditional RPP markets is the “bucket plan”. End users are
charged a flat fee for a maximum number of minutes, packets or messages, whether
inbound or outbound. Bucket, or “all you can eat” plans applying to uploading and
downloading volumes are also increasingly common in the internet environment.
As the European Regulators’ Group (ERG) notes:
although it is not possible to establish clear cut causalities between billing regimes on the
wholesale and the retail levels, they are closely related.67
67 European Regulators Group, Consultation Document on IP Interconnection, ERG (06) 42 at p (iii). Available at:
http://erg.eu.int/doc/publications/erg_06_42_consult_doc_ip_interconnection_rev.pdf.
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If the IPP model applies at the retail level, the matching IPNP model will usually apply at
the interconnection level, as illustrated in Figure 24. In the absence of a retail charge, the
terminating operator uses the interconnection charge to recover its costs from the retail
revenue collected for the originating operator.
Figure 24 - Interconnection charges where retail model is Initiating Party Pays
In the fixed switched environment, use of RPP at the retail level is usually matched by an
RPNP model at the interconnection level. In those markets where the initiating fixed ormobile party and the receiving mobile party each pay for calls to mobile telephones, BAK
tends to apply at the interconnection level. illustrates how fixed to mobile calls are
charged at the retail and interconnection level in Singapore. In this situation, both RPP
and IPP exist at each end of the call.
Figure 25 - Charging model for fixed to mobile calls in Singapore
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The same retail charging model is supported by different interconnection models across
countries or across services in the same country (although the direction of interconnection
remains the same). Local calls and long distance calls use an IPP model at the retail
level in most countries. However, in markets such as Australia and the UK, an IPNPmodel applies to termination services of all voice services, while in countries such as the
US, Canada and New Zealand, a settlement-based interconnection or hybrid model
applies to termination of local calls and an IPNP model applies to termination of long
distance calls.
However, in these cases, the underlying interconnection continues to remain the model in
which the initiating network acquires termination payments, but in the case of local calls
the termination charges are netted off, whereas they are not in the case of long distance
calls.
There are some limited examples where the same retail charging model attractsfundamentally different interconnection models between countries. In both the US and
Singapore, the fixed originating party and the mobile receiving party pay for a retail
charge for fixed to mobile calls. However, at the interconnection level, BAK applies at the
interconnection level in Singapore (as illustrated in Figure 25), while an IPNP model can
apply at the interconnection level in the US, under a principle called “reciprocal
compensation” (see Figure 26). This term means that the termination charges in both
directions are equal.
Figure 26 – Reciprocal compensation
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A.2 TRANSMISSION OF INFORMATION IN DIGITAL FORMATS
A.2.1 Packetisation
Internet Protocol (IP) is a standard for the transmission of data in digital form. IP is a form
of packet switching and is the protocol used to interconnect the individual networks that
comprise the public internet.
Information, which travels over the internet or over any other computer network, is
represented in the form of digital data. Digital data consists of a series of binary digits (1s
and 0s) that carry information. Each binary digit in a stream of digital data is known as a
“bit” and has a value of either one or zero. By convention, a series of eight bits is referred
to as a “byte”. A byte may represent a character such as “a” and a group of bytes may
represent a word or a message.
Digital data travels over the internet by breaking the data up into “packets”. A packet of
data consists of a certain number of bytes of data and a series of numerical identifiers.
The numerical identifiers contain information as to where the packet is destined to go and
where the packet has come from. In addition, information as to the number of bytes of
data in the packet travels along with the source and destination numerical identifiers.
The process of moving packets through networks is called “packet switching”. A
comparison of packet switching with circuit switching will help explain how IP networks
differ from traditional voice networks and, therefore, how the interconnection models
described in Section 1 of this Appendix apply differently in an IP environment.
A.2.2 Circuit switching
The public switched telephone network (PSTN) over which traditional voice services are
provided, operates by means of “circuit switching”. A call is transmitted between two
points along a dedicated path (circuit), which remains in use for the entire period of a call.
The path is selected by the originating network on the basis of what network transmission
capacity is expected to be available for the anticipated duration of the call.
Consider a telephone call across town illustrated in Figure 27 below. The circuit is
established for the sole use of the parties for the duration of the call, irrespective of
whether a conversation is taking place. The circuit must be set up prior to the call
proceeding. If the call is tariffed at a timed rate, then the circuit needs to be monitored.
At the end of the call, the circuit needs to be disassembled or “torn down”.
Figure 27 - Circuit switched connection
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The entire process is controlled centrally by a dedicated digital signalling network that is
overlaid on the physical transmission path set out in Figure 28. Each switch has a signal
switching point (SSP) associated with it, which connects with a signal transfer point
(STP). The A-party, by lifting the handset, completes a circuit to his or her localtelephone exchange (LS1). The SSP associated with LS1 relays the signals generated
by the dialled number to the STP. The STP liaises with the SSP associated with local
exchange connecting the B party (LS2) to determine where a circuit to the B Party is free
(e.g. the B Party is not on the phone). The STP determines what paths are available
between LS1 and LS2, decides the most efficient path through the intervening switched
(there may be more than one transit switch depending on how far apart the calling and
called parties are) and directs the relevant switches to form the end-to-end connection
once the B Party picks up the receiver. Once the circuit is set up, the call is released by
LS1 and the analog signals flow through the circuit in each direction conveying the
conversation.
Figure 28 - Signalling aspects of circuit switched connection
The signalling system is responsible for establishing and tearing down the bearer path.
As a result, the signalling system collects information as to the:
• calling party;
• called party;
• call routing; and
• call duration.
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A further implication of packet switched networks using a connectionless system, is that
the packets will traverse any network that indicates that there is an available path to the
packet’s destination. This means that packets may cross networks with which the
originating network has no commercial relationship.
A.2.4 Routing in IP networks
The rules of IP networking dictate that any time a host has an IP packet to transmit, it
must first determine whether the destination IP address is on its own network or another
network. If the address is not on its own network, the host must send that packet to a
router. The host determines this by comparing the network portion of its own address
with the network portion of the address with which it wants to communicate, or the
destination IP address.
Each packet is routed from its source to its destination through a series of routers, and
across multiple networks. The router “looks” at the destination address of an IP packet
and then forwards the packet to another router or, if the destination address is on its own
network, to a directly connected host.
Each router “advertises” the range of IP addresses to which it has connectivity. This
information is held in a routing table. The routing table is dynamic, meaning that it is live
and continually updates to reflect the connectivity from time to time (this ensures that
routes which are faulty are not advertised). As all of the routers in a network are aware of
the paths advertised by adjacent routers, eventually all the devices connected to a
network will be advertised.
A.3 THE INTERNET
A.3.1 Introduction
The internet is a series of interconnected packet switched networks, established on a
global basis, that allow businesses and individuals access to information. The internet
comprises hundreds of thousands of individual networks. In order for all of the users of
the internet to be able to exchange information, a common method is required to provide
a recognisable address for each user on each network and to specify the formats and
protocols associated with the transfer of information between users. This is the role ofInternet Protocol.
A.3.2 Internet Protocol addresses
The most common version of IP addressing is called “IPv4” (Internet Protocol Version 4).
An IPv4 address consists of four numerical identifiers separated by full stops. Each
number must be between zero and 255. For example, 212.100.246.162 is the IP address
of the GSM Association’s “GSM World” website. These IP addresses can be compared
to telephone numbers except that they do not contain geographic information. It is not
possible to identify the physical location of a computer from an IP address alone.
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A.3.3 Domain name server
Similar to using a telephone directory, the internet has a directory service called the
Domain Name Service or DNS. This service matches IP addresses with physicalcomputers. DNS means that users do not have to remember a large volume of numbers
in order to attempt to retrieve content from the servers of Web content providers. The
DNS system allows a Web content provider to specify an address using a form known as
“Uniform Resource Locator” (URL). The addressing structure of a URL is:
protocol://server.subdomain.top level domain/directory/filename.
For example: http://www.gsmworld.com/news/statistics/index.shtml
This is the “GSM Facts and Figures” web page of the GSM Association. Here “http” is
Hypertext Transfer Protocol, a web communication protocol, the server is “www”, the
subdomain is “gsmworld”, the top-level domains is “com”, the directory is “news/statistics”
and the file name is “index.shtml”.
A.3.4 Ports
A server makes its services available to the internet using numbered ports, one for each
service that is available on the server. For example, if a server machine is running a Web
server and a file transfer protocol (FTP) server, the Web server would typically be
available on port 80, and the FTP server would be available on port 21. Clients connect
to a service at a specific IP address and on a specific port.
Thus, ports are often associated with specific applications and this is particularly the case
for “traditional” internet applications. The association of ports with specific applications
provides a potential basis for specifying quality of service paths associated with a specific
application.
A.3.5 Internet routing
There are special protocols to deal with routing at the borders of interconnected networks
in the internet. These protocols are known as border gateway protocols (BGP). BGP
routers also advertise IP addresses, but here the network operator has a choice of what
to advertise depending on the interconnection arrangements between the operators.
Typically, the BGP router always advertises the IP addresses on the interconnecting
network. It may also advertise addresses on a further interconnected network. However,
this only occurs where there is an agreement for the network to provide “transit services”
which are described in more detail below.
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A.3.6 Best efforts delivery and Transmission Control Protocol
As discussed above, packet switching allows packets which comprise a single message,
to be routed over different non-dedicated pathways. Circuit switching can maintain qualityof service across interconnected networks because the networks work together to set up
a single dedicated circuit. However, in the current internet, multipath routing across
multiple networks means that a guaranteed quality of service is not achievable.
Multipath routing allows for very little coordination in the control over the movement of
packets. There is no central database of what traffic is moving where, or when. The
packets know where they have to go but not how to get there. Breaking information into
packets means that each and every packet must be treated exactly the same way. There
is no memory of the paths or addresses from the directions it has given previous packets.
As David Isenberg noted, the internet is a stupid network.68 For this reason, the internet
is described as a “best efforts” delivery system.
However, some control is required for the internet to provide reliability. Transmission
Control Protocol (TCP) and the higher layer protocols provide this reliability by managing
a local connection between the routers involved in each hop of packet transmission.
Managing the local connection involves a set-up process and a series of
acknowledgements as packets are received and checked for fragmentation or errors.
The set-up process is a “handshake” arrangement between the two routers in which they
identify themselves by means of sequence numbers. As the packets are forwarded from
one router to the other, the receiving router compares the checksum field on the packet
header (which is akin to a representation of the total bytes, together with other informationabout the group of packets) with a checksum that it has calculated for the packet. If there
is a variation, the packet is discarded and a TCP packet is sent back to the sending router
asking for the packet to be resent. If the checksums are equal an acknowledgement is
returned to the sending router, and the next packet is forwarded.
A.4 IMPLEMENTING QUALITY OF SERVICE
A.4.1 Quality of Service parameters
In the future world of NGN, IP-based services are likely to be built around different serviceclasses, with different quality of service, features and functions. Triple play services are
critically dependent on packet labelling to prioritise capacity in an efficient manner based
on consumer needs. This means that there will need to be mechanisms which permit
quality of service parameters to be associated with transport of various services.
In an IP environment, service quality is affected by three parameters:
• latency;
68 The Rise of the Stupid Network , at http://www.isen.com/stupid.html, updated 22 April 1999.
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• jitter; and
• packet loss.
Latency is a measure of delay between a packet being originated and its termination.
Jitter is the variation in latency and packet loss describes the effect of packets being
dropped (usually because of congestion). These parameters are described graphically in
Figure 30.
Figure 30 - QoS parameters
Certain services require different levels of service for each of these parameters as set out
in Table 7.
Table 7: Services and QoS parameters
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Data transfer and web browsing are highly sensitive to the basic level of bandwidth
available, but less sensitive to other factors. The quantity of data that can be sent and the
speed at which it is sent is very important, but whether the data can be sent in real time
(latency) and whether packets arrive at regular intervals or in bursts (jitter) is notimportant, providing the packets arrive eventually. Packet loss is, of course, moderately
important, but if packets are lost, and resent, they at least still arrive, and time frames or
sequences are not critically important.
For interactive services such as instant messaging, small amounts of data are sent,
quantity (bandwidth) is not important, but real time transfer of complete sets of data are
important. The ability to ensure the passage of certain packets over the internet in a
corridor that shelters them from the vagaries of bursts and troughs (jitter), factors which
may slow the speed at which they travel and packet loss, means that if these packets can
be sent down a fairly narrow, but high quality, clear path, the end service is optimised.
Again, this is a problem which bandwidth and broadband access speeds alone cannotsolve, which is why prioritisation is inevitable.
A.4.2 Labelling for QoS paths
The level of quality of service required for the transport of a particular message depends
on:
• the application being used; and/or
• the willingness of the consumer to pay for increased priority.
As a result, the customer premises equipment (CPE) must be able to respect and apply
labelling for carriage across an NGN. One implication of this is that the CPE may select
the QoS required by reference to the application. For example, if the application is using
internet port 80, it is likely to be web browsing. This is relatively tolerant of jitter, latency
and packet loss and might therefore be assigned a priority “bronze”. That is, the packets
associated with this application are given a bronze label.
On the other hand, if a content provider is delivering an IP television service, this form of
video delivery is highly intolerant to jitter and packet loss. These packets may therefore
be assigned a priority “gold”. That is, the packets associated with this application are
given a gold label. In a similar fashion, VoIP services might be given a silver label.
The NGN creates multiple paths for packets with similar labels. It does this by using the
modules in the service plane and the control plane. The carriage of gold packets requires
a QoS path from the router nearest to the consumer to the service that requires gold QoS.
The service plane provides the QoS path module that is established by the control plane
which instructs the routers along the QoS path to prioritise the gold labelled packets.
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The QoS paths are only created for the duration of the transfer of the labelled packets
and the capacity over which the QoS path is created is not utilised on a dedicated basis.
This means that the efficiencies of packet switched networks over circuit switched ones
are maintained. However, the network needs to be dimensioned such that there issufficient bandwidth to allow the passage of gold traffic (the highest class of QoS traffic)
with minimal packet loss at peak load times.
A.4.3 Billing models for QoS networks
In a QoS network, the QoS path is, in general, established by the initiating party
regardless of the direction of the flow of packets. This means that in circumstances
where the initiating party is the party who determines the quality of service for the
session, regardless of the network on which the initiating party is located, one approach
would be for that initiating party to bear the retail charge for the QoS parameters. This
model works well with the internet model of “downloading party pays”. That is, the
initiating party establishes a QoS path for the duration of the session (and has thus
expressed a willingness to pay for that level of quality for the session) and will also pay for
content that is downloaded during the session.
The key difference between this type of QoS path and the internet examples set out
above, is that each of the networks across which the path is established are known. As a
result, it is possible to establish a cascading billing arrangement, whereby either the
initiating party or the receiving party pays. The economic analysis in sections 5 and 6
demonstrates that the benefits of IPP or RPP models in this context differ, depending on
the particular circumstances of the transaction. However, it is likely that in many
situations, payments by the initiating party will achieve the best market performance.
A.5 NGN INTERCONNECTION
Typically, NGN interconnection will require specific applications to be associated with
QoS parameters to ensure that they are delivered, both within a network and across
networks, in a uniform and predictable manner. That is, the mechanisms used to create
QoS enabled transport paths within an NGN will need to be used between NGNs and
respected by interconnecting NGNs to permit effective and efficient interconnection.
In order to provide this level of predictability, IP interconnection will require routing andprioritisation of packets between networks on a consistent and seamless basis. That is,
interconnected IP networks will need to agree on QoS parameters and also agree on the
way in which they will respect the labelling of packets. The labelling provides the required
parameters for QoS and these parameters will need to be respected by all of the
interconnecting networks. In turn, the interconnected networks will need to agree on an
appropriate billing mechanism for the transfer of those QoS parameters.
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Although the protocols used in IP networks permit and encourage multipath delivery, as a
practical matter there is a strong likelihood that all of the packets in any particular data
stream will, in fact, follow the same route. Indeed, in constructing an IP network, network
operators may seek to achieve this outcome in order to facilitate high levels ofrepeatability in respect of latency and jitter. The use of MPLS described above has also
encouraged this phenomenon. However, this practical outcome does not affect the
requirement to exchange QoS parameters and to respect QoS requirements. Rather, it
indicates that implementation of QoS transport is readily achievable.
The outcome of the establishment of a QoS path across multiple networks is set out in
Figure 31.
Figure 31 - Interconnection of multiple networks with QoS path
Creating a QoS path does not determine the direction of charging for wholesale or retail
services. Indeed, it is the implementation of QoS enabled transport services by way of
labelled QoS paths which supports calling party pays and receiving party at the retail level
and calling party network pays, receiving party network pays and bill and keep at the
wholesale level. That is, QoS paths permit a range of charging models which are notavailable from in the current internet with its differential tiered charging.
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A.6 NETWORK MANAGEMENT IN FIXED AND MOBILE
One of the major differences in the implementation of network management between
fixed and mobile networks is that mobile networks are constrained by the spectrum thatthey have been allocated. In mobile networks the spectrum constraint is effective at all
times, but is particularly difficult to manage once a network has been rolled out and is
expanding to accommodate an increasing user base. In this case, the process of “cell
splitting” and increased frequency reuse means that the infrastructure used to deliver any
particular call type will change and evolve as the network expands the number of
subscribers which it serves. There is no directly analogous effect that occurs in fixed
networks, other than those that use shared spectrum, such as hybrid fibre-coaxial
networks. In fixed networks a single access network solution can be maintained. The
only slightly similar issue is that a copper pair can be shared for the delivery of both DSL
services as well as voice. However, this is not a spectrum constraint even though only
one DSL provider can share each copper pair line.
The constraint on mobile services is limited by the scarce resource of spectrum and no
comparable constraint occurs in fixed access networks. Indeed, the expansion of
potential capacity of optical fibre, by techniques such as dense wavelength division
multiplexing, indicates that capacity constraints barely exist in fixed networks.
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APPENDIX B: THE EFFICIENT UNIT AND LEVEL OFINTERCONNECT CHARGES
The main focus of section 5 in this report is to assess the efficiency of various
interconnection charging models from the perspective of who should pay for
interconnection. With the exception of settlement-free interconnection (that is, BAK),
interconnection models involve charges and this raises the question as to how the
charges should be determined to promote efficiency. In this Appendix we provide a brief
summary of key determinants for what should be charged for and how much should be
charged.
B.1 WHAT SHOULD BE PAID FOR: THE EFFICIENT UNIT OF INTERCONNECTION CHARGES
In this subsection we compare two models: Capacity based charging, under whichinterconnection capacity is purchased; and element based charging, under which
payment depends on the volume of traffic that is, minutes or data volumes.
The question of whether capacity or volume-based charges are more efficient arises in a
commercial as well as in a regulatory context. In a regulatory context, both charging
models are tied to cost measures.
In element-based charging, interconnection fees are typically proportional to minutes for
voice and bits for data. These measures have not, traditionally, reflected network
utilisation. As a result, they can lead to inefficient utilisation, because they do not reflect
the higher opportunity costs of using capacity at peak times and lower costs outside thesetimes.
In a capacity-based charging model, interconnecting users no longer face variable (per-
minute or per-bit) interconnect charges. Rather, once the capacity is purchased, they
incur the opportunity cost of usage.
Capacity-based charging can increase or decrease the efficiency of capacity utilisation:
• it can improve utilisation of capacity once the capacity charge is paid, because the
purchaser and the owner of capacity then have similar incentives to increase traffic
(largely due to the fact that the lessee of capacity incurs costs which perfectly reflectthe current network utilisation and because it does not make variable payments
which involve any contribution to fixed and common costs). The efficiency outcome
could be improved further if a spot market for unused capacity existed (although the
costs of organising such a market would have to be taken into account); and
• it can be detrimental to efficient network utilisation. Having different “owners” of
dedicated interconnect capacity increases the total amount of capacity required to
carry a particular peak load of traffic at a certain QoS standard, because managing
large volumes of capacity together reduces the probability of capacity shortages.
Hence a trade-off exists between economic efficiency and technical efficiency, with the
net situation indeterminate.
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Because the efficiency comparison between element and capacity based charging
depends on the circumstances of a network and on each network owner and its
customers’ costs to bear the risk of capacity not being fully utilised, no model is strictly
preferable to the other.
If prioritisation is available through QoS standards, capacity-based charging appears less
attractive, because customers can buy the services at their required priority level. The
network operator ensures that the QoS level is met by increasing the price for high priority
if the demand for high priority increases, so that high-priority traffic is not delayed. Hence,
leasing capacity where high priority services are available would no longer generate the
benefits of having the assurance of available capacity, but would still imply the downside
of inefficient network usage.
B.2 HOW MUCH SHOULD BE PAID: THE RELATIONSHIP BETWEEN EFFICIENT
INTERCONNECTION CHARGES AND COSTS
In determining prices, it is relevant to consider the types of costs a network incurs in
providing interconnection (that is, incremental costs and fixed costs), as well as the
presence of fixed and common costs.
The interconnect models discussed in this report, such as IPNP and RPNP, determine
how the network cost should be efficiently allocated to retail parties, what the basis for
these costs should be. They do not imply any particular cost methodology; nor even that
costs should be recovered in full.
However, efficiency requires that the cost basis underlying interconnection payments
covers incremental costs that operators incur, as well as provides sufficient incentives to
invest.
In the short term (assuming no additional investments are necessary to provide services)
efficiency requires that marginal costs be covered. In telecommunications, actual
operational expenses are typically low once infrastructure is built. However, if network
utilisation is high, there can be significant marginal opportunity costs of capacity usage.
This implies, for example, that the cost basis for determining interconnection fees must,
on average, reflect the opportunity costs of capacity usage.
But telecommunication networks are not static. As demand grows, service range is
extended, and technology develops, network owners expand their capacity and, over
time, replace networks entirely. This has at least two implications for efficient recovery of
costs.
First, incremental costs of adding capacity can be large. For example, if expanded
network capacity is required to support interconnecting entities, then network owners may
spend significant amounts on, for example, improving network software, lighting fibre in
existing cables, and adding or replacing cables in the core network; or in upgrading
cables and adding base stations in the access network. These incremental costs must be
recovered through retail and interconnection prices.
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Second, investment incentives need to be preserved, not only for incremental capacity,
but for entire networks. Recovering only incremental costs will not allow a network to
recover its total costs where incremental costs are decreasing (that is, scale effects),
large fixed costs exist or some costs are common between network services. Thepresence of decreasing average costs suggests that prices should cover the total cost of
a service in the long term.
One way to efficiently recover fixed costs is to charge retail customers a fixed access
charge (e.g. subscription fee). Where access charges are possible and incremental costs
of traffic are relatively independent of the amount of traffic, efficient interconnection fees
typically would not exceed incremental costs. However, incremental costs will often
decrease through scale effects and in many retail markets for IP services, recovering
fixed costs only through fixed fees from a network’s own customers may not be
practicable or economically efficient.
Consequently, interconnection fees will in many situations have a role in generating
contributions to fixed and common costs.
The most efficient way to recover common costs is to spread them across users in a way
that minimises the distortion to consumption (that is, affects traffic), a principle which is
reflected in the economic concept of Ramsey pricing. Accordingly, recovering more than
the long-term average costs from a particular service is not necessarily an indication of
efficiency, because it may be caused by the need to efficiently recover common costs.
Ideally, the principle of recovering fixed and common costs where the distortion is the
least, should guide price setting in commercial as well as regulatory practice. BecauseRamsey-pricing is complex, regulators do not generally apply it (that is, they do not
typically differentiated mark-ups for fixed and common cost recovery according to the
price sensitivity of demand for services that use the regulated service as an input). As a
result, there is a potential divergence between regulated interconnection rates and
efficient rates. Efficient rates may be higher than regulated rates for some services and
lower for others.
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APPENDIX C: THE EFFICIENCY OF MULTIPLE IPINTERCONNECTION MODELS
As discussed in the main part of this report, IP networks will enable a variety of services,
a variety of QoS levels and comprise a number of layers at which interconnection could –
at least theoretically – occur.
This raises the question whether a variety of IP interconnection charging models
(including alternative direction of payments, alternative units of charges and/or alternative
levels of the interconnection charge) could – or even should – coexist. In this Appendix,
we discuss the efficiency advantages of differentiating interconnection charges between:
• access network and the core network;
• networks that interconnect;
• interconnection customers of a given network; and
• retail services.
C.1 DIFFERENTIATION BETWEEN ACCESS AND CORE NETWORKS
Some commentators have considered the efficiency properties of different interconnection
models applied to the access and core network. According to this view, the efficient
interconnection model might differ for interconnection at the access network (origination,termination) and for transit. Specifically, a recent report69 prepared for the German
regulator proposes that a BAK interconnection model be mandated by the regulator at the
access network, whereas IPNP be adopted for transit.
In this report we have used the term “direct interconnection” for interconnection at the
access network (that is, for origination/termination). Having set out the determinants of
both efficient direct and efficient transit interconnection, we conclude in section 5.3.5 that
the efficient interconnection regime is highly likely to involve a dual system – and
potentially several dual systems according to specific market situations – where the
interconnection model for direct interconnection differs from that for transit.
The specific proposal made to the German regulator is discussed in section 6.2.3 of the
report.
69 Vogelsang, Ingo “Abrechnungssysteme und Zusammenschaltungsregime aus ökonomischer Sicht”, Study
prepared for the Bundesnetzagentur für Elektrizität, Gas, Telekommunikation, Post und Eisenbahnen; 28 April
2006; p 172. It should be noted that Vogelsang’s efficiency analysis is somewhat more limited than the analysis
in this report as he compares only the relative performance of Bill and Keep with two specific variants of CPNP
(both of which are cost-based).
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C.2 DIFFERENTIATION OF INTERCONNECTION CHARGES AMONG NETWORKS
There are many reasons why interconnection charges may differ. They include:
• costs may differ between networks – for example, if there are scale differences or
geographic factors that impact the cost structure; and
• demand factors may differ between networks – for example, geographically separate
networks may have customers with very different preferences as to which sports
they wish to see on IPTV.
An efficient interconnection regime does not necessarily establish a single set of
interconnection rates applying to all networks which might interconnect.
Flexibility that allows each network to negotiate its interconnection fee independently of
fees charged on other networks, can improve efficiency by undermining behaviour that
would take advantage of a non-variable interconnection fee (which does not respond to
market circumstances) or an interconnection fee that does not respond to incentives in a
particular interconnection relationship. For example, even where two networks are
identical in relation to their current costs and coverage, the interconnection charging
model must have the flexibility to be non-reciprocal, because this can prevent business
bias and network structure bias. In other words, the threat of non-reciprocal rates is
required to maintain market equilibrium where both networks charge symmetrical
interconnection rates. Being able to resort to non-reciprocal rates is particularly relevant
in cases where one network is more effective in targeting customers and such that the
targeting itself cannot be fully reciprocated.70
As a direct consequence, imposing BAK on a group of traffic-balanced networks would
not be efficient. Prior to BAK being imposed, their true arrangement is really a form of
settlement-based interconnection, with the (explicit or implicit) understanding that
payments would be made if an imbalance occurred. If BAK is imposed in this situation,
this would alter incentives in ways that would almost certainly lead to a move away from
efficiency. This is because targeting of customers and network structure bias may
become profitable and/or network and quality underinvestment might occur. Even if these
biases could be avoided through adjustment of the retail charging model, and even if
traffic balance were to be maintained in the market equilibrium, the change in retail
charging structure that would be required to avoid biases and disincentives to invest
would not be efficient.
70 Reciprocal termination rates imposed by the FCC in the US had the effect that entrants cherry picked ISPs as
their customers which lead to a large termination deficit incurred by incumbents. See Hermalin, Benjamin E.
and Michael L. Katz, “Intercarrier compensation with all-you-can-eat retail pric ing”, working paper, 14 March
2006. Hermalin and Katz illustrate the incentive that entrants had to bias their business towards customers that
mostly terminated traffic in a theoretical model. The authors conclude that, under the requirement of a
reciprocal termination fee, and within the limitations of the model they investigate, BAK would be at least equally
efficient as any positive or negative termination fee. The paper by Hermalin and Katz does, however, not
analyse whether the removal of the reciprocity requirement could achieve the same or a better efficiency level
as BAK.
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C.3 DIFFERENTIATION OF INTERCONNECTION CHARGES AMONG CUSTOMERS OF A
NETWORK
Efficient interconnection charges on a given network may also differ depending on whothe interconnection parties are (e.g. some operators might pay a higher termination
charge than others for terminating traffic on a given network). This could occur due to
different interconnection products being provided (which might involve different costs),
reflect reactions to a specific interconnection customer’s cost avoidance conduct, or
simply be the outcome of separate negotiations. Interconnection charges may also reflect
price discrimination among different types of network customers (reflecting the
characteristics of their retail business and their costs). In summary:
• clearly, differentiation according to cost differences is efficient as it encourages the
efficient use of resources;
• as we discussed in the previous section, being able to specifically respond to
inefficient cost-avoidance conduct enhances efficiency; and
• price discrimination at the level of interconnection charges is more ambiguous: it
may increase or decrease efficiency depending on the specific market conditions.
For example, in the presence of large fixed costs, price discrimination is a tool to
recover these fixed costs with the least possible distortion to consumption decisions.
Overall, differential conditions which networks secure for interconnection services on a
given network are not an indication that some of these charges would be inefficient.
It may even be efficient to differentiate interconnection arrangements to an extreme
degree where one network refuses to interconnect with another network. This can be
efficient if, for example, the network which is refused interconnection only enables a low
QoS standard, which would undermine the other network’s quality proposition to its retail
customers (as retail customers may not be able to realise the source of a lower than
expected quality).
C.4 DIFFERENTIATION OF INTERCONNECTION CHARGES ACCORDING TO SERVICES
Interconnection occurs at layers 1 and 2 of an IP network at technically feasible PoIs in
the transport plane and the access plane. Interconnection at these layers enables the
provision of all retail services which are currently provided.
While IP interconnection could – in theory – also occur at higher network planes (e.g. at
the service plane) this has not been commercially trialled to date. Consequently,
differentiation of interconnection models according to whether it occurs at the transport or
service plane would only become relevant if and when the technical requirements for
interconnection at the service plane are developed and retail services are brought to the
market for which service plane interconnection would be required.
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At the lower network level at which interconnection currently occurs, differentiation of
interconnection charges according to the nature of the retail service is not possible,
because all information is transported in packets, which are only labelled with their
origination, destination and priority.
Should, in the future, interconnection also occur at the service plane, then interconnection
charging models that differentiate according to the nature of the retail service are likely to
arise at the service plane. Our analysis of charging models earlier in this section
suggests that the nature of a commercially viable and economically efficient
interconnection charge at the service plane for each service (in isolation) would – absent
traffic balance between peers – depend on two elements:
• the costs of providing interconnection, including the cost of providing the service
element as part of the interconnection product; and
• the distribution of benefits associated with the service among initiating and receiving
party.
In addition, commercial viability and economic efficiency would require that the sum of
interconnection arrangements avoids inefficient arbitrage between services (as well as
between interconnection at the service plane and lower network levels). Setting
consistent interconnection charges will become more complex for each interconnected
network; the consistency requirement would also substantially increase the burden on a
regulator attempting to regulate charges at any level. To operate efficiently all charges at
one network level would have to be consistent with all other charges. Even sophisticated
regulation would then tend to induce arbitrage opportunities, because networks differ intheir topology and the services they offer, such that a set of regulated charges may be
consistent when applied to one network but not with regard to other networks.
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APPENDIX D: EFFICIENCY OF BAK IN TRANSITINTERCONNECTION
In this section we discuss the efficiency of applying BAK to transit interconnection –
where BAK could potentially be applied either as a result of specific transit arrangements
or as a result of using a BAK model between two networks, which then applies to all traffic
between these networks (that is, to direct interconnection as well as transit). As we will
demonstrate, BAK applied specifically to transit traffic would lead to more severe
distortions than BAK applied to direct interconnection, because transit does not generate
retail incomes.
No rational firm will provide transit services under a BAK interconnection model. The
analysis presented here is for completeness only.
As we have discussed earlier in this report, the economic principles applying to transit
interconnection mirror those applying to direct interconnection. Specifically, the economic
role of transit interconnection involves two elements:
• balancing the interconnection costs incurred by the originating and the terminating
network in order to induce them to balance the retail charges efficiently between the
initiating and the receiving party; and
• recovering the transit networks’ costs.
When BAK is applied to transit, neither the originating nor the terminating network
receives any interconnection payment; and therefore each network can recover costs only
from their own retail customers. Unless this distribution of retail payments is an efficient
retail model, BAK at the transit level will lead to distortions similar to those discussed in
the main text with regard to direct interconnection.
However, BAK applied at the transit level in a way that leaves any transit provider without
revenues, leads to another distortion, because with no transit payments, transit providers
incur costs, but have no means to recover them. Hence, BAK applied in this manner will
discourage transit services.71 A number of market responses to the under-recovery of
transit costs could occur, depending on the specific market conditions. For example,
transit over shorter distances could be vertically integrated into the networks thatoriginate/terminate traffic, such that more of these networks interconnect directly.
Another alternative would be that transit is diverted through paths where BAK does not
apply (that is, networks on which BAK is not imposed for transit). Because these
71 The empirical fact that in the current internet a significant amount of transit – namely transit between tier 1
providers – is transmitted without payments does not contradict this prediction. Firstly, as we point out
elsewhere in this report, this practice represents technical limitations of the current internet. The technical
limitations imply that the recovery of transit costs does not necessarily occur from customers who cause the
costs; however, on an average basis, transit costs can be recovered. Secondly, this form of transit occurs only
between peers with an approximate traffic balance. Each of these providers can then factor in transit costs
when negotiating charges with lower tier providers.
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alternatives would be driven by a need to bypass the distorting incentives set by BAK and
would not reflect the efficient way to provide services, costs would increase; and this
would ultimately result in higher end-user prices.
We illustrate these inefficiencies in two examples involving a simple message (e.g. email).
The first example, where neither the originating nor the terminating network makes any
payments for transit, is illustrated in Figure 32 below. While the figure shows only one
transit provider, it can also be interpreted as depicting the relationship between the
originating/terminating networks and a transit provider that may result in NGN, whereby a
single provider manages an end-to-end delivery of the message and pays the providers
who contribute to the physical transit.
Figure 32 - BAK for transit
The inefficiency of BAK in this situation arises from
• The inability of achieving an efficient interconnection balance between the originating
and the terminating network, such that each network must charge their own retail
customer to recover costs; and
• The fact that the transit provider(s) would be expected to provide a service without
compensation.
The second example, illustrated in Figure 33 below, depicts a situation where sequential
transit providers receive payments from either the originating or the terminating network,
but BAK applies for transmission of the message between transit providers. Provided that
the payments from the originating and terminating network fully cover the costs of transit
(including those associated with higher quality of service), at least the transit providers
that receive these payments from the originating and the terminating network have an
incentive to provide their services. However, the BAK element between both transit
providers (or, more generally, BAK somewhere in the chain of transit providers) prevents
any indirect payment between the originating and terminating networks.
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Figure 33 - BAK between transit providers with sequential transit
Overall, the specific retail and cost conditions under which BAK is an efficient
interconnection model (namely, the efficient retail model involves payment by both retail
parties equal to the costs of providing “their side” of the service, or – alternatively – traffic
balance between peers), apply similarly to direct interconnection and to transit. Where
these conditions do not hold, the zero fee for interconnection, which is implicit in BAK,
induces either the adoption of an inefficient retail model and/or distortions due to cost
avoidance behaviour. In addition, the adoption of BAK in a manner that one or more
transit networks are not paid for providing the transit service, discourages the provision of
transit, a disincentive that the market could only overcome by costly bypass.
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APPENDIX E: REGULATORY APPROACHES TO IPINTERCONNECTION
E.1 INTRODUCTION
In this section we consider regulatory developments on the issue of IP interconnection in
various jurisdictions. The jurisdictions covered in this section are Germany, the UK, Hong
Kong and Australia. These are all jurisdictions in which the national regulators have given
some consideration to the development of NGNs and the potential regulatory implications,
or have otherwise given detailed consideration to the issue of interconnection charging
models.
E.2 GERMANY
The German regulator, Bundesnetzagentur (BNetzA) has set up a working group of
industry representatives with the aim of advising the BNetzA on technical and economic
aspects of IP interconnection. To assist the working group, the BNetzA commissioned
three studies related to IP interconnection charges.72 These developments suggest that
the BNetzA is considering imposing an interconnection charging model as ex ante
regulation of NGNs.
The economic analysis commissioned focuses on the economic outcomes of alternative
charging models for telephony in fixed NGN networks and makes some references to
mobile termination. However, because currently and over the near future IP
interconnection does not distinguish between services, adopting the recommendations of
the report would have consequences for all NGN services. The conclusions arising out of
the economic analysis commissioned by BNetzA include:
• that BAK is a better charging model than element based charging or capacity
based charging, for IP networks that do not offer quality of service differentiation;
• that the preferred long-term interconnection regime in a QoS context is BAK in
the access network and element-based charging in the core;
• that within a core network, element based charging is optimal, as long as
interconnection regulation continues to exist in the PSTN;
• that with the switch to NGNs, commercial solutions for interconnection in the core
network may be adequate and these may be based on element based charging,
but need not be;
72 An economic study: I Vogelsang, “Abrechnungssysteme und Zusammenschaltungsregime aus ökonomischer
Sicht”, Study prepared for the Bundesnetzagentur für Elektrizität, Gas, Telekommunikation, Post und
Eisenbahnen; 28 April 2006; a technical study and a study in relation to UK and US interconnection regimes: JS
Marcus, “Framework for Interconnection of IP-Based Networks – Accounting Systems and Interconnection
Regimes in the USA and the UK”, 27 March 2006.
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• that minute-based charging may not continue in an NGN environment, as the
costs of providing NGN network capacity depends on the type of data and
number of packets; and
• that having bill-and-keep charging for access networks and element-based
charging for core networks does not mandate a change from calling party pays
models at the retail level to a receiving party pays model, especially if bill and
keep is restricted to the access layer.
Based on these conclusions, the report recommends the adoption of BAK between the
last PoI and the customer (that is, BAK would replace termination payments), whereby
the location of the PoIs is monitored by the regulator, and the network sending the
message has to commercially negotiate delivery of the message to the Pol at which BAK
applies. If the regulator were to mandate interconnection for transit, the report
recommends the EBC approach.
With regard to mobile networks, the report concludes that for reasons of technological
neutrality, fixed-to-mobile termination should adopt the same charging model as
termination in a fixed network.
The economic analysis in the main text of this report suggests that adoption of BAK in this
way would be burdened with inefficiencies:
• the retail model that is implied by BAK model will – except in extraordinary
circumstances – not be efficient. This is because, under BAK each network must
recover costs from its own retail customers, and in all but specific cases, this form ofcharging does not correspond to the distribution of message benefits between retail
customers (and to the distribution of costs between the network).73 Indeed, our
analysis in section 6.3 concludes that in many situations, payment by the initiating
party (and a corresponding IPNP interconnection regime) is likely to be efficient; and
• if operators attempt to cover their interconnection costs by imposing charges for
unrelated messages (options 2 and 3 discussed in section 6.2.1) – for example,
because they might face customer reluctance to accepting a retail model where the
receiving party pays at least some of the costs (charges might be variable or take the
form of buckets) – then this would lead to business bias, whereby operators attempt
to establish a low-cost customer base. As discussed in section 5.3.8, business bias
implies that too few messages are sent. In commercially negotiated interconnection
systems, business bias can be prevented, because operators have the option to
adjust interconnection fees in response to evolving circumstances (e.g. changes in
the relative importance of terminating and originating traffic on each network).
However, in a mandated BAK model this is not possible, because, by definition, the
interconnection fee is zero and cannot be changed;
73 Condition 1 (stable traffic balance between peers), which represents the only other situation in which BAK would
be efficient, is highly unlikely to hold in practice. In particular, it is unlikely to hold in the context of
interconnection between alternative fixed networks or between fixed and mobile networks.
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• regulatory oversight over the location of PoI at which BAK is suggested to be applied
would mitigate the hot-potato problem (that is, the incentive to locate PoIs close to a
network’s own customers). However, such a regulatory intervention in network
design is likely to involve high costs, in particular if the application of BAK were to beextended to non-fixed networks;
• mandating BAK, instead of positive termination fees, may change the incentives to
invest in networks and their extension, in particular in relation to locations where the
cost of coverage is higher (BAK would prevent residential customers and businesses
in other areas contributing to the cost of connecting high-cost customers through
payments of termination fees). Suboptimal network coverage would be the
consequence of this distortion;
• while imposing BAK would ensure that termination fees cannot be excessive, there is
no guarantee that the market outcomes resulting from imposing BAK are at leastpreferable to the outcomes that would have been achieved absent intervention; and
• the distortions associated with BAK are likely to be exacerbated in a QoS
environment, because ensuring QoS typically implies that the efficient
interconnection fee must be higher for services with a higher QoS standard (see
section 5.3.7). BAK has therefore the potential to prevent the adoption of QoS – with
serious consequences for the availability of services that rely on end-to-end QoS
provision (such as high-quality VoIP). Moreover – as discussed in section 6.2.3 – we
do not agree with Vogelsang’s view that interconnection for origination/termination
can be decoupled from QoS standards. Access networks can be, and in practice
sometimes are, affected by capacity shortages, which constitute the problem that
QoS traffic prioritisation attempts to solve. Moreover, while in the fixed network
traffic hand-over under BAK conditions could be limited to the last PoI on the way to
the receiving customer, this is not practicable in mobile termination, where traffic is
typically handed to the terminating network at the first PoI. Hence, a terminating
mobile call is typically transmitted over large parts of the terminating network. At
every point along this path QoS will need to be ensured.
The final report74 by the IP interconnection working group, which was released for public
consultation in December 2006, shows that the group members’ support for the dual
charging model proposed by Vogelsang is mixed, with some members of the working
group considering “some” balance of traffic between networks and similar cost conditions
as key preconditions for BAK to be a viable interconnection model. Moreover, the report
notes that even those supportive of the dual system proposed by Vogelsang agree that
determining a time path for the transition appears to be impossible from today’s
perspective.
74 Berg, A and others “Rahmenbedingungen der Zusammenschaltung IP-basierter Netze”, 15 December 2006.
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service specific wholesale regulation and a greater focus on generic access and
interconnection remedies.80
Ofcom’s approach to the developments in IP interconnection is epitomised by thisstatement from the second consultation on NGNs:
We do not think it would be appropriate for Ofcom to become involved in
increasingly detailed management of the transition to NGNs and specification of
new products. We believe the most effective role we can take, and the purpose of
this consultation, is to establish a clear policy framework and ensure that robust
industry-led processes are in place to take forward the issues.81
Ofcom has noted that NGN deployment may result in more efficient interconnection of call
termination traffic at a central location, but that these arrangements would need to be
consistent with existing call termination obligations for those with substantial marketpower.82
In response to Ofcom’s statements encouraging industry led co-operation and solutions to
ensuring that NGNs reach their full potential for the benefit of investors and consumers,
BT has established the Consult 21 program as a forum for consulting with its wholesale
customers on these issues.
E.4 AUSTRALIA
In May 1998, the Australian regulator, the ACCC, issued a competition notice in which it
found that the incumbent fixed network operator, Telstra, had acted anti-competitively by
not entering into sender keeps all (SKA)83 peering arrangements with 3 other backbone
providers, because:
• interconnection between different IAPs is essential for end users to obtain complete
global access to all content providers and other end-users. Hence, such
interconnection is fundamental to the effective operation of the internet;
• the terms and conditions upon which interconnection between different IAPs is
arranged will also affect the terms and conditions upon which IAPs are able to
provide Access Provider Services to ISPs;
80 Ofcom, Next Generation Networks – Future arrangements for access and interconnection, Consultation
published 13 January 2005, pp 22.
81 Ofcom, Next Generation Networks – Further consultation, Consultation published 30 June 2005, p 2.
82 Ofcom, Next Generation Networks – Further consultation, Consultation published 30 June 2005, p 26.
83 In the ACCC competition notice it is unclear whether the ACCC is referring to sender keeps all or a settlement
based interconnection arrangement, however, the arrangements struck as a result of the competition notice
seem to be settlement based.
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• Telstra, because of its market power, is able to charge other IAPs for the supply of
Access Provider Services, while not paying or otherwise compensating for Access
Provider Services supplied by other IAPs; and
• in a competitive market, Telstra would either pay for Access Provider Services
supplied to it by other IAPs or enter into reciprocal financial arrangements with
other IAPs for Access Provider Services supplied to Telstra by those other IAPs.
The ACCC subsequently conducted an inquiry into IP interconnection to determine
whether it should become a regulated access service, which would require all IP
operators, not only Telstra, to provide the service on terms and conditions which the
ACCC could determine. The ACCC ultimately decided not to proceed with the
designation of IP interconnection, because it did not have sufficient information to
determine whether the designation would or not meet the long term interests of end users
test, which guides decisions about access regulation. The ACCC reiterated its concernunderlying the peering competition notice, that peering between major ISPs could have
anti-competitive effects:84
The nature of the internet interconnection service means that while there is some
scope for product differentiation on pricing, the range of options for
interconnection models remains limited to either a peering or transit relationship.
The preponderance of transit relationships between the major ISPs and those
ISPs with less investment in infrastructure leads the Commission to consider that
there may be monopoly rents being extracted by the larger players, particularly
since the major ISPs have a lower cost base than their smaller competitors by
virtue of the peering relationships they have amongst each other.
This circumstance may result in the large ISPs being able to raise their rivals’
costs, and perhaps free-ride on the infrastructure and other investment of the
smaller ISPs. Whilst there may be a number of contributing factors, limited
market concentration figures indicate that the number of ISPs in the market is
shrinking, despite the low barriers to entry at the low end of the market, and a
market that has not yet reach saturation.
The existence of peering relationships among the major ISPs and the static
nature of the identity of these ISPs does not necessarily imply that there is
collusion among them. However, the Commission remains concerned that the
standardisation of internet interconnection arrangements into peering or transit
may have the same effect. This is because the major ISPs are aware that each
other has access to a substantial number of routes for near-zero cost, and is able
to ‘onsell’ this access to other ISPs. There is no incentive for any of the
beneficiaries of these arrangements to explore other interconnection models that
may reduce the revenue gained from onselling access to peered routes.
84 ACCC, Internet Interconnection Service, Final Report, 1 December 2004, p 12.
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While the ACCC is clearly uncomfortable with “oligopolistic” SKA peering arrangements, it
is equally clear that the ACCC also is not inclined to ubiquitously apply SKA peering. The
ACCC rejected the ubiquitous application of SKA peering because of the adverse effects
on incentives to invest in IP backbone infrastructure:85
A number of submissions to the inquiry’s Discussion Paper suggested that the
Commission mandate interconnection at IXs, with some stakeholders favouring
the exchange of traffic on a ‘Sender Keep All’ (SKA) basis. Aside from doubts as
to whether the Commission has the power to mandate such a model, it is not
certain that this model offers greater benefits than others, and may result in
inefficiencies in routing and investment. Notwithstanding these concerns, it may
be possible for IXs to become the preferred means of interconnection without
being required by regulation.
Although the ACCC noted that QoS was impossible to guarantee given the state of theinternet at the time of its final IP Interconnection report, it noted that:86
Internet markets generally are in a state of transition. As such, the Commission
believes that it should proceed with caution in deciding whether or not to regulate.
In particular, there is a shift from dial-up to broadband access, the retail market is
continuing to grow, and applications that drive the internet’s growth continue to
develop and evolve. It is not certain that market power is constrained by this
dynamism, or whether requirements for quality of service associated with
newer applications may act to reinforce existing market power .
The ACCC made more extensive comments on QoS in its draft report:87
However, while QoS considerations may force some ISPs to accept a higher
price than others, the product they are acquiring is no different to that acquired by
other ISPs. It may be more likely that the necessity of reaching the popular IP
addresses via the most direct path places the provision of access to those
addresses in a separate market. At this point in time, the Commission considers it
to be unclear whether quality of service considerations may diminish the
substitutability of alternative interconnection services for interconnection to be
one or more of the larger ISPs. The Commission expects that this will become an
issue of greater importance, demanding further consideration, in future.
….
85 ACCC, Internet Interconnection Service, Final Report, 1 December 2004, p 22.
86 ACCC, Internet Interconnection Service, Final Report, 1 December 2004, p 20 (emphasis added).
87 ACCC, draft Internet Interconnection Report, pp 47-48.
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Quality of service issues are becoming increasingly important in line with the rise
of sophisticated internet services, such as VoIP, video and audio-streaming and
advanced e commerce. These services can require ‘real-time’ transmission, and
therefore ISPs supplying these services may be unable to meet end-userdemands for quality of service without directly connecting to ISPs with large
proportions of popular IP addresses, to reduce latency. The Commission has
received anecdotal evidence that large corporate clients require their chosen ISP
to obtain wholesale internet interconnection from Telstra in order to maximise
quality of service.
The quality of service differences between the different types of internet
applications suggests that different product markets may exist for these
applications. However, the nature of the internet is such that it is operationally
inefficient to examine packets to determine the application of their payload. As a
result, ISPs whose customers demand low latency have no choice but tointerconnect with those networks that host IP addresses of importance to their
retail customers.
E.5 HONG KONG
The Hong Kong regulator, OFTA, is currently considering changes to the existing
interconnection regime between fixed and mobile operators for voice calls made in each
direction. While OFTA’s focus is voice calls, it has developed its proposals with the
transition to IP-based NGN networks in mind.
Currently, calls between fixed networks and mobile networks are dealt with as follows:
• calls from mobile to fixed networks: the calling mobile subscriber pays for the
end to end call (IPP). The mobile operator (as IPNP) pays the fixed operator a
termination charge. The termination charge to the fixed incumbent’s network is
calculated on a fully distributed cost basis. Charges for termination by fixed
competing networks to the fixed incumbent’s network are calculated using an
incremental cost standard, LRAIC. Other than in respect of the charging standard,
these interconnection arrangements are fairly typical; and
• calls from fixed to mobile networks: the called mobile customer pays for
inbound calls, although most subscribers are on bucket plans covering inbound and
outbound calls. The fixed calling party (unlike in Singapore) does not pay a per call
charge to originate the call. The mobile operator pays the fixed operator an
originating access charge. The charge payable by the mobile operators to the fixed
incumbent is calculated applying the LRAIC standard. This charging arrangement
(as well as the LRAIC standard) is unusual amongst countries in which the RPP
model applies to calls to mobile services.
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OFTA has proposed that a BAK approach should apply as a fallback between fixed and
mobile networks.88 The BAK approach was recommended by OFTA’s consultants,
Ovum, who identified the following benefits:
• it eliminates the current problems associated with fixed termination charges;
• it substantially reduces the transaction costs of negotiating/determining
interconnect charges for all operators, both fixed and mobile;
• it substantially reduces transaction costs of billing, reconciling and collecting
interconnect charges for all operators;
• it focuses the efforts of the operators on competing in the supply of retail services
to Hong Kong citizens rather than competing through regulatory arbitrage and
gaming;
• it gives operators a greater pricing freedom at the retail level. At the moment an
operator offering services for a flat monthly fee at the retail level pays interconnect
charges on a per minute basis and risks a margin squeeze. Moving to BAK
removes this problem;
• it is future proof. Operators using IP and circuit switch technologies can
interconnect with each other without needing to negotiate complex interconnect
charging arrangements;
•
it gives an operator stronger incentives for cost efficiency than other interconnectcharging arrangements. Under BAK the operator must recover all its costs from its
customers. In a competitive market this gives it strong incentives to minimise its
unit costs. Under a traditional calling parties network pays model the operator
receives a substantial portion of its revenues from call termination prices which are
set by negotiation or determination and where incentives for regulatory gaming
rather than cost efficiency dominate. The same argument applies to current FMIC
arrangements in Hong Kong;
• it eliminates any need to consider the “terminating access monopoly” problem,
which gives even the smallest operators’ substantial power over calls that
terminates with their customers
• it reduces the role which OFTA plays in competitive interconnect in Hong Kong and
so represents a substantial withdrawal of regulation and of regulatory costs; and
• it costs virtually nothing to implement.
88 Regulation for Fixed-Mobile Convergence, Second Consultation Paper, 14 July 2006.
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Appropriate interconnection arrangements between directly connected networks for voice
calls is beyond the scope of this report. As we discuss in sections 5 and 6, BAK can be
efficient in some circumstances and not efficient in others. Factors such as the retail
charging models and the impact of interconnection on competition betweeninterconnected operators in downstream markets needs to be considered.
However, the view that OFTA and its consultant seem to share, that BAK is the approach
which should prevail in an NGN environment, is too single-dimensioned. As we have
discussed in this report, transit has a much more significant role in IP interconnection than
in circuit switched interconnection. The transit provider will not have access to retail
revenues out of which to recover its costs in providing transit.
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APPENDIX F: THE AUTHORS
F.1 CRA INTERNATIONAL
CRA is a leading provider of economic and business consulting services to clients in the
public and private sector. Founded in 1965, the firm has over 700 consulting staff in its
offices in Europe, North America and Asia-Pacific. CRA has very substantial experience
in telecommunications competition, technology and other industry issues. We have
telecommunications experts located in Europe, North America and Asia-Pacific, with a
substantial dedicated Telecommunications/Media team of consultants in Australia.
Bridger M. Mitchell, Vice President, is the director of CRA’s Palo Alto office. He is an
expert in competition and pricing in the telecommunications industry and is the author of
five books and numerous articles in professional journals. He has researched regulatoryissues involving the theory and practice of telecommunications pricing, competition, and
equal access in local telephone markets, interconnection of wireless and wire line
telecommunications networks, international telephone rates, and broadcasting and cable
television.
Paul Paterson, Vice President in CRA’s Sydney office has significant commercial and
government experience in industry research, corporate strategies, and policy
development, as well as senior executive experience in the telecommunications industry.
Prior to joining NECG, Dr Paterson was with Telstra Corporation Ltd, where as Director,
Regulatory, he held one of Australia’s most influential regulatory positions.
Moya Dodd, Vice President in CRA’s Sydney office, brings with her a wealth of expertise
in strategic decision-making, business development, legal and regulatory issues
management, advocacy, and negotiation. Ms. Dodd’s former experience includes senior
strategic development, management, and regulatory roles in media and
telecommunications firms.
Paul Reynolds is CRA’s key expert in European telecommunications, advising on
competition law and regulatory issues. Paul has over 10 years’ experience assisting
lawyers and companies in responding to investigations by national competition and
regulatory authorities, the EC Commission under Articles 81 and 82, and the EC Merger
Regulation, in court proceedings in EU Member States and Australia and in international
arbitrations. Paul has particular expertise in relation to the telecommunications
interconnection issues and has advised telecoms operators, industry associations and
regulators in Europe, the Asia Pacific, Africa and Latin America.
Astrid Jung specialises in industrial economics and econometric applications to
competition analysis and antitrust. Her interests lie in the areas of empirical testing of the
effects of regulation on firms’ competitive behaviour and of industry influence on
regulation.
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F.2 GILBERT + TOBIN
Gilbert + Tobin is an internationally recognised firm in telecommunications law and was
intimately involved in the deregulation process in Australia. From this base, Gilbert +Tobin has expanded its client base throughout Europe, North America and with a
particular focus on the Asia Pacific Region. With this depth of experience Gilbert + Tobin
have built up specialised knowledge of best practice telecommunications regulatory
design, implementation and management.
Peter Waters is a partner in Gilbert + Tobin specialising in communications and
technology. Peter is recognised as one of the leading communications lawyers in Asia
Pacific. Chambers and Partners Global report for 2006, commenting on China/Hong
Kong telecommunications sector, says Peter Waters is "the first choice lawyer for
regulatory work bar none." He completed his Master of Laws at Harvard Law School on a
Fulbright Scholarship. Peter spends his time between Sydney and Hong Kong, where heis a consultant to Arculli Fong & Ng (in association with King and Wood).
Rob Nicholls is a consultant at Gilbert + Tobin and has worked in the communications
field for over 25 years business, focusing on strategy in the telecommunications and
broadcasting sectors. He delivers strategic direction and associated solutions. Rob brings
commercial, finance and analytical abilities based on an extensive technical and
regulatory background.
Elise Ball is a lawyer in Gilbert + Tobin’s Corporate, Communications and Technology
Group. She has acted in many intellectual property disputes, including those relating to
copyright enforcement, trade mark infringement and domain names. She also hasexperience managing intellectual property registers for domain names and business
name registrations. Elise completed an internship at the Brussels office of Freshfields
Bruckhaus Deringer, where she was involved in European competition law, specifically
clearing mergers and takeovers with the European Commission.
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APPENDIX G: GLOSSARY
AS – autonomous systems
BAK – bill-and-keep
BGP – border gateway protocol
CDR – call data records
CPE – customer premises equipment
DNS – domain name service
DSL – digital subscriber line
eBGP – exterior border gateway protocol
FTP – file transfer protocol
IAP – Internet access provider
IMS – IP multimedia subsystem
IP – Internet Protocol
IPNP – initiating party network pays
IPP – initiating party pays
ISP – internet service provider
MNO – mobile network operator
MPLS – multi protocol labeling system
NGN – next generation network
PoP – point of presence
PSTN – public switched telephone network
QoS – quality of service
RPNP – receiving party network pays
RPP – receiving party pays
SBI – settlement-based interconnection
SSP – signal switching point
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STP – signal transfer point
TCP – transmission control protocol
URL – uniform resource locator