Annexes to COM(2011)795 - Universal service in e-communications: report on the outcome of the public consultation and the third periodic review of the scope in accordance with Article 15 of Directive 2002/22/EC

Please note

This page contains a limited version of this dossier in the EU Monitor.

Annex V to the USD establishes certain considerations to be taken into account by the Commission in deciding whether certain services should be included in the scope, namely:

1. Are specific services available to and used by a majority of consumers and does the lack of availability or non-use by a minority of consumers result in social exclusion?

2. Does the availability and use of specific services convey a general net benefit to all consumers such that public intervention is warranted in circumstances where the specific services are not provided to the public under normal commercial circumstances?

Moreover, recital 25 USD indicates that to be included in the scope the relevant services should already be available to a substantial majority of the population. The previous reviews in 2005/06 and 2008[20] concluded that these criteria were not met with regard either to mobility or to broadband, and thus the scope was not changed.

Broadband

Fixed (DSL) broadband networks were, on average, available to around 95 % of the EU population at the end of 2010[21].

Figure 1. Fixed broadband network coverage in the EU as % of the population, 2010

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Source: IDATE, 2010

There were approximately 133 million fixed and 36 million mobile broadband subscriber lines in the EU at the beginning of 2011, which shows that mobile is now contributing strongly to growing broadband take-up.

70 % of EU households now have internet access and 61 % have a wired or wireless broadband connection[22]. However, broadband usage rates vary considerably between Member States. Broadband take-up ranges from 23 % of households in Romania and 26 % in Bulgaria to 80 % in the Netherlands and Denmark and 83 % in Sweden.

Figure 2. Broadband penetration at home, % of EU households, 2010[23]

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Consequently, at household level, the threshold of broadband usage by a (simple) majority of consumers in the EU has been reached, but this is not yet a ‘substantial majority of the population’, as described in recital 25 USD. More importantly, given the significant national disparities in take-up and the fact that take-up levels in 5 Member States are below 50 %, the costs of EU-wide USO for broadband would fall disproportionately on telecom providers and ultimately consumers in those Member States. Indeed, survey data[24], including households aged 75 and above, indicate 12 Member States below 50 %. The costs of ensuring universal broadband coverage would be particularly high in countries with a sparse population, difficult terrain and/or less developed infrastructure. As indicated above, the average cost per household in Romania is likely to be more than twice the EU average. Therefore, including broadband access within the scope of universal service at EU level, at this stage, would not meet the second criterion in the USD, namely conveying a general net benefit to all European consumers.

Mobility

Mobile networks cover over 95 % of the EU population on the basis of national mobile licences[25]. Overall mobile subscriber penetration reached 124.2 % in October 2010.

Figure 3. Mobile subscribers and penetration rate at EU level, 2004- 2010

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Source: Digital Agenda Scoreboard 2011 — electronic communications market indicators

89 % of EU households have mobile and 71 % fixed telephone subscriptions, so that 98 % of all EU households now have telephone access.

Figure 4. Telephone access at home, % of EU households, 1999-2011

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Source: E-communications household surveys, July 2011

As to affordability, the average monthly price of a low usage basket of (pre and post-paid) mobile services in the EU amounted to € 9.07 in 2010, down approximately 30 % from 2006[26].

Since the last review, growing take-up and declining prices of mobile services can be observed. This confirms the analysis in earlier reviews that the competitive provision of mobile communications has resulted in consumers having widespread affordable access to these services so that there is no risk of social exclusion. The criteria for including mobility within the scope of universal service at EU level are therefore not met. This does not exclude wireless technology being used to provide connection at a fixed location under USO.

The Commission will continue to monitor the special needs of persons with disabilities, including in particular issues related to mobile telephone services[27], and report its findings in the next review.

WAY FORWARD

Given the large sums needed to ensure broadband coverage through USO and the potential impact on industry and consumers, Member States need to carefully analyse whether national conditions warrant the extension of USO to broadband, taking into account the risk of social exclusion as well as possible distortion of competition and undue burden on the sector.

In view of the risk of divergent approaches to implementing the USD and the potential financial implications for industry, the Commission considers that further guidance is needed to ensure that implementation is in accordance with consistently applied principles while taking into account the different stages of development of the markets in the Member States. Such guidance will help to tackle the risk of social exclusion while at the same time avoiding a disproportionate burden on the sector.

This responds to the requests for clarification from stakeholders in the consultation and the call from the European Parliament for the Commission to ‘ provide guidelines on how best to implement and enforce the revised USD, avoiding market distortions and, at the same time, allowing Member States to adopt the provisions that best suit their national circumstances ’[28].

The Commission is of the view that consistent implementation of USO calls for a coherent approach to the criteria for defining ‘functional internet access’ at broadband speeds, designation mechanisms, financing, and measures for end-users with disabilities. The Commission intends to engage in further discussions with Member States, European Parliament and other stakeholders on these matters.

- Scope of USO relating to ‘functional internet access’ at broadband speeds [29].

When Member States consider whether to define the network connection permitting ‘functional internet access’ at broadband speeds at national level, a set of coherent criteria, reflecting the criteria for changing the scope of universal service at EU level[30], could help to ensure consistency and minimise market distortion, while meeting the objective of preventing social exclusion.

For instance, Member States could be called on to make a prior assessment of the impact of such a decision, which could include assessing overall national broadband take-up in terms of the percentage of national households with broadband and the percentage of households with a broadband speed equal to or above the minimum speed envisaged.

Reflecting the notion in recital 25 USD that the services covered should be available to a ‘substantial majority of the population’, certain thresholds could be applied to determine whether the required critical mass of broadband take-up is achieved. The Commission believes that, at this stage, Member States could be asked to consider including broadband connections in USO where the data rate in question is used at national level (i) by at least half of all households and (ii) by at least 80 % of all households with a broadband connection[31].

Member States could also be advised, when making their decision, to identify their specific social and economic objectives and desired outcomes. This could include an assessment of:

- the expected market availability of broadband without public intervention;

- the social and economic disadvantages incurred by those without access to a broadband connection, including disabled end-users;

- the cost of public intervention via USO and comparison of this cost against the use of other approaches;

- the benefits of public intervention and its effects on competition, market distortions and broader policy objectives.

Thus, intervention would only occur where overall benefits outweigh overall costs.

- Common approaches to designation

Finding the most appropriate mechanism for designating universal service providers can help minimise market distortions and enhance efficiency. Territorial coverage requirements set at the outset of a designation process can unduly restrict the number of eligible undertakings. Likewise, a designation mechanism that allows Member States to consider all technical options for the provision of universal service is likely to produce the most cost-effective outcome.

An unduly long or indefinite designation period may also a priori exclude other operators from being designated[32]. For instance, transparency and non-discrimination can be promoted through limited time periods for USO designations (as e.g. in Greece and Poland). A thorough evaluation of potential options (including all available technologies) and their impacts will help identify the most efficient means of providing universal service, which may lead to more frequent designation of alternative operators (as e.g. in Estonia), or the designation of more than one undertaking (as e.g. in the Czech Republic and France). To avoid discrimination, a designation could be designed in such a way that it does not last longer than is necessary to recover the relevant investment costs and does not exceed a maximum duration (for example 10 years).

- Consistent approaches to calculating the net cost of universal service provision

In order to ensure cost efficiency and a level playing field for operators across the EU, the approach followed by national authorities to calculate the net costs of universal service provision is of key importance. Efficiency could be enhanced by setting out the methodological approach for calculating the net cost of USO in advance of any designation process, and by consulting publicly on it. Carrying out a specific net cost calculation for each designated undertaking would also ensure transparency and accuracy. The Court of Justice has identified specific elements that should be taken into account when evaluating the intangible benefits arising from USO. They should be established in line with calculations used for business valuations, and include e.g.: ubiquity, life cycle effect, marketing/sales/advertising benefits, brand image, loyalty and recognition/corporate reputation, benefits from provision of other services on a commercial basis, access to subscriber data, and information and technical and commercial benefits arising from the increased extent of the network. It is also important to clarify the principles to be applied by national authorities when assessing whether USO constitute an unfair burden[33] on the provider. In this regard, NRAs should examine all relevant characteristics particular to each designated undertaking, such as technical and economic characteristics of the equipment it uses for the provision of universal service, its economic and financial situation, and its market share[34].

- Financing

Any sectoral financing mechanism for universal service must be transparent, objective, proportionate and non-discriminatory, and seek to minimise distortion to competition and user demand.[35]

Using general taxation to finance USO can be seen as less distortive than sectoral funding, since it reflects more accurately the general nature of the ensuing social and economic benefits and the ability of consumers to pay. Finland, Sweden and the Czech Republic provide for these costs to be covered from public funding alone, while Malta and Portugal allow for a mix of public and sectoral financing.

Given the potentially higher costs of USO extended to broadband connections, Member States may consider, as is currently the case in certain countries, an appropriate mix of public and sector-specific funding to finance the provision of universal service. [36]

They could also set limits on contributions from telecom operators to a sectoral compensation fund.

Such limits may take two forms. First, as stated by Article 13(3) USD, Member States may choose not to require contributions from undertakings whose national turnover is less than a set limit ( de minimis threshold). A number of Member States make use of this provision. A common de minimis threshold could be applied by reference to the revenues of the operators concerned. This could be set as a fixed monetary amount (e.g. €5 million) or a percentage of the national turnover of the sector as a whole.

Secondly, in order to respect the principle of proportionality explicitly referred to in Article 13(3) USD and Article 6 (1) of Directive 2002/77/EC, a number of Member States have considered it appropriate to set a ceiling on the individual contributions of operators. A maximum common limit may be set on operators’ individual contributions, with the balance of the net cost financed from public funds. This limit may be expressed as a percentage of the operators’ national annual turnover from the provision of electronic communication networks and services. The percentage could be within a range (e.g. from 0.40 to 0.65% of annual turnover) to reflect the anticipated costs of USO provision, including broadband, by an efficient operator, but cannot exceed the actual net costs of USO provision in a given country. A number of Member States already provide in their national legislation for a maximum ceiling on individual contributions, set by reference to either gross or net revenues.

- Measures for end-users with disabilities

In view of the strengthened provisions in the revised USD relating to disabled end-users, Member States could also be encouraged to take due account of the needs of such users in designing their national USO, in accordance with the principle of ensuring equivalence of access.

CONCLUSIONS

The Commission currently does not see a need to change the basic concept and principles of universal service as an instrument for preventing social exclusion. At this stage, it would not be appropriate to include mobility or mandate broadband at a specific data rate at EU level.

The 2009 Telecom Package gives Member States the flexibility, in line with the principle of subsidiarity, to define the appropriate data rate for network connections delivering ‘functional internet access’ in the light of national conditions. Basic broadband access can therefore be part of USO at national level in justified cases, particularly where market forces and other policy tools and financing instruments have not led to universal broadband coverage. To minimise market distortions, Member States should take full account of public intervention tools other than USO to ensure broadband availability. Member States thus have the possibility, but no obligation, to include access to broadband connections within the scope of national USO.

However, there is a risk that divergent national approaches to implementation in the broadband environment could distort markets and put an unreasonable burden on the sector.

The Commission considers that it would be advisable to follow a common approach in applying the relevant provisions of the USD in the broadband context. This will make USO arrangements more efficient and boost regulatory predictability for the sector, so that investment and competition in the Digital Single Market will work to the benefit of innovation, consumer choice and affordability. The Commission will engage in discussions with the Member States, European Parliament and other stakeholders in the light of this Communication.

The Commission will also, based on a review of the various options, make proposals in the first quarter of 2012 to ensure that public sector websites and websites providing basic services to citizens are fully accessible for disabled users by 2015.

The importance of broadband access for European citizens is expected to continue to grow. While its inclusion now within USO at EU level would be premature, the Commission will continue to monitor broadband market developments, including in their social context. It will take these developments into account when it next reviews the scope of universal service.

[1] COM(2008) 572.

[2] OJ L 108, 24.4.2002, p. 51.

[3] SEC(2011)1398.

[4] In Latvia, the establishment of a sectoral fund has been postponed to 1 June 2013 and in the meantime the compensation is provided by public funding.

[5] Recital 8 USD.

[6] Recital 5 of the Citizens’ Rights Directive (CRD), OJ L 337, 18.12.2009, p. 11.

[7] Resolution (P7_TA(2011)0306): http://www.europarl.europa.eu/sides/getDoc.do?type=TA&reference=P7-TA-2011-0306&language=EN.

[8] Contributions are published at: http://ec.europa.eu/information_society/policy/ecomm/library/public_consult.

[9] COM(2010) 245.

[10] COM(2010) 472.

[11] OJ L 251, 25.9.2010, p. 35.

[12] COM(2010) 471.

[13] OJ C 235, 30.9.2009, p. 7. Under this instrument, almost ¬ 3.5 billion of aid has been authorized for pro-competitive broadband projects up to the end of October 2011010) 472.

[14] OJ L 251, 25.9.2010, p. 35.

[15] COM(2010) 471.

[16] OJ C 235, 30.9.2009, p. 7. Under this instrument, almost € 3.5 billion of aid has been authorized for pro-competitive broadband projects up to the end of October 2011.

[17] COM(2011) 500.

[18] See also the Audiovisual Green Paper: COM(2011) 427.

[19] Impact of EU Policy options for revision of the universal service provision , Van Dijk Management Consultants et al., October 2010: http://ec.europa.eu/information_society/policy/ecomm/library/ext_studies/index_en.htm.

[20] Based on a mix of wired and wireless technologies.

[21] The study estimate is based on an annual telecommunications turnover of €394 bn. In relation to actual EU-27 turnover in 2009 (€ 332 bn), documented in the Digital Agenda Scoreboard 2011, the annual net costs would amount to approximately 0.81 % of the revenues of the telecom sector in 2009.

[22] Total USO costs in these Member States range between € 0.5 million and € 70 million.

[23] COM(2005) 203; COM(2006) 163; see also footnote 1.

[24] Due to its extended reach, the footprint of DSL can be used as a reasonable proxy to monitor the availability of fixed broadband coverage. However, other fixed technologies can also provide broadband connectivity.

[25] These figures for broadband household penetration, based on the Eurostat ICT household survey, include households with at least one member aged 16-74 (http://ec.europa.eu/information_society/digital-agenda/scoreboard/library/index_en.htm).

[26] 2010 data for UK not available; 2009 figure for UK was 69.5%.

[27] Special Eurobarometer 362: http://ec.europa.eu/information_society/digital-agenda/scoreboard/docs/pillar/studies/eb_ecomm/final_reports/reporteb751sp362infsoecommunications_en_final.pdf.

[28] COM(2005) 203.

[29] Report on Telecoms Price Developments from 1998 to 2010 , Teligen, Strategy Analytics Ltd, December 2010.

[30] www.eaccessibility-monitoring.eu; ongoing EC pilot project Reach112 on accessible alternatives to traditional voice telephony (www.reach112.eu).

[31] See footnote 7.

[32] See the interpretative document (COCOM10-31) presented by Commission services to the Communications Committee.

[33] Article 15, Annex V and recital 25 USD.

[34] According to the study (footnote 16), on average more than 80 % of EU fixed broadband subscribers have broadband speeds above 2 Mbps today.

[35] C-154/09 Commission v Portugal .

[36] In accordance with Article 12 USD.

[37] C-222/08 Commission v Belgium , C-389/08 Base NV and others v Ministerraad .

[38] See Article 13(3) USD and Article 6 (1) of Directive 2002/77/EC.

[39] In any event, funding of USO shall be in line with the rules governing State aid.