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Cable Regulation in an Evolving IP World

This presentation discusses the challenges faced by the cable marketplace and the impact of over-the-top (OTT) competition. It also covers the regulation of cable outside of renewal periods, periodic franchise fee audits, customer service standards, technical audits, PEG programming, free service drops, PEG fees, and offsets from franchise fees.

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Cable Regulation in an Evolving IP World

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  1. Cable Regulation in an Evolving IP World Washington Association of Telecommunications Officers and Advisors Spring Conference – Chelan, WA May 1-2, 2014 Brian T. Grogan, Esq. 612-877-5340 brian.grogan@lawmoss.com

  2. Cable Marketplace • Homes Passed 130.7 M • Basic Cable Subscribers 57.3 M • Basic Cable Penetration 44.4% • Homes Passed by Internet 125.4 M • High Speed Internet subs 50.3 M • Cable Phone subs 26.7 M • 2011 cable operator revenue • Video revenue = $57 B • Broadband/telephone revenue = $41 B • No programming costs for non-video services Source: SNL Kagan – NCTA website (visited August 2013)

  3. Marketplace Challenges • Decreasing Subscriber Base • Over the top (OTT) competition • Satellite and telephone competition • Franchise Fees paid by cable $3.2 B (2011 est.) • Cable “gross revenues” Nearly Flat • Subscribers decreasing • Rates increasing • Is the “cable pie” getting smaller? • Will 2015 franchise fees = $3.2 B

  4. Chromecast OTT Video Device$35

  5. OTT Devices • Chromecast • Apple TV, • Boxee Box (with Live TV dongle), • Xbox 360 (with Kinect), • Nintendo Wii, • Roku XDS, • Seagate GoFlex TV, • Sony PS3, • Logitech Revue, • Sony SMP-N200, • TiVo Premiere, • ViewSonic NexTV, • WD TV Live, • OnLive • All DVD players

  6. OTT Platforms

  7. OTT Platforms • Netflix, • Hulu Plus, • HBO GO, • iTunes, • VUDU, • Zune Video, • Amazon Prime Streaming, • DISH/Blockbuster • Sony PlayStation Network, • Google TV, • MLB.TV, • EPIX, UFC, • ESPN, • YouTube, • EPIXHD, • OnLive and others.

  8. Impact of OTT on Renewal • Limited ability to communicate with OTT subs • Reduced consideration • Franchise fees • PEG fees • I-Net • Same burden on ROWs – limited regulation

  9. Regulating Cable When City is “not” in Renewal • Six steps you should take during the franchise term • Don’t wait until renewal to worry about compliance • Delaying enforcement is not helpful to City position

  10. Periodic Franchise Fee Audits • Are you collecting the correct amount of revenue? • “Gross Revenue” definition • Fee on Fee • Advertising, home shopping, non-subscriber revenue • Launch fees • Bundled rates • Annexation

  11. Bonds, Letters of Creditand Security Funds • Does your franchise require these? • Do you know where they are? • Have they expired? • Are the levels of coverage accurate? • Has anyone reviewed the terms • Notification • Statute of limitations • Waivers • Don’t wait until you need to enforce franchise

  12. Customer Service Standards • Do you have unique standards in your franchise? • You can impose FCC standards • What reports is the operator required to submit? • Are you enforcing compliance? • Adopt separate ordinance?

  13. Technical Audits When was the last tech audit conducted? Is the system in compliance with all local, state and federal standards? Unique franchise provisions National Electric Safety Code Separation of facilities Grounding FCC Technical Standards Health, safety and welfare at stake

  14. PEG Programming • How many channels are required under your franchise? • Triggers? • What level of capital funding? • Timing of payments • Verification • Two-way capacity and I-Nets

  15. Free Service Drops • Have you read the franchise requirement? • What level of free service? • Does it include equipment? • Are all eligible institutions hooked up? • Does the franchise impose distance limitations? • How are they measured?

  16. PEG Fee • The term "franchise fee" does not include: • Capital costs which are required by the franchise to be incurred by the cable operator for public, educational, or governmental access facilities. • 47 U.S.C. § 542 • What is a capital cost? • Depreciable asset • Fixed, one-time expense • Land, buildings, construction, equipment • Total cost needed to bring a project to a commercially operable status • Is that what the Cable Act intended? • What is a capital cost in the production of a television show or movie? • Total cost of production – including labor, production and marketing

  17. PEG Fee • Who pays for the equipment required to deliver a PEG HD signal? • After it leaves city hall – demarcation point • Is city responsible for production equipment? • Is operator responsible for transport? • Are all of the these costs “capital”? • PEG signals transported over an I-Net • Is the I-Net a PEG capital cost? • Is I-Net management a capital cost?

  18. Offsets From Franchise Fee • PEG fees offset from franchise fees? • Operator may seek language to allow “offset” • Based upon 47 USC 542 “Capital v. operational” • Watch out for: • “as permitted under federal law” or • “So long as payment of PEG fees does not serve to reduce the amount of franchise fees paid to City” • If an operator offsets fees what can City do? • Violation proceeding? • Court challenge? • Contract terms are critical

  19. Schools and Public Buildings • How many free drops are in place today? • How many additional outlets are in use? • Has digital conversion occurred? • Is equipment required for every TV set? • Who pays for equipment and service? • Existing drops v. new drops • Construction cost allocation for new drops • Can operator offset all in-kind costs? • From franchise fees? • Operator will cite FCC 621 Order

  20. Institutional Network “I-Net” • A communication network which is constructed or operated by the cable operator • Generally available only to subscribers who are not residential subscribers §611(f) [531(f)] • A franchising authority may require as part of a cable operator’s proposal for a franchise renewal • that channel capacity . . . on institutional networks be designated for educational or governmental use, and • may require rules and procedures for the use of the channel capacity designated pursuant to this section. 47 U.S.C. §531(b).

  21. Institutional Network “I-Net” • In practice an I-Net is typically: • a dedicated network built by an operator • used by a city free of charge or at a low cost • for voice, video and data transmissions • Operators may want to convert I-Nets to: • commercial services contracts - increase profits • can the operator “mandate” a commercial contract?

  22. Can an Operator Say NOto a Requested I-Net? • Cable operator usually cites to: Cable Act §621(b) [541(b)] A franchising authority may not impose any requirement that has the purpose or effect of prohibiting, limiting, restricting, or conditioning the provision of a telecommunications service by a cable operator or an affiliate thereof. • Cities should look to: Cable Act §621(b) [541(b)] Except as otherwise permitted by sections 611 and 612, a franchising authority may not require a cable operator to provide any telecommunications service or facilities, other than institutional networks, as a condition of the initial grant of a franchise, a franchise renewal, or a transfer of a franchise.

  23. Customer Service Simple path • Use FCC standards in franchise • Look to both • 47 C.F.R. § 76.309 and • 76.1601 - 1604 (notices) • Reporting/enforcement - not in FCC regs • Specify in franchise or city code Aggressive path - Adopt separate Customer Service Ordinance • Part of city code

  24. Competitive Equity • Operator will demand Level Playing Field language • Nothing in federal law requires such a provision • Check for state obligation • Why should the city agree to any language more burdensome than state or federal law? • Fairness? • Issues to watch for in proposed language • “Opt-out” provisions that allow operator to avoid franchise obligations without city approval • “Line item veto” - allows the operator to unilaterally modify franchise if different than competing franchise • Consider “all or nothing” approach • operator can have the same terms as the competitor • but it must take all requirements – no pick and choose

  25. Thank You! Brian T. Grogan, Esq. Moss & Barnett 4800 Wells Fargo Center 90 South Seventh Street Minneapolis, MN 55402-4129 Phone: 612-877-5340 Facsimile: 612-877-5999 E-mail: Brian.Grogan@lawmoss.com Web site: www.lawmoss.com

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