International bandwidth has tended to be way overpriced in India for
various reasons (poor routing policies locally, no peering till
recently, incumbent telco which was the sole reseller for
international bandwidth into the country and preferred maintaining an
artificial shortage..)

E1, DS-3 and STM-1 international bandwidth costs are now capped at INR
1.3 million, 10.4 million and 29.9 million pa respectively (INR 50 ~
USD 1)

-- 
Suresh Ramasubramanian ([EMAIL PROTECTED])

http://www.trai.gov.in/pr11mar05.htm

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Telecom Regulatory Authority of India 

Press Release No. 24/2005
11th March, 2005

 
TRAI Fixes Ceiling Tariff for International Bandwidth  
Tariff for International Bandwidth segment regulated  
TRAI found market failure in International Bandwidth market 
Ceiling Tariff for higher capacities is reduced by about 70% and for
lower capacity by 35%.

 

            International Bandwidth is the medium of carriage of data
and voice services across countries in the world. The International
Bandwidth service is provided through international private leased
circuits (IPLC). The International Bandwidth service in generally
provided through submarine cable systems and through satellite media
and in India submarine cable systems is the most predominant mode of
delivery of IPLC services.   The providers of the service are the
International Long Distance operators.  The main users of IPLC in
India are Internet Service Providers, Informational Technology (IT)
and IT-Enabled Service Enterprises like Business Process Outsourcing
Units and   International Long Distance Operators etc.

 

The IPLC Leased rentals i.e. the charges for using the services of the
international leased circuits were found to be higher in India than in
many countries owing to lack of effective competition in the market.
For instance, effectively in India there are only 3 operators who
provide this service as against 14 operators in Korea, 24 in France
and 32 in Germany and USA (New York). The Authority found that it is
essential to make this key input available to various economic and
social activities at a competitive price because the market forces are
not effective. Also because the competitive advantage of the user
industries can be enhanced in the global market. The Authority also
found that a competitively priced IPLC Service is fundamental to
achieve a higher rate of penetration of Broad Band in the country,
which provides a basis for fundamentally transferring the
socio-economic opportunities, particularly in rural India.

 

The Authority had initiated a consultation process by issuing a
consultation paper in the year 2004 with a view to examine the
possibility of regulating the IPLC market. This consultation process
has culminated in the issue of this Amendment (34th) to
Telecommunication Tariff Order. Thus, for the first time the Authority
is regulating the tariff for International Band Width.

 

 Briefly, the Authority has fixed ceiling tariff for three most
commonly used capacities/speed i.e. E1 (speed of 2 Mega bits per
second), DS-3 (speed of 45 Mega bits per second) and STM-1 (speed of
155 Mega bits per second).  The salient features of the tariff fixed
in respect of international bandwidth are as under:-

 

    * The ceiling tariff for IPLC half-circuit in respect of E1, DS-3
and STM-1 capacities are Rs. 13 Lakhs, Rs.104 lakhs and Rs.299 lakhs
per annum respectively. Operators are at liberty to offer tariffs that
are lower than the ceiling tariff fixed by the Authority.

 

    * These ceiling tariffs fixed result in a reduction of 35%, 71%
and 70% in  tariffs  for E1, DS-3 and STM-1 capacities respectively
(as compared to the existing listed price prevalent in the market for
the distant destination i.e. India-USA). Thus, the reduction has been
higher in higher capacities, which would be more in demand in future.
    * The prescribed ceiling tariff would be applicable for all
destinations, capacities and types of cable systems used for carrying
either voice or data.
    * The service providers are required to offer Standard Tariff
Package containing tariff for half circuits for all
routes/destinations for which circuits are offered.
    * The tariff for capacity/speed below E1 is kept under forbearance
i.e. left to market forces as the demand in future will be mainly for
higher capacities.
    * The tariff for IPLC offered through satellite media is kept
under forbearance i.e. left to market forces as the submarine cable
systems is the most predominant mode of delivery of IPLC service.
    * The ceiling tariffs prescribed by this Order will take effect
from 1st April, 2005.

 

The ceiling tariffs have been determined primarily on the basis of the
incumbent. Forward-looking Long Range Incremental Costs (FL-LRIC)
would be increasingly used from next year.

 

In arriving at decisions at the end of the consultation process (as
given above), the Authority inter-alia considered the existing market
conditions in India for IPLC including prices, its market structure,
the conditions prevalent elsewhere in the region and the practices
governing regulation of IPLC in other jurisdictions.

 

  It has been found that the International market for Bandwidth has
witnessed a deflationary spiral for more than five years owing to a
number of factors. This did not happen in Indian IPLC market. For
instance, as against 45% (CAGR) decline in the IPLC rentals elsewhere
in the world, the decline in India was only to the extent of 10%, It
is apparent that this has been due to lack of competition in the
Indian market requiring regulatory intervention.

 

Internationally also, it is common practice for the tariffs to be
regulated until the competition in that market has developed to a
level where the Regulator can safely withdraw and allow forced of
competition to impose effective market discipline on prices. This
appears to be the approach adopted by most overseas Regulatory
Authorities prior to competition getting established in those markets.
 A major finding of the Authority is that the IPLC market lacks
effective competition in India on account of various factors.  While
fixing the ceiling tariff based on costs, the Authority has also
underlined the need to remove bottlenecks in cable landing facilities
and enhance competition in the IPLC market, which would be subject
matters of another consultation paper that the Authority would issue
in due course.

 

The Authority recalls the growth experienced in mobile telephony
consequent upon tariffs declines witnessed in India. It would be
reasonable to expect that the same story would be repeated in the
growth of Broad Band/Internet and other data and voice services that
are crucially dependent upon International Band Width. The growth in
demand induced by the lower prices being mandated by the Authority
will itself act as demand stimulant leading to higher utilization of
capacities of the operators that would have secondary effects in
pushing down the price levels. The Authority will, therefore, review
the situation with regard to developments in the IPLC segment within a
year.

 

The Authority would shortly issue the Tariff orders revising the
existing ceiling tariff in respect of domestic Leased Circuits
(domestic bandwidth).

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