<..could soon land either back in a line position in ART..> interesting thought, though i'd be surprised.
been heavily occupied elsewhere since last week, so didn't get to post all the research comments on last week's FCC CLEC ruling. here's jack's as a representative of the issues (i saw about 10 of them), for the thread:
FCC Rules As Expected Analyst: Jack B. Grubman Salomon Smith Barney Wednesday, September 15, 1999 Release Date: 09/15/99 SB Industry: Telecommunications Services Sector: Media/Telecom Associated Ticker(s): AIT, BEL, BLS, SBC, USW, GTE, ALGX, ICGX, ICIX, MCLD, NXLK, RCNC, TGNT, WCII, HYPT, FCOM, CLEC, RTHM
--SUMMARY:----Telecommunications Services *We view today's FCC decision as basically a non-event since the decision was "as expected". *The decision states that the Bells will not be forced to resell DSL lines at a discount which is a positive for RTHM and other facilities-based DSL providers including traditional clecs such as ALGX, FCOM, HYPT, NXLK, MCLD, ICGX, & ICIX. FYI, the Bells continue to be required to condition loops for DSL providers. *In addition, Bells have to resell at a discount most of the network elements but not switches if there is enough competitors' switches available and not directory and operator services. *Since transport continues to be required for discounted resale, the ruling could be perceived as slightly negative for the Bells and slightly positive for the CLECs. *Bells must continue to meet section 271 of the Telecom Act of 1996 standards for entry into long distance. --OPINION:------------------------------------------------------------------ The FCC today rendered its decision regarding leasing of network elements which came in as expected and in-line with what we detailed in our 24 page report on February 12, 1999 titled, "Supreme Court Upholds FCC Jurisdiction on Telecom Act". This decision is in-line with what the ALTs (Alternative Local Telecom providers) organization was looking for. ALTs is a pro-competition organization made up generally of CLECs with Royce Holland from Allegiance Telecom as chairman. We believe the FCC continues to be logical and consistent with the spirit of the Telecom Act of 1996 in its rulings. In fact, the FCC is only letting the Bells "off the hook" in terms providing access to services to CLECs when there is enough competition in the marketplace to dictate this action. In summary as we detail later in this note, the Bells will continue to be forced to resell at a discount 6 out of the 7 network elements (loops, network interface devices, local circuit switching (except for larger customers in major urban markets), dedicated and shared transport, signaling and call-related databases and operations support systems) but not directory and operator services. Specifically on the switching requirements, the FCC concluded in light of competitive deployment of switches in the major urban areas, that, the Bells do not have to provide access to unbundled local circuit switching for customers with four or more lines that are located in the densest parts of the top 50 Metropolitan Statistical Areas (MSAs). In terms of directory and o perator services this service is highly competitive with many available option for CLECs. We believe that transport in major urban markets was also a question mark in some minds and since transport was not granted an exception for discounted resale in highly competitive areas, this ruling could be perceived as slightly negative for the Bells and slightly positive for the CLECs. In addition, there are some new elements the FCC now requires which were not on the original list of 7. Specifically, the Bells must provide unbundled access to subloops, or portions of loops, and dark fiber optic
loops and transport. Both new elements expand the CLEC addressable market under partial facilities-based or hybrid service offerings. Furthermore, the decision states that the Bells will not be forced to resell DSL lines or packet switches at a discount which is positive for facilties-based providers. This part of the ruling makes sense since the FCC wants to continue to promote the buildout by competitors of DSLAM equipment and packet-switching technology as the rapid deployment of these services will benefit end-users. The Bells continue to be required to condition loops for DSL providers. This is a positive for RTHM and other facilities-based DSL providers including traditional clecs such as ALGX, FCOM, HYPT, NXLK, ICGX, ICIX, and MCLD since new competitors must also be facilities-based. As such, we believe this ruling raises the value of the DSL networks. For the Bells this decision should be viewed as neutral to slightly negative. Bells which are aggressively trying to enter long distance (which is really all the Bell companies but we believe that in particular Bell Atlantic in NY and SBC in Texas are getting close) will continue to have to provide all 7 network elements at wholesale or discounted rates under the Telecom Act since the Bells must continue to meet section 271 standards for entry into long distance. For the CLECs, this decision is a positive because it reaffirms the fact that they will continue to have access to Bell network elements. In addition, all the CLECs we follow own their own switches so therefore access to switching elements is irrelevant to them. Most if not all of the CLECs we follow outsource directory assistance and operator services to other smaller providers and bid out this service generally away from the Bells anyway. For pure-play DSL carriers such as Rhythms Netconnections, we view this decision is a huge positive as it increases the barrier to entry for competitors interested in providing DSL. SUMMARY OF REQUIRED ELEMENTS The FCC's reaffirmed that the incumbent LECs must provide access to 6 of the original 7 network elements that were required by the original order in 1996: 1) LOOPS. ILECs must offer unbundled access to loops including high-capacity lines, xDSL-capable loops, dark fiber, and inside wire owned by the ILEC. ILECs must also provide unbundled access to subloops or portions of the loop at any accessible point. 2) NETWORK INTERFACE DEVICES (NIDs). ILECs must offer unbundled access to NIDs throughout their service territory. The NID is a device used to connect loop facilities to inside wiring. 3) LOCAL CIRCUIT SWITCHING. ILECs must offer unbundled access to local circuit switching except for switching used to serve end users with four or more lines in the densest areas in the top 50 MSAs. 4) DEDICATED AND SHARED TRANSPORT. ILECs must unbundle dedicated interoffice transmission facilities, or transport, including dark fiber. ILECs must also unbundle shared transport (or interoffice transmission facilities that are shared by more than one carrier, including the incumbent) where unbundled local switching is provided. 5) SIGNALING AND CALL-RELATED DATABASES. ILECs must unbundle signaling links and signaling transfer points in conjunction with unbundled switching and on a stand-alone basis. ILECs must also offer unbundled access to call-related data bases including Line Information database, Toll Free Calling data base, Number Portability database, Operator Services/Directory Assistance databases, Advanced Intelligent Network databases and the AIN platform and architecture. 6) OPERATIONS SUPPORT SYSTEMS (OSS). ILECs must unbundle OSS throughout their service territory. OSS consists of pre-ordering, ordering, provisioning, maintenance and repair, and billing functions supported by an ILECs databases and information. The OSS element includes access to all loop qualification information contained in any of the ILEC's databases or other records needed for the provision of advanced services. The FCC declined to require the ILECs to unbundle facilities to provide high speed Internet access and other data services including DSLAMs. In addition, the Commission required the ILECs to provide unbundled access to subloops, or portions of loops, and dark fiber optic loops and transport which were not on the original list of unbundled network elements. The Commission expects to re-examine the national list of unbundled network elements in 3 years. State commissions may require ILECs to unbundle additional elements as long as the obligations are consistent with the requirements of section 251 and the national policy framework of this Order. Furthermore, ILECs are required to provide access to combinations of loop, multiplexing/concentrating equipment and dedicated transport if they are currently combined. NET/NET: The FCC continues to rule in favor of local competition and logically in terms of the rules of the game. We continue to believe that the FCC will continue to act with the consumers best interest at heart which includes providing rules which encourage the deployment of CLEC facilities since competition lowers prices and enables enhanced services. As such, we reiterate our Buy ratings on the CLECs we follow, Allegiance Telecom, Focal Communications, Hyperion, ICG, Intermedia Communications, McLeodUSA, NEXTLINK, RCN, Teligent, US LEC, WinStar and Rhythms. We view today's ruling as generally in-line with expectations.
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also, there were about a dozen reports out this week on GSTX and ICGX, i don't own, but if anyone has interest - email me at rencap@home.com. |