Mandatory Unbundling, UNE-P, and the Cost of Equity: Does TELRIC Pricing Increase Risk for Incumbent Local Exchange Carriers?

J. Sidak, Allan T. Ingraham
{"title":"Mandatory Unbundling, UNE-P, and the Cost of Equity: Does TELRIC Pricing Increase Risk for Incumbent Local Exchange Carriers?","authors":"J. Sidak, Allan T. Ingraham","doi":"10.2139/ssrn.374221","DOIUrl":null,"url":null,"abstract":"The Telecommunications Act of 1996 sought to improve competition through facilities-based investment. Thomas Jorde, Gregory Sidak, and David Teece hypothesized in 1999 that mandatory unbundling at TELRIC (total element long-run incremental cost) prices would increase the equity costs of incumbent local exchange carriers (ILECs) and reduce their investment incentives by subjecting them to increased risk during economic recession. In particular, competitive local exchange carriers (CLECs) are more likely to lease unbundled network elements (UNEs) when demand for telecommunications services is weak, because low prices for those services cannot support the high sunk costs of facilities-based investment in the short-term. Alternatively, when demand for telecommunications services is strong, higher prices for those services will afford a CLEC additional revenue to build out its network. Because TELRIC prices are not compensatory in economic terms, ILEC returns will suffer in times of recession and improve during an expansion. We empirically test the Jorde-Sidak-Teece hypothesis. We find that the ILECs' betas increased positively and statistically during the recession that began in March 2001. Consequently, their equity costs rose by between 0.4 percentage points and 4.1 percentage points, which reduced their incentives to invest in their own networks. This result is consistent with the Jorde-Sidak-Teece hypothesis. Recent stock market events also appear consistent with the Jorde-Sidak-Teece hypothesis. On January 6, 2003, a front-page story in the Wall Street Journal speculated that the FCC would revise its rules on mandatory unbundling at TELRIC prices in a manner that would benefit the ILECs. Specifically, the report implied that CLECs would lose the opportunity to lease all network elements as an unbundled network element platform, better known as UNE-P. The report was significant because UNE-P had become an entry strategy for CLECs that rested on regulatory arbitrage: UNE-P is functionally equivalent to resale, yet it is more favorably priced for the CLECs than is resale. The practical effect of ending the pricing arbitrage created by UNE-P would be to force CLECs to pay resale prices or resort to an entire or partial facilities-based business model for providing local telephony. Put differently, UNE-P would not disappear; it would simply be priced by arms-length negotiation between ILECs and CLECs rather than by a regulatory commission. The abnormal returns of telecommunications equipment manufacturers on January 6, 2003 are highly probative of whether mandatory unbundling at TELRIC prices - epitomized in its most extreme form by UNE-P - is thought by the capital markets to increase or decrease investment in the network infrastructure required for local telephony. We find that the positive returns for the telecommunications equipment manufacturers exceeded by approximately 5 percent the return that the market could explain. If mandatory unbundling of network elements at TELRIC prices actually encouraged investment in local telecommunications infrastructure, then the abnormal returns to the telecommunications equipment manufacturers would have been negative on January 6, 2003. Instead, the positive abnormal returns to JDS Uniphase, Lucent, Nortel, and Tellabs reflected an expectation of the capital markets that these firms would have increased net cash flows, which would result from greater (not lesser) sales of telecommunications equipment.","PeriodicalId":11797,"journal":{"name":"ERN: Regulation (IO) (Topic)","volume":"32 1","pages":""},"PeriodicalIF":0.0000,"publicationDate":"2003-02-11","publicationTypes":"Journal Article","fieldsOfStudy":null,"isOpenAccess":false,"openAccessPdf":"","citationCount":"33","resultStr":null,"platform":"Semanticscholar","paperid":null,"PeriodicalName":"ERN: Regulation (IO) (Topic)","FirstCategoryId":"1085","ListUrlMain":"https://doi.org/10.2139/ssrn.374221","RegionNum":0,"RegionCategory":null,"ArticlePicture":[],"TitleCN":null,"AbstractTextCN":null,"PMCID":null,"EPubDate":"","PubModel":"","JCR":"","JCRName":"","Score":null,"Total":0}
引用次数: 33

Abstract

The Telecommunications Act of 1996 sought to improve competition through facilities-based investment. Thomas Jorde, Gregory Sidak, and David Teece hypothesized in 1999 that mandatory unbundling at TELRIC (total element long-run incremental cost) prices would increase the equity costs of incumbent local exchange carriers (ILECs) and reduce their investment incentives by subjecting them to increased risk during economic recession. In particular, competitive local exchange carriers (CLECs) are more likely to lease unbundled network elements (UNEs) when demand for telecommunications services is weak, because low prices for those services cannot support the high sunk costs of facilities-based investment in the short-term. Alternatively, when demand for telecommunications services is strong, higher prices for those services will afford a CLEC additional revenue to build out its network. Because TELRIC prices are not compensatory in economic terms, ILEC returns will suffer in times of recession and improve during an expansion. We empirically test the Jorde-Sidak-Teece hypothesis. We find that the ILECs' betas increased positively and statistically during the recession that began in March 2001. Consequently, their equity costs rose by between 0.4 percentage points and 4.1 percentage points, which reduced their incentives to invest in their own networks. This result is consistent with the Jorde-Sidak-Teece hypothesis. Recent stock market events also appear consistent with the Jorde-Sidak-Teece hypothesis. On January 6, 2003, a front-page story in the Wall Street Journal speculated that the FCC would revise its rules on mandatory unbundling at TELRIC prices in a manner that would benefit the ILECs. Specifically, the report implied that CLECs would lose the opportunity to lease all network elements as an unbundled network element platform, better known as UNE-P. The report was significant because UNE-P had become an entry strategy for CLECs that rested on regulatory arbitrage: UNE-P is functionally equivalent to resale, yet it is more favorably priced for the CLECs than is resale. The practical effect of ending the pricing arbitrage created by UNE-P would be to force CLECs to pay resale prices or resort to an entire or partial facilities-based business model for providing local telephony. Put differently, UNE-P would not disappear; it would simply be priced by arms-length negotiation between ILECs and CLECs rather than by a regulatory commission. The abnormal returns of telecommunications equipment manufacturers on January 6, 2003 are highly probative of whether mandatory unbundling at TELRIC prices - epitomized in its most extreme form by UNE-P - is thought by the capital markets to increase or decrease investment in the network infrastructure required for local telephony. We find that the positive returns for the telecommunications equipment manufacturers exceeded by approximately 5 percent the return that the market could explain. If mandatory unbundling of network elements at TELRIC prices actually encouraged investment in local telecommunications infrastructure, then the abnormal returns to the telecommunications equipment manufacturers would have been negative on January 6, 2003. Instead, the positive abnormal returns to JDS Uniphase, Lucent, Nortel, and Tellabs reflected an expectation of the capital markets that these firms would have increased net cash flows, which would result from greater (not lesser) sales of telecommunications equipment.
查看原文
分享 分享
微信好友 朋友圈 QQ好友 复制链接
本刊更多论文
强制分拆、统一定价和股权成本:TELRIC定价是否会增加现有本地交换运营商的风险?
1996年的《电信法》试图通过以设施为基础的投资来改善竞争。Thomas Jorde、Gregory Sidak和David Teece在1999年假设,以TELRIC(总要素长期增量成本)价格强制分拆将增加现有地方交换运营商(ilec)的股权成本,并通过使其在经济衰退期间面临更高的风险而降低其投资激励。特别是,当对电信服务的需求较弱时,竞争性的地方交换运营商(clec)更有可能租赁非捆绑的网络要素(UNEs),因为这些服务的低价格无法在短期内支持基于设施的投资的高沉没成本。或者,当对电信服务的需求强劲时,这些服务的更高价格将为CLEC提供额外的收入来建设其网络。由于TELRIC价格在经济上不具有补偿性,因此ILEC的回报在经济衰退时期将受到影响,而在经济扩张期间将有所改善。我们对Jorde-Sidak-Teece假设进行了实证检验。我们发现,在2001年3月开始的经济衰退期间,ilec的贝塔系数在统计上呈正增长。因此,它们的股本成本上升了0.4至4.1个百分点,这降低了它们投资于自身网络的动力。这一结果与Jorde-Sidak-Teece假说一致。最近的股市事件似乎也符合Jorde-Sidak-Teece假说。2003年1月6日,《华尔街日报》的一篇头版报道推测,联邦通信委员会将以有利于ilec的方式,修改其在TELRIC价格上强制分拆的规则。具体来说,该报告暗示,clec将失去租赁所有网络元素作为非捆绑网络元素平台的机会,更广为人知的是UNE-P。该报告意义重大,因为UNE-P已成为基于监管套利的clec的进入策略:UNE-P在功能上相当于转售,但对clec来说,它的定价比转售更有利。终止UNE-P造成的定价套利的实际效果将是迫使clc支付转售价格,或采取全部或部分基于设施的商业模式来提供本地电话。换句话说,UNE-P不会消失;它将简单地通过ilec和clec之间的公平谈判来定价,而不是由监管委员会来定价。电信设备制造商在2003年1月6日的异常回报,高度证明了资本市场认为,以TELRIC价格强制分拆——以UNE-P为最极端形式的缩影——是否会增加或减少对本地电话所需的网络基础设施的投资。我们发现电信设备制造商的正回报超过了市场可以解释的大约5%的回报。如果按TELRIC价格强制拆分网络要素实际上鼓励了对本地电信基础设施的投资,那么电信设备制造商的异常回报在2003年1月6日应该是负的。相反,JDS Uniphase、朗讯、北电和Tellabs的正异常回报反映了资本市场的预期,即这些公司将增加净现金流,这将导致电信设备销售的增加(而不是减少)。
本文章由计算机程序翻译,如有差异,请以英文原文为准。
求助全文
约1分钟内获得全文 去求助
来源期刊
自引率
0.00%
发文量
0
期刊最新文献
Sound GUPPI Safe Harbor: A Calibrated Unilateral Effects Screen for Horizontal Mergers with Differentiated Products Consolidation on Aisle Five: Effects of Mergers in Consumer Packaged Goods Optimal Exit Policy with Uncertain Demand Friends in High Places: Demand Spillovers and Competition on Digital Platforms The Ambiguous Competitive Effects of Passive Partial Forward Integration
×
引用
GB/T 7714-2015
复制
MLA
复制
APA
复制
导出至
BibTeX EndNote RefMan NoteFirst NoteExpress
×
×
提示
您的信息不完整,为了账户安全,请先补充。
现在去补充
×
提示
您因"违规操作"
具体请查看互助需知
我知道了
×
提示
现在去查看 取消
×
提示
确定
0
微信
客服QQ
Book学术公众号 扫码关注我们
反馈
×
意见反馈
请填写您的意见或建议
请填写您的手机或邮箱
已复制链接
已复制链接
快去分享给好友吧!
我知道了
×
扫码分享
扫码分享
Book学术官方微信
Book学术文献互助
Book学术文献互助群
群 号:481959085
Book学术
文献互助 智能选刊 最新文献 互助须知 联系我们:info@booksci.cn
Book学术提供免费学术资源搜索服务,方便国内外学者检索中英文文献。致力于提供最便捷和优质的服务体验。
Copyright © 2023 Book学术 All rights reserved.
ghs 京公网安备 11010802042870号 京ICP备2023020795号-1