Friday, April 25, 2014

Google Aiming at Municipal Wi-Fi Again?

Google's direct revenue model scales almost in linear fashion with the number of people using the Internet, in large part because Google apps represent such a huge share of user engagement time with Internet apps.



That is why Google now appears to be considering deploying Wi-Fi networks in towns and cities served by Google Fiber. The new Google Wi-Fi effort obviously would leverage infrastructure assets Google Fiber has created. 



In fact, about 60 percent  of all Internet end devices and users exchange traffic with Google servers during the course of an average day, according to Deepfield.


That finding is based on all traffic from computers, mobile devices, game consoles, home media appliances and other embedded devices. Google’s device share is much larger if traffic  from computers and mobile devices, and not the other devices, is considered.


Google analytics, hosting, and advertising play some type of role in over half of all large web services or sites, according to Deepfield.


Since 2010, in fact, Google represented just six percent  of Internet traffic. In 2013, Google accounted for nearly 25 percent of Internet traffic on average.


Only Netflix represents a larger share of total bandwidth, but Netflix peaks last only for a few hours each evening during prime time hours and during Netflix cache update periods in the early morning.


The point is that Google revenue grows as the base of Internet users grows.



Those facts explain why Google Fiber exists, why Project Loon exists, why Google owns assets in the solar powered drone business, why Google has experimented with municipal Wi-Fi, is the new provider of Wi-Fi for Starbucks in the United States, created Android and Nexus.




Ubiquity of Internet access also is why Google has invested in spectrum or firms owning spectrum, for the purpose of providing Internet access. 


Thursday, April 24, 2014

What Will New Network Neutrality Rules Bring?

No blocking of lawful content has been U.S. Federal Communications Commission policy since 2005, and a policy guide since 2004. Transparency likewise has been policy since 2005.

In 2010, the FCC added new network neutrality rules that eventually were struck down in the courts, largely because the court ruled the Commission did not have authority to issue the rules, which essentially mandated that nothing but “best effort” Internet access could be provided by any fixed network Internet service provider.

Though much hinges on the details, FCC Chairman Tom Wheeler argues that the original principles still will be reflected in the new proposed rules. As always before since 2004, the new rules will specify that no lawful content can be blocked and that ISPs must act transparently in making information about terms and conditions of service, as well as network management policies, available to subscribers.

The new arguably new interpretation to the original rules is that “ISPs may not act in a commercially unreasonable manner” by favoring their own applications and services. In the past, that notion has more strictly insisted on “best effort only” delivery of all Internet traffic.

You can make your own judgments about whether the new proposed rules simply affirm the older rules, or in fact actually change them.

Opponents of the proposed rules will argue that the FCC’s new network neutrality rules actually change the concept dramatically, allowing ISPs to negotiate with app providers for quality of service guarantees that were prohibited before.

The new rules presumably will establish both a baseline for best effort Internet traffic, as well as allowing for voluntary commercial agreements with content and app providers to provide quality of service mechanisms like those provided on the backbone of the network by content delivery networks such as Akamai.

In that one sense, the new network neutrality rules actually can be viewed as changing the key provision of the older network neutrality rules, namely that all packets would receive “best effort only” delivery.

The new rules presumably will allow managed services--content delivery networks to the end user location--so long as all applications can purchase such features on the same terms as any apps owned by the ISP itself.

So, oddly enough, though many considered network neutrality dead when the courts struck down the original rules, a resurrected network neutrality regime--though keeping the name--arguably implements just the policies the original framework aimed to implement.

Predictably, original net neutrality supporters will not like the change, while ISPs will be relieved.

Perhaps the way now is cleared for creation of any number of managed services that ensure the quality of video streaming and voice services using Internet delivery.

Apple, a user of content delivery services itself, wants just that from Comcast, for example.

We'll have to wait for issuance of the proposed rules to find out for sure. But it sure sounds as though a major change is coming.


What Impact on AT&T or Verizon from Marketing War?

Verizon, AT&T net mobile adds
Has the U.S. mobile marketing war finally begun to show in Verizon and AT&T financial performance? Not so much, at least not yet.

Operating results seem to be showing some pressure, but it is hard to distinguish background market maturation trends from the specific impact of T-Mobile US attacks.


AT&T first-quarter 2014 consolidated revenues of $32.5 billion represented growth of 3.6 percent. 

Verizon total operating revenues in first-quarter 2014 were $30.8 billion, a 4.8 percent increase compared with first-quarter 2013 and the company’s highest quarterly growth rate in the past five quarters.


The mobile segments of AT&T and Verizon face market maturity, of course, so slowing growth rates would not be unexpected. The issue is whether higher levels of competition are affecting mobile segment gross revenue, profit margins or subscriber gains.


Total Verizon mobile segment revenues were $20.9 billion in first-quarter 2014, up 6.9 percent year over year. AT&T reported seven percent mobile segment revenue growth.


Clearly, at the top line, it is hard to see any clear negative impact from higher levels of competition.


But there is a significant nuance in terms of mobile segment revenue sources. Verizon mobile service revenues in the quarter totaled $18 billion, up 7.5 percent year over year.


Retail service revenues grew 6.7 percent year over year, to $17.2 billion. That means device revenue was less than $3 billion of quarterly mobile segment revenue.


At AT&T, mobile service revenue grew service revenues grew about 2.2 percent, compared to four percent, in the same quarter a year ago.


In other words, Verizon is growing mobile service revenue about 4.5 percentage points more than AT&T is growing its own service revenue.


Verizon retail postpaid average revenue per account increased 6.3 percent over first-quarter 2013, to $159.67 per month.


On the other hand, mounting price competition seems to be hitting Verizon mobile profit margins.


In first-quarter 2014, Verizon mobile operating income margin was 35 percent and segment EBITDA margin on service revenues was 52.1 percent, compared with 32.9 percent and 50.4 percent, respectively, in first-quarter 2013.


In other words, Verizon profit margins dropped, year over year.


AT&T added many more net mobile subscribers than did Verizon in the first quarter, though. AT&T net additions increased by 1,062,000 in the quarter, led by 625,000 postpaid net adds and 693,000 connected device net adds, the strongest postpaid
growth in five years.


Verizon Wireless added 549,000 retail net connections, including 539,000 retail postpaid net connections, in the first quarter.


Those figures are significant because Verizon started to pull away from AT&T in the key net postpaid additions category about the fourth quarter of 2010.


And it appears that virtually all of Verizon’s first quarter net subscriber gains came from tablets, not phones.

Verizon added a net 539,000 retail postpaid connections, down from 720,000 net additions a year ago.

But Verizon signed up 634,000 net new tablet connections. In other words, Verizon lost net phone customers, though growing on the strength of tablet connections.

AT&T clearly is benefitting from tablet net additions as well.

Even after T-Mobile US reports its own quarterly earnings, we might not have a clear picture of what the marketing war is doing, both financially and operationally, in part because tablets now are fueling so much of the net subscriber growth at AT&T and T-Mobile US, in particular.

But the long term picture might not be so different from a scenario where T-Mobile US had not kicked off a marketing battle, Strategy Analytics has argued.

In fact, Strategy Analytics think the U.S. mobile market will remain stable through 2018, with little change in market share.

Among the top four carriers, Verizon Wireless stays on top and T-Mobile on the bottom, while only Sprint gains more than a percentage point in share, Strategy Analytics forecasts.




Wednesday, April 23, 2014

Global Internet Access Speeds Grow; Mobile Use Might be the Bigger Trend

World Internet Usage _Lg
source: zeroseven.com
Global average Internet connection speeds continued to improve in the fourth quarter of 2013, with a quarterly increase of 5.5 percent, reaching 3.8 Mbps, on average, according to the Akamai Technologies Fourth Quarter, 2013 State of the Internet report.

In the fourth quarter of 2013, average connection speeds on surveyed mobile network providers ranged from a high of 8.9 Mbps down to a low of 0.6 Mbps, Akamai says.

Average peak connection speeds above 100 Mbps were observed at several providers, while 3.1 Mbps was the slowest seen.

But it is the growth of mobile Internet adoption, more than the raw speed increases, that are most notable.

Based on traffic data collected by Ericsson, the volume of mobile data traffic increased by 70 percent from the fourth quarter of 2012 to the fourth quarter of 2013, and grew approximately 15 percent between the third and fourth quarters of 2013.

As always, “average” means little. Despite the improvement, half of the countries or regions listed among the top 10 in global average connection speeds actually saw small declines quarter over quarter.

Also, despite a 1.1 percent decline in average connection speed, South Korea held the top spot from quarter to quarter, reporting the highest average connection speed of 21.9 Mbps.

United States access speeds increased, on average, about two percent, leading to an overall average Internet access speed of 10 Mbps.

Overall, 133 countries or regions ended the year with higher average connection speeds than the year before, contributing to a speed increase of 27 percent  from the end of 2012.

Global average peak connection speeds recovered from a small decline in the third quarter of 2013 with improvement of 30 percent to 23.2 Mbps in the fourth quarter.

About 138 qualifying countries or regions, and all of the top 10, saw higher average peak connection speeds than in the third quarter.

Year over year, global average peak connection speeds increased 38 percent compared to the fourth quarter of 2012.

Quarter-over-quarter, the global broadband adoption rate grew 4.3 percent, with 55 percent of all connections to Akamai taking place at speeds of 4 Mbps or above.

600-MHz Spectrum Set Aside Would Imperil the Whole Auction, Study Suggests

After studying data from the 2006 AWS-1 spectrum auction, researchers at the Phoenix Center for Advanced Legal & Economic Public Policy Studies conclude that Federal Communications Commission plans to restrict bidding by AT&T and Verizon, to ensure that small service providers get a significant portion of the awarded spectrum, might imperil the whole auction process.

The reason is the complicated structuring of the two auctions needed to clear former broadcast TV spectrum, and then to auction that spectrum to mobile service providers. One important facet of the auction process is that unless license holders agree to sell their spectrum, there will be no spectrum to auction for mobile service providers.

In other words, the FCC must first convince broadcasters to part with their spectrum, either going out of business, sharing spectrum with other broadcasters or moving to different frequencies. And the surest way to entice license holders to give up their spectrum is to promise high payments for the spectrum.

Restrictive bidding rules might conflict directly with that requirement, the study argues.

In a new study, Will Bidder Exclusion Rules Lead to Higher Auction Revenue? A Review of the Evidence, Phoenix Center for Advanced Legal & Economic Public Policy Studies scholars analyzed data from the 2006 AWS-1 spectrum auction and found that AT&T alone accounted for nearly half of all auction proceeds, even though its winning bids were only about 10 percent of the total.

AT&T and Verizon, directly and indirectly, were responsible for about 70 percent of total auction revenues.

AT&T's efforts--whether it won or not--added a 21 percent premium to final auction prices above and beyond the revenue effects of the typical bidder, the study says.

Verizon's impact was consistent with that of the average bidder, though. In other words, the bidding activity of one buyer--AT&T--drove most of the auction proceeds.

The Phoenix Center study “finds no evidence that AT&T and Verizon reduced the number of bidders for licenses and no evidence to support the claim that lower revenues resulted from these two firms participating in the auction.”

Given these results, the Phoenix Center's study contradicts almost every key aspect of the arguments for restricting the participation of large carriers from the upcoming voluntary incentive auction -- not only did AT&T's and Verizon's participation not deter smaller firms from entering the auction, but AT&T's participation substantially raised total auction proceeds above and beyond the effect of a typical bidder.

Empirical evidence supporting bidder exclusions or restrictions in the forthcoming voluntary incentive spectrum auctions therefore remains weak.

"In order for the voluntary incentive auction to be a success, the FCC must structure its rules to maximize revenue in order to incent broadcasters to participate, pay for FirstNet, and to provide significant funds to help pay off our national debt," said study co-author Phoenix Center President Lawrence J. Spiwak. "Restricting the participation of bidders who provided the lion's share of total auction proceeds in the AWS-1 auction would appear to be counterproductive towards achieving these goals."

Tuesday, April 22, 2014

Gigabit Access Also Disrupts an ISP's Other Lower-Speed Offers

AT&T says it now is looking at building gigabit networks in up to 100 cities and towns nationwide, including 21 new major metropolitan areas.

The list of 21 candidate metropolitan areas includes Atlanta, Augusta, Charlotte, Chicago, Cleveland, Fort Worth, Fort Lauderdale, Greensboro, Houston, Jacksonville, Kansas City, Los Angeles, Miami, Nashville, Oakland, Orlando, San Antonio, San Diego, St. Louis, San Francisco, and San Jose.

AT&T now has committed to or is exploring 25 metro areas for gigabit networks , including the networks AT&T is building in Austin and Dallas, and the likely networks in Raleigh-Durham and Winston-Salem, N.C.

AT&T faces both strategic and tactic issues as it weighs what essentially are gigabit “spot upgrades.”

At a strategic level, AT&T has to avoid finding itself relegated essentially to the third choice in many markets, behind Google Fiber and a cable operator, as a desired provider of high speed access.

Up to a point, AT&T might also want to discourage Google Fiber building in its fixed network service footprint, and instead encourage Google Fiber to attack elsewhere.

But there are plenty of tactical issues as well. Keep in mind that for about the past year, AT&T has been touting its “Project VIP” upgrade program, promising many households access at 45 Mbps.

Now “U-verse with GigaPower” becomes the “headline offer,” with likely implications for the way AT&T packages all slower-speed offers as well. So far, AT&T has suggested it will price gigabit access at $70 a month if consumers allow AT&T to harvest usage data, and $80 a month otherwise.

But that, like Google Fiber, is going to create new consumer expectations, namely that a gigabit service “should” cost about $70 to $80 a month. On a cost per Mbps basis, that has implications for the pricing of the U-Verse VIP service at 45 Mbps, for example.

At $70 a month, the implied price of 1 Mbps of speed is about seven cents. So the implied price of a 10-Mbps service would be 70 cents a month. A 45-Mbps service “should” cost about $3.15 a month.

And that illustrates a range of tactical issues AT&T will face if its GigaPower offer is offered more widely, namely the impact of the offer on all other AT&T high speed access offers. As consumers reset their expectations, ISPs including AT&T will face excruciating challenges adjusting their rate cards.

To be sure, gigabit offers also will create incentives for users to upgrade to gigabit speeds. But it will be quite a complex undertaking to adjust all access efforts to account for gigabit value-price offers.

Monday, April 21, 2014

Aereo Case is early 21st Century Equivalent of Betamax Decision

Aereo, and the broadcast TV networks and their local affiliates, will have a key U.S. Supreme Court hearing on April 22, 2014, when broadcasters challenge the legality of Aereo's “subscription broadcast TV online” service.

It would not be inappropriate to argue that the outcome of the case will reshape "broadcast TV" as much as the Betamax decision reshaped video entertainment in the 1980s, when broadcasters argued that use of a VCR was similarly illegal.


ABC, CBS, NBC and other major broadcasters allege that Aereo is no different from cable and satellite firms that “retransmit” broadcast TV content, and therefore must pay the same sorts of fees as video entertainment distributors.


Aereo argues it is simply providing an over the air antenna on behalf of its customers, who stream the signals over the Internet.


Aereo might lose, and discover its business model is untenable. Aereo might be deemed lawful, undoubtedly leading broadcasters to try and get the U.S. Congress to pass a new law making Aereo unlawful.


Ultimately, if the Supreme Court decides in favor of Aereo, and the Congress declines to make such services unlawful, all sorts of new business models might emerge. Broadcast networks might decide to create their own version of Aereo. Telcos and cable companies might do the same. One or more broadcasters might try to buy Aereo.


In virtually all of those scenarios, local TV broadcast affiliates probably lose, as distribution would then bypass them. In other words, many local TV stations, which are distribution networks for video entertainment, might find it difficult to impossible to exist, after most video entertainment has shifted from linear to on-demand and Internet-delivered modes.


The value of a local TV station arguably lies in the network programs supplied to it by the national TV networks. If those networks shift to on-demand delivery, what role remains for a local broadcaster?


Though national TV networks have a huge stake in the outcome of the case, local broadcasters face an existential crisis.


Already, local TV broadcasters face a long-term structural decline, as viewership and advertising revenues drop, even if not so dramatically, yet.


New sources of revenue, especially “retransmission consent” revenue (payments to broadcasters by video service providers for the right to retransmit their signals) has provided an offset to advertising dips.


In 2012 BIA/Kelsey estimates that retransmission consent contributed an average 6.5 percent of total local television stations revenues.


Such payments are expected to grow to 9.5 percent by 2017. Video distributors now pay at least $3.3 billion in retransmission fees to local broadcasters. That might go away, should Aereo be deemed lawful.


The national broadcast networks have threatened to abandon over the air broadcasting and  become the equivalent of “cable networks.” Already, though there are about 117 million U.S. homes theoretically able to receive local over the air signals, about 102 million U.S. homes get those signals from a video distributor.


Loss of network programming likely would doom most local TV broadcasters, eventually.

There would be other ripples. If broadcasters abandoned their spectrum, would it be repurposed for mobile and other services?

http://www.biakelsey.com/Company/Press-Releases/130409-BIAKelsey-Sees-Trend-of-Local-Television-Stations-Reaping-Increased-Revenues-from-Retransmission-Fees.asp


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