Thank you, Mr. Chairman and members of the committee.
I have with me Jonathan Daniels, who is vice-president, regulatory law, at BCE.
Thank you for this opportunity to present our views in person on the issue of wholesale usage-based billing. We will use this time to help set the record straight by starting with a few key points of clarification.
First, Bell has applied usage-based billing for retail Internet services we offer in our competitive footprint since December 2006. But in doing so, we make sure our customers have a wide range of options available to them, each with generous amounts of usage to ensure a high-quality Internet experience.
Now, the suggestion made by some that usage-based billing makes Internet unaffordable is plainly wrong. With Bell, customers can purchase blocks of Internet time that provide three times the average monthly usage for only $5. A block of Internet time that provides eight times the average usage can be purchased for $15. With that, a customer can watch nearly 600 hours of additional online video each month. That's over and above the hundreds of hours of online time included as part of our monthly plans.
We also have award-winning tools in place to help all of our customers avoid unwanted usage and ensure their Internet experience is what they want it to be.
The second point of clarification is that the CRTC decision that has prompted current debate over usage-based billing is only about a very small subset of the wholesale marketplace and therefore affects only about 1% of Canadian Internet subscribers.
With respect to another general misunderstanding, I also want to point out that the CRTC decision does not impact Internet services for businesses, large or small.
What is at issue and what we do not believe has been fully addressed as part of your meetings thus far are several fundamental questions related to fairness.
From a billing perspective, we believe there should be no discrimination between retail and wholesale customers. All customers should be treated in the same way, and usage-based billing is the fair way to price Internet use. Simply put, the heaviest users should pay more than those who use less.
Fairness is also a factor when we consider the fact that for over 10 years, the CRTC has authorized cable companies to apply usage-based billing to the wholesale providers who use their facilities.
All that Bell is asking from the CRTC—and we believe that this should be clear to everyone—is an opportunity to set, on the same basis as the cable companies—who are our biggest competitors—the prices billed to the wholesale Internet service providers who share the network with Bell's retail Internet clients.
Unfortunately, these issues are still receiving very little attention. Instead, people are concentrating on a certain number of myths.
Among these myths, there is the idea that usage-based billing will stifle growth, which is absolutely false. You have only to study the retail Internet market in Canada to see that growth is going on unabated. Even in the wholesale market, where certain cable companies apply usage-based billing, nothing has indicated any slowdown in growth.
Also inaccurate are suggestions that wholesale usage-based billing prevents wholesale ISPs from differentiating their products from our own. Despite our major network investments--$3 billion between 2006 and 2010 to deliver additional Internet capacity and faster speeds--wholesale ISPs continue to receive significant regulated discounts on the prices they pay to use our network facilities.
These discounts give wholesale ISPs a 50% to 60% reduction relative to our own retail offers, providing them with the flexibility to tailor their own services and pricing packages as they see fit. We must remember that the CRTC decision in question authorizes Bell to charge a third party wholesale ISPs on a usage basis.
But the CRTC decision does not require these ISPs to charge their own customers on a usage basis, even though, as you have learned from others who have appeared before you, some wholesale ISPs already applied usage-based billing well before Bell had the ability to charge them on this basis. This should not come as a surprise. It's consistent with an approach previously supported by OpenMedia.ca, the organization running the current “stop the meter” campaign.
In February 2009 OpenMedia.ca, then known as the Campaign for Democratic Media, voiced its support to the CRTC for usage-based billing as an appropriate means to address traffic congestion.
In fact, Mr. Wallace, you asked the previous panel why their views hadn't been heard by the CRTC. They have been heard by the CRTC.
What is true, however, is that the average wholesale ISP customer uses twice the bandwidth of our own Bell retail Internet customers while using the same network. These heavy users, on the same network as our users, clearly affect everyone's Internet experience.
I want to be clear here. The third-party ISPs do not buy a pipe from us for their own channel, or their own channel from us. Their customers' traffic travels over the same network as our customers' traffic. This leaves us in a serious bind with the wholesale ISPs' heaviest users, representing only a minuscule fraction of Internet customers in Canada consuming absolutely the most bandwidth and at no additional charge.
Mr. Chairman, members of the committee, the disparity is striking. We must ask this. At what point should the vast majority of Internet customers stop subsidizing the activities of a relative few?
We urge you to take fairness in terms of pricing and regulatory symmetry with the cable companies into account as this process moves forward.
Thank you.