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BoR (11) 06b BEREC report NGA Country Cases - IRG

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<strong>BoR</strong> (<strong>11</strong>) <strong>06b</strong><br />

d) Current regulatory obligations (available since ..., also mention remedies still under<br />

discussion):<br />

� transparency obligation e.g. requirements to provide information on the planned<br />

<strong>NGA</strong> network topology, according to Art. 5 FD, see also Art. 4 Draft <strong>NGA</strong><br />

Recommendation;<br />

� availability of reference offer; time period to establish a Reference Offers (see Draft<br />

<strong>NGA</strong> Recommendation Art. 15);<br />

� non-discrimination obligations (e.g. provisions restricting launch of retail product<br />

until wholesale product is available, see Draft <strong>NGA</strong> Recommendation Art. 32);<br />

� access obligations (different types of mandated products? Details of product<br />

variants)<br />

e) Costing (e.g. LRIC, CCA, costs determined based on cost model; cost allocation issues,<br />

cost of capital (specific to <strong>NGA</strong>, see ERG (09) 17 Ch. D.3.2 and Annex of the Draft <strong>NGA</strong><br />

Rec.)<br />

f) Pricing (e.g. long-term pricing models such as upfront payments, volume discounts;<br />

price-cap; measures to ensure consistency of remedies in Markets 4 and 5) (see Art. 5<br />

Draft <strong>NGA</strong> Rec.)<br />

g) Mention any other relevant SMP regulatory measure<br />

2.1 Duct Access<br />

a) The final decision for Market 4 was published in May 2010. No specific <strong>NGA</strong> remedies<br />

were mandated though general principals were adopted. Fibre was included in the<br />

WPNIA (Wholesale Physical Network Infrastructure Access) market definition and the<br />

general principle of “reasonable request” was reaffirmed.<br />

b) No specific product definition for Duct Access published by Eircom.<br />

c) N/a.<br />

d) Current <strong>NGA</strong> regulatory obligation in Market 4 –General principles, please refer to<br />

Appendix 5.<br />

e) Costings: N.a., will be subject of future consultation.<br />

f) Pricing: N.a., will be subject of future consultation.<br />

g) N/a.<br />

136

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