-- Nationwide, just 11.84% of residential customers have switched to
wireless only. In the West, where Qwest seeks forbearance in three markets,
only 9.54% of customers are wireless-only. Slightly more, 12.35%, have
"cut the cord" in Minneapolis.
-- Even these low numbers are skewed upwards by reliance on data for
population groups that may have never had a wireline service to "cut" in
the first place. Nearly one-third (27.9%) of wireless-only customers are
college-age adults with unique purchasing patterns and behavioral choices
that do not represent the adult population as a whole.
"Citing wireless substitution as evidence of competition is the Baby Bells'
latest ploy to end run the pro-competitive pricing rules of the Telecom
Act," said Heather B. Gold, senior vice president of external affairs for
XO Communications. "Qwest is blowing smoke, but no reliable economist can
find the fire."
"Every forbearance proceeding is a serious issue that determines the fate
of competition and consumer choice in a market," said Russell C. Merbeth,
federal counsel for Integra Telecom. "Qwest's reliance on data using
non-representative population groups is frivolous, and demonstrates the
weakness of its petitions."
The Gillan study notes that the Commission recently denied that wireless
service is a substitute for traditional wireline service, and concludes
that if the Commission considers residential wireless data to estimate
competitive market share in a forbearance proceeding, the estimate of
wireless-only subscribers must meet four criteria:
-- Neutral Source: The estimate should be developed from the best-
available data gathered by a neutral party. In the absence of a broader
study by the Commission, data from the semi-annual National Health
Interview Survey released by the Centers for Disease Control (CDC) may best
satisfy this criterion.
-- Regional Variation: In the absence of individual market-specific data,
the estimate should at the very least reflect regional differences in
wireless acceptance
-- Accuracy with "Confidence": The CDC Survey employs a sample average to
estimate population, and a second measure called "confidence intervals"
which encompass the range of values within which the actual mean is likely
to reside. By relying on the lower bound of this interval estimate, the
FCC will avoid potentially adopting an inflated estimate of the actual
number of wireless-only subscribers.
-- Elimination of Non-Representative Groups: The estimate should exclude
identifiable groups such as college-age respondents that exhibit wireless
preferences that are not representative of the population as a whole.
Contact Information: Contact: Jim Crawford Crawford Public Relations T: 703-753-4480 M: 703-498-7315