Chapter 3
Fixed wireless and satellite
3.1
The Fixed Wireless and Satellite Review (the FWS Review) was undertaken
by NBN Co between February and April 2014. A redacted version of the final
report was released publicly on 7 May 2014.[1]
3.2
NBN Co advised that the total cost of the FWS Review, as at 30 June
2014, was $1.576 million.[2]
This included payments to consultants Boston Consulting Group (BCG), who
assisted NBN Co in the preparation of the report.
3.3
Like the Strategic Review, the FWS Review used NBN Co's 2012-15
corporate plan as the basis for its financial and operational comparisons.
Key findings of the Fixed Wireless and Satellite Review
3.4
NBN Co's previous corporate plans took a conservative estimate of NBN
take-up in non-fixed line areas to allow for the potential of competition from
fixed line broadband provided over Telstra’s copper network in the fixed
wireless and satellite footprint.[3]
3.5
However, the FWS Review’s demand projections were more bullish. The
review estimated that by 2021 there would be approximately 1.02 million
premises outside the NBN fixed line footprint, approximately 8 per cent of the
total rollout, an increase on the one million estimated in the 2012 Corporate
Plan.[4]
The Review assessed that take-up of fixed wireless and satellite services by
2021 would be two to three times higher than the 22 to 25 per cent, or 230,000
premises estimated in the Corporate Plan, and that NBN Co should prepare to connect
between 440,000 and 620,000 premises in the non-fixed line footprint.[5]
The FWS Review estimated that while the planned fixed wireless rollout could
accommodate some of this higher demand, some 200,000 premises could not be
served with the currently-forecast infrastructure.
3.6
In relation to satellite, the FWS Review assessed that 'all technology
choices have been made and the technical system is generally well designed' to
meet the NBN's originally specified needs, and that the Long Term Satellite
Service (LTSS) would offer an advanced satellite service by global standards,
while remaining subject to constraints of latency and capacity common to all
satellite services, that needed to be carefully managed.[6]
3.7
The FWS Review identified, however, eight risks of delay in the launch
of the LTSS beyond the project's contingency planning, cumulatively creating a
likelihood that its launch would slip from the planned 2015 timing to sometime
in 2016. The Review recommended 14 specific actions and two timeline changes to
mitigate these risks,[7]
but even with mitigation, believed it most likely that the LTSS would commence
in early 2016.
3.8
The FWS Review explored four possible scenarios for the fixed wireless
and satellite rollout to address the coverage and capacity deficiencies
identified:
-
Scenario 1: an increase in fixed wireless base stations to the number
necessary to provide a wireless service to all premises not covered by the
present fixed line footprint or the two planned satellites;
-
Scenario 2: extending the FTTN footprint where practically and
economically feasible, to reduce the extra demand on the satellite and fixed
wireless rollout;
-
Scenario 3: the construction by NBN Co of a third satellite for
launch in 2020. Not all of the capacity of a third satellite would be needed
for the NBN; NBN Co could then seek to commercialise the spare capacity to
offset costs; or
-
Scenario 4: NBN enters a partnership to access the capacity it
needs on a third satellite through arrangements with a commercial partner,
rather than building and owning the third satellite itself.[8]
3.9
Weighing the costs and benefits of each, the FWS Review concluded that
Scenario 2 was likely to be the best option, considering both financial and
broadband quality issues.[9]
3.10
Implementing scenario 2 would involve an extension of the FTTN footprint
to cover three per cent of the premises presently in the non-fixed line
footprint. Of the remaining premises, fixed wireless would service 57 per cent,
necessitating an increase in the number of fixed wireless base stations from
1400 to 2700. Satellite broadband would cover 40 per cent.
3.11
The FWS Review estimated that with the assumed increase in take-up,
revenue would increase to around $1 billion by 2021, but the fixed wireless and
satellite programs would inevitably continue to be loss-making, with
implementation of Scenario 2 costing $5.2 billion by 2021 ($1.2 billion more
than envisaged in the 2012 corporate plan). The Review advised that these cost
estimates were consistent with those reached for non-fixed line services in the
Strategic Review, and as such, an increase in NBN Co's peak funding
requirements was not anticipated to be required under this approach.[10]
3.12
Scenario 4 was the FWS Review's second-preference option, requiring $200
to $300 million less capital expenditure than Scenario 2, but placing some
70,000 more premises on the satellite service, with trade-offs for broadband
quality given the latency and capacity constraints of satellite. Under this
scenario, satellite would cover 47 per cent of the current non-fixed line
footprint. The Review also estimated that Scenario 4 would take two years
longer to complete than Scenario 2.[11]
3.13
The FWS Review recommended that NBN Co make a decision within six months
about whether to proceed with Scenario 2 or 4. At the time of the report's
public release, NBN Co's Chief Executive Officer, Mr Bill Morrow, indicated
that the company would extend the FTTN rollout, rather than pursuing a third
satellite.[12]
3.14
The FWS Review further observed that the interim satellite service (ISS)
was oversubscribed due to high demand. This was degrading services to end-users
and creating issues for NBN Co in managing satellite capacity.
3.15
The FWS Review recommended six changes to NBN Co's wholesale product
offerings for the LTSS to address this issue.[13]
These included specific capacity allocations and tools to monitor and control
usage. The Review proposed that a standard product be issued based upon current
performance efforts and speed and capacity assessments, possibly offering a
standard 20 gigabytes per month at speeds of 12/1 megabits per second (Mbps),
at a universal national wholesale price comparable with fixed line services,
and with potential upgrade options offered within the fixed capacity of the
satellite beams.[14]
The Review also recommended that a specific product be created to ensure an
appropriate level of service for public interest premises in the satellite
footprint, such as schools.[15]
3.16
The FWS Review also offered some critique and recommendations relating
to NBN Co's corporate management, noting a need to improve decision-making
processes, and communication both internally and with industry partners. Some
suggestions arising from discussions with industry partners were also
canvassed, such as more active pursuit of arrangements between NBN Co and other
providers for sharing wireless towers, to support improved mobile coverage in
rural and regional Australia.[16]
Issues arising from the Review
Wireless and satellite take-up
3.17
The FWS Review explained that there were three factors behind the
200,000 premises shortfall it identified in the non-fixed line footprint:
-
the 'spectrum gap' presently preventing fixed wireless service to
approximately 80,000 premises;
-
experience to date (including in the ISS rollout) indicating
levels of demand likely two to three times higher than projected in the 2012
Corporate Plan; and
-
the existing fixed line footprint having reduced since the
satellite service was designed.[17]
3.18
In relation to expected demand, the FWS Review's forecast was a dramatic
increase on the more conservative estimate of 24 per cent take up (230,000 of
974,000 premises) in the 2012 NBN Co corporate plan,[18]
and a similar projection of 24 per cent of one million premises in the draft
'Version 13' corporate plan prepared in 2013 but not adopted by the NBN Co
Board.[19]
3.19
The FWS Review acknowledged that the premises data it used for its
projections were more up to date than those available for earlier projections,
and showed a steady growth in the number of relevant premises in the non-fixed
line area. However, population growth was not the primary driver of increased
demand:
the number of premises in the non-fixed line footprint is
also driven by potential variations in the boundary of the fixed line
footprint. Since the commencement of the rollout of the fixed line network,
more detailed planning has been completed on an area-by-area basis and more
information about the local conditions is gradually discovered. As a result the
geographic boundaries that define which specific premises receive a fixed line
service as opposed to a non-fixed service (fixed wireless or satellite), may
change due to technical, practical or economic reasons. NBN Co has historically
varied these boundaries substantially, and the net effect of this thus far has
been to add a substantial number of premises into the non-fixed line footprint.
As the detailed planning and construction of the fixed line proceeds, there is a
risk that more premises may be moved into non-fixed line areas without careful
consideration of the consequences, especially on satellite capacity by beam.[20]
3.20
NBN Co advised the committee that:
During the two years since the release of Corporate Plan
2012–15, NBN Co has acquired sufficient data on actual take-up rates for the
Fixed Wireless network and the Interim Satellite Service to provide support for
much higher take-up expectations for both Fixed Wireless and Satellite networks
including real world data from the ISS and the availability of fixed wireless
in many areas. The take-up rates estimated by the Fixed Wireless and Satellite
Review are based on the latest available broadband usage and service take-up
data, including recent information on the decline in numbers of voice-only
premises and on the usage of competing mobile broadband services in regional
and rural areas.[21]
3.21
As noted, NBN Co's previous Corporate Plans took a conservative estimate
of NBN take-up in non-fixed line areas to allow for the potential of
competition from fixed line broadband provided by over Telstra’s copper network
in the fixed wireless and satellite footprint.[22]
3.22
Acknowledging the difficulty and fluidity of satellite demand estimates,
the FWS Review proposed that, in the event take-up did turn out to be lower
than predicted, NBN could use the two satellites to cover a higher number of
premises and reduce rollout costs accordingly by deferring building the
least-economic fixed wireless base stations.[23]
Fixed wireless towers
3.23
In September 2014 Mr Morrow described the NBN fixed wireless rollout as 'a
standout performer', with construction on schedule and 'high end-user
satisfaction'.[24]
3.24
Implementation of the FWS Review would require a significant increase in
the fixed wireless rollout, including in the number of towers to be
constructed. NBN needs more towers than mobile networks do, because fixed
wireless broadband requires line of sight, and on average each tower can only
cover 20 per cent of the area within its 14km radius. For this reason,
placement is also critical and small changes in location can make a significant
difference to coverage.[25]
3.25
Mr Greg Adcock, Chief Operating Officer of NBN Co, advised the committee
that tower placement was a complex issue and could be a challenge:
We look at a number of physical locations because each of
them has its pluses and minuses...with some you can get easy access to power but
you do not get line of sight to your customer base; with others you get line of
sight to your customer base but there is a huge issue in getting power.[26]
3.26
The committee has been made aware of concerns within some communities
about the placement of NBN fixed wireless towers. The committee received
several submissions from residents of the shire of Bridgetown-Greenbushes in
south west Western Australia,[27]
and has also been contacted by telephone and e-mail by residents in other areas,
expressing aesthetic, environmental or health concerns about the placement of
towers in their communities, and criticising NBN Co and its subcontractors for inadequate
community consultation.
3.27
In relation to tower placement, NBN Co advised the committee that:
Every situation is a case-by-case basis. Clearly we uphold
the law and the regulation, and then if there are issues we sit down and try
and consult and engage—try and find solutions. I have been in the industry for
a long time and not everybody is always happy...
We do our very best to make sure that the industry
consultation is appropriate and fulsome and to take on board complaints and
look at alternatives.[28]
3.28
Nevertheless, in general NBN Co's advice to the committee was that fixed
wireless was 'being extremely well received as we roll it out',[29]
and that community complaints about tower placement had declined to a very
small number.[30]
The FWS Review also noted that around 35 per cent of the fixed wireless rollout
involved the co-location of NBN equipment on pre-existing towers built by third
parties such as mobile telephone companies.[31]
The fixed wireless spectrum gap
3.29
On 26 September 2014, Mr Adcock advised the committee that:
I believe the issue we had...around the spectrum in the outer
metro areas is being addressed. We are currently working with the ACMA on
getting a solution to that problem, which will drive the program even harder.[32]
3.30
Following a one-month public consultation process in August-September
2014, in October the Minister for Communications issued a Ministerial Direction
to the Australian Communications and Media Authority (ACMA), the Australian
Communications and Media Authority (3.5 GHz frequency band) Direction 2014.
The government stated that the Direction would enable the NBN to be provided
with the spectrum needed to remedy the 'spectrum gap' in areas surrounding
major cities, and therefore to provide fixed wireless services to the 80,000
premises in those areas. NBN would pay a market rate for the spectrum.[33]
3.31
The Direction requires ACMA to complete all steps necessary by 30 April
2015 to enable the issuance of the relevant spectrum licences to NBN Co.[34]
Satellite rollout and fair use
3.32
NBN Co has consistently advised the committee and the Senate Environment
and Communications Committee that the satellite rollout is in good shape. NBN
Co advised the committee in mid-2014 that an initiative was underway to
implement the review's recommendations on the LTSS deployment.[35]
On 9 February 2015 NBN Co announced the completion of work on its ten satellite
ground stations.
3.33
By late 2014, NBN Co maintained that it was on track to launch the LTSS
in 'late 2015 or early 2016', and that the project remained within its budget.[36]
NBN Co's Integrated Product Roadmap released in January 2015 indicated that the
launch of commercial services over the LTSS would commence in the final quarter
of 2015, with migration of ISS services to the LTSS to proceed during 2016.[37]
3.34
In February 2015 it was reported that the launch of the first NBN
satellite had been delayed by five months to October or November 2015 due to issues
beyond NBN Co's control, relating to a co-passenger on the proposed commercial
launch flight. NBN Co was reportedly investigating 'a range of options' to
avoid or minimise the delay.[38]
The release of commercial services over the LTSS was postponed to 2016 in NBN
Co's 26 February half-yearly results announcement.[39]
3.35
Speaking to a Senate Estimates hearing on 24 February 2015, Mr Morrow
said:
You will have heard about the launch delay of our first
satellite. While all elements that the NBN team are responsible for are on
track, the company that launches our satellites has informed us that our
co-passenger satellite will not be ready in time. It is very common to share
the cost of the launch with other satellites, and these risks are just a par
for the course in the satellite industry. Fortunately, we built in a buffer to
absorb most of the impact to our business plans. We now expect to launch the
first satellite in the fourth quarter of this year, and we still expect to
start offering services in the first half of 2016.[40]
3.36
In addition to preparation for the LTSS launch, NBN Co also advised the
committee in 2014 that it had released additional capacity to the 40,000
current users of the ISS.[41]
3.37
In November 2014 a senior NBN Co representative advised that new fair use
rules had been agreed with RSPs for the ISS, along with new mechanisms to
monitor and enforce them.[42]
It was reported in early 2015 that NBN had released a paper to RSPs, dated 30
January 2015, requiring RSPs that sold ISS access to restrict individuals'
usage to no more than 50 gigabytes of download per four week rolling aggregate,
and limiting average weekly download to 9.7 gigabytes. NBN Co warned that it
would exercise its rights under the Wholesale Broadband Agreement to limit the
service of users exceeding the policy, if necessary.[43]
Committee view
3.38
The committee notes that in February 2012, the former Labor Government
announced that it would build two state of the art broadband satellites to
provide high speed broadband to regional and remote Australia by 2015. The
committee notes that the Liberal National Party opposed these satellites. In
2012, then shadow Communications Minister, the Hon Malcolm Turnbull MP,
condemned the satellite program as a 'Rolls Royce' solution, saying:
There is enough capacity on
private satellites already in orbit or scheduled for launch for the NBN to
deliver broadband to the 200,000 or so premises in remote Australia without
building its own.[44]
3.39
The committee notes the ongoing demand for high quality broadband in
rural and regional Australia, which led to the very high demand for the ISS.
The committee also notes that there is clearly not enough existing private
satellite capacity to serve regional and rural Australia, which explains why
the government has directed NBN Co to introduce data caps on the ISS.
3.40
The committee notes that former management took a conservative view of
demand in the fixed wireless and satellite footprints due to potential fixed
line broadband competition over the copper network in the last seven per cent.
Once again, the committee notes the ongoing demand for high quality broadband
in rural and regional Australia, but notes that the demand projections in the
fixed wireless and satellite footprints are more bullish. The committee
acknowledges that NBN Co had more data on take up in the last seven per cent
than NBN Co had when the initial demand projections were included in NBN Co’s
2011-13 and 2012-15 corporate plans.
3.41
The committee notes that the launch of the first NBN satellite had been
delayed by five months to October or November 2015 due to issues with the
co-passenger on the proposed commercial launch flight with Arianespace. The
committee encourages NBN Co to monitor this issue closely to minimise this
delay.
3.42
The committee's first interim report drew attention to the inclusion of
plans for a third satellite in the government's Strategic Review, without any
explanation for this initiative or the proposed 2021 timing. The committee
recognised the reality of the need for additional bandwidth outside the fixed
line footprint while querying the distortion of the Strategic Review's capital
expenditure assumptions by the arbitrary addition of the costs of a third
satellite.[45]
3.43
The committee observed with concern the comments of the Vertigan Panel
in its market and regulatory review, discussed further in chapter 4, suggesting
that the provision of fixed wireless and satellite broadband in remote and
regional Australia should be reconsidered and universal wholesale pricing
should be axed. The committee considers that the NBN should be available to all
Australians at the same wholesale price, no matter where they live or do
business.
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