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Network Management: Maintaining Flexibility to Promote Investment and Innovation

Network Management: Maintaining Flexibility to Promote Investment and Innovation. Telecommunications Industry Association July 24, 2008. TIA’s Interest.

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Network Management: Maintaining Flexibility to Promote Investment and Innovation

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  1. Network Management: Maintaining Flexibility to Promote Investment and Innovation Telecommunications Industry Association July 24, 2008

  2. TIA’s Interest • With 500 member companies that manufacture or supply the products and services used in the provision of broadband, TIA has a strong interest in this proceeding. • TIA’s goals match the FCC’s: Enhancing incentives to invest in deployment of advanced networks.

  3. The Internet Policy StatementIs Working • TIA strongly supports principles set forth in the Internet Policy Statement. • The Policy Statement has worked precisely because of its flexible approach. • Lets network providers innovate and optimize networks for the benefit of users while promoting self-regulation and avoiding bright-line restrictions. • FCC can ensure continued success by promoting meaningful disclosure regarding material terms of service.

  4. Reasonable Network Management Critical • VoIP, streaming media and P2P have fundamentally transformed Internet usage and traffic patterns. • Increased deployment will be a necessary but not (on its own) sufficient response to increased traffic. • Consumers also demand management to address other concerns (spam, inappropriate content, etc.).

  5. Potential Pitfall: Placing Burden on Providers • TIA has urged case-by-case approach. • In applying a case-by-case approach, however, tremendous harm could be caused if providers held the burden of justifying new network management practices before any substantial harm was demonstrated. • Thus, complainants should be required to show (1) net harm (2) to consumers on the whole (3) resulting from clear violation of Internet Policy Statement. • Only after such showings should provider bear burden of justifying the challenged practice.

  6. Potential Pitfall: Bright-Line Rules • Categorical restrictions (e.g., rule that it is per se unlawful to block or degrade traffic) would diminish market’s ability to respond to changing user needs and lock in current technological assumptions, undermining consumer welfare. • Better course: Narrowly construed holdings.

  7. Contacting TIA Danielle Coffey (202) 346-3243 dcoffey@tiaonline.org Rebecca Schwartz (202) 346-3248 rschwartz@tiaonline.org

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