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Analyst Angle: Incentive auctions – what matters here and now

A hot topic is the upcoming incentive auction. The amount of available spectrum per subscriber tells us how much capacity the carrier has to serve its customers and therefore what the theoretical upper limits of data speeds are. It also shows us how urgently the respective carrier needs more spectrum to serve its customers at par compared to their competitors.

The most spectrum-constrained operators are Verizon Wireless with 1.02 hertz per connection and AT&T Mobility with 1.18 Hz/c. Verizon Wireless is definitely more constrained than 1.02 Hz/c as it only reports retail connections. Their per-connection stats do not reflect machine-to-machine or “Internet of Things” connections that also use spectrum. T-Mobile US, as it correctly boasts in its advertising, has more capacity per subscriber than Verizon Wireless and AT&T Mobility, with capacity per subscriber serving as a proxy for amount of spectrum the company has per subscriber. Specifically, T-Mobile US has 34% more spectrum per subscriber than Verizon Wireless, and 16% more than AT&T Mobility. By comparison, Sprint has 2.6 to 3.6 times more than Verizon Wireless, AT&T Mobility or T-Mobile US. Regional carrier U.S. Cellular has 16% to 33% more spectrum per subscriber than AT&T Mobility and Verizon Wireless.

Exhibit 1: Q1 2015

Incentive-Auction-Exhibit-2 (1)

Source: The companies and Recon Analytics Analysis.

This information helps us understand why Sprint and T-Mobile US have decided to not participate in various auctions. Quite simply, neither company faced an immediate need for more capacity and could not make a business case for spending money to buy spectrum at the time various auctions were being held. Both companies’ share of spectrum ownership and market share are more closely aligned than that of their larger competitors. T-Mobile US and Sprint famously sat out the 700 MHz auction for that reason and it was an eminently reasonable business decision; however, now comes both Sprint and T-Mobile US asking the Federal Communications Commission to give them a guaranteed reduction in price for the spectrum the companies may be interested in buying in the upcoming incentive auctions. Despite Sprint’s comments on its fiscal first quarter 2015 investor call in which it said it is still contemplating participating in the incentive auction, Sprint has little actual need for significantly more spectrum compared to its peers.

Analyzing the competitive forces in a market often looks at market share as an important metric. By its nature, market share is a description of the competitive results of the past. In the past, AT&T Mobility and Verizon Wireless executed their business plans substantially better than Sprint and T-Mobile US, resulting in more customers choosing them over the competition. Now, T-Mobile US and Sprint want to use the results of the past to restrict their larger competitors. As we see in Exhibit 2, AT&T Mobility and Verizon Wireless could not stop T-Mobile US from growing faster than the entire market combined for 2014 and the first quarter of 2015. Hardly the result of a duopoly having a stranglehold on the market.

When looking at just the carriers that grew customers, T-Mobile US captured 70.2% of the growth in 2014, twice as much as AT&T Mobility and Verizon Wireless combined, and 99.7% of the growth in Q1 2015. For a duopoly that is a remarkably poor showing exhibiting none of the supposed power that would need to be restricted.

Exhibit 2: Q1 2015

Incentive-Auction-Exhibit-2

Source: The companies and Recon Analytics Analysis.

T-Mobile US and Sprint are trying to convince the FCC that it’s just not fair that other companies spent more money to buy and deploy spectrum and now have a more diverse spectrum portfolio. The two companies are also claiming that a guaranteed price reduction for them in the upcoming auction will somehow resolve the reality of AT&T Mobility and Verizon Wireless being larger providers with more customers. If one takes the advocacy at face value, one could believe both companies are struggling to stay alive and American consumers are suffering from soaring prices and deteriorating service absent FCC action.

A key data point often used to convince regulators that the FCC should set aside spectrum for T-Mobile US and Sprint in the upcoming incentive auctions is the amount of spectrum each major provider holds below 1 GHz. AT&T Mobility and Verizon Wireless, which bought most of their 1 GHz spectrum from other providers such as the successor of McCaw Wireless, US West and Alltel, respectively, own roughly the same amount of spectrum as one would expect considering their subscriber numbers. Sprint, largely through its acquisition of Nextel Communications and the subsequent rebanding of the Nextel spectrum, owns slightly less than would be expected. T-Mobile US, which chose not to participate in any low-band spectrum auctions, now holds about 5% of the available low-band spectrum through its acquisition of 700 MHz A-Block spectrum from Verizon Wireless. T-Mobile US indicated that it would like to extend its 700 MHz spectrum holdings further. Interestingly, small rural telcos, which make up the “others” category in Exhibit 3 below, control more low-band spectrum than T-Mobile US despite T-Mobile US being 18 times larger.

Exhibit 3: Spectrum below 1 GHz:

Incentive-Auction-Exhibit-3

Source: The companies and Recon Analytics Analysis.

If the FCC is interested in having set-asides, perhaps a better idea than giving more spectrum to T-Mobile US and Sprint at a discount, would be to make 20 megahertz available for small rural operators. This would essentially triple the spectrum available to them and will allow them to be part of the same 600 MHz ecosphere as their larger brethren, while giving them approximately three to 10 times more spectrum per subscriber than anyone else. When it comes to download speeds, U.S. rural operators will be in a better position than anyone else to deliver the fastest possible speeds if the FCC were to set aside 20 megahertz of spectrum.

Whether the FCC should or should not grant T-Mobile US’ and Sprint’s requests to be treated as special, protected entities just like small, rural operators is a matter of policy and politics, but one should not be fooled into thinking that T-Mobile US and Sprint are weak sisters who would not otherwise be able to compete. While Verizon Wireless, Sprint and AT&T Mobility are growing by selling more products and services to fewer customers, T-Mobile US is growing by consistently adding new customers. T-Mobile US has captured 99.7% of unique subscriber growth in the industry. Since it went public in May 2013, the stock price of T-Mobile US has almost doubled, while its competitor’s share price has fallen. Sprint is not as successful as T-Mobile US, but it is slowly working itself out of a disastrous network upgrade program that saw dead spots appear where there were none before. In a large number of markets, Sprint is now winning network accolades from third-party measurement companies. Net promoter scores, a leading indicator, are improving, overall subscriber numbers and tablet sales to existing customers are increasing and phone customer losses are decreasing. Everything is pointing up as long as Sprint executes well.

There are various, competing priorities at play regarding the upcoming incentive auction. The stakes are particularly high because the auction was authorized by an act of Congress without the option of a re-auction if it fails. Broadcasters want to be compensated; spectrum needs to be reallocated to use for wireless broadband; existing TV broadcaster operations need to be consolidated; and last but not least government revenue needs to be maximized. The fewer the restrictions, the smaller the set-asides, the more revenue will be generated during the auction. This is a particularly important consideration for the incentive auction where the demands of the broadcasters will have to be met before the U.S. Treasury will get its cut. The most recent government estimate of its revenue cut of the incentive auction is $10 billion to $40 billion. How the expected $80 billion auction total will be achievable from an industry that had 2014 operating income of just over $40 billion is difficult contemplate. The problems get compounded when roughly one-third of the spectrum will be set aside for bidders claiming poverty and looking for a substantial discount but already have vast amounts of spectrum in their portfolios.

If the FCC decides to retain set-asides for the upcoming auction, it would be better served by making them available to small rural providers, not the large nationwide providers.

Roger Entner is the founder and lead analyst of Recon Analytics. Entner’s main focus is the competitive telecom market place and how the market participants interact. He is one of the leading experts researching the wireless experience, how it influences customer behavior and how customers make choices. Before starting Recon Analytics in January 2011, Entner was the SVP, head of research and insights for the telecom practice of The Nielsen Co. Before that, Entner was SVP of the communications sector at IAG Research and was part of the senior leadership team when Nielsen acquired IAG in April 2008. Prior to joining IAG Research in 2007, Entner launched the North American coverage for Ovum as VP of telecom. He established the company as one of the leading telecom research providers in North America. Before joining Ovum, Entner headed the wireless carrier research group at the Yankee Group from 2001 to 2004. Entner received a Bachelor of Arts in business organization from the Heriot-Watt University in Edinburgh, United Kingdom, a Master of Business Administration from the George Washington University in Washington, D.C., and an Honorary Doctorate of Science from Heriot-Watt University.

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