8/25 FCC Reply with Public Knowledge Opposing Verizon Purchase of Straight Path Spectrum
The Open Technology Institute at 国产视频 filed聽聽with Public Knowledge Opposing Verizon’s proposed acquisition of Straight Path Communications, arguing the Federal Communications Commission should not approve the merger because the companies have failed to show that the deal is in the public interest. 聽Below is a summary of the reply comments:
Introduction and Summary:
Public Knowledge and 国产视频鈥檚 Open Technology Institute file this Reply in the above-captioned proceeding in response to the Joint Opposition to Petitions to Deny (鈥淛oint Opposition鈥) submitted by Verizon Communications Inc. (鈥淰erizon鈥) and Straight Path Spectrum, LLC (鈥淪traight Path鈥) (collectively, 鈥淎pplicants鈥).聽At present, the Federal Communications Commission (鈥淐ommission鈥 or 鈥淔CC鈥) should not approve the transfer of control of wireless licenses held by Straight Path to Verizon because the Applicants have failed to demonstrate that the proposed transaction is in the public interest.
The Applicants have not met their burden of proof to demonstrate that the transaction would serve the 鈥減ublic interest, convenience, and necessity.鈥 Neither the Applicants鈥 Public聽Interest Statement聽nor Joint Opposition provide any commitments or specific public interest benefits that would occur if the application were to be granted. The only benefit the Applicants claim is some future deployment of 5G wireless services, without specifying how this would be a public interest benefit as opposed to a profitable business venture. The Applicants are the only voice in the record in support of their position.
While the alleged public interest benefits are underwhelming, if not entirely absent, there are many public interest harms that would result from granting the transaction. The record overwhelmingly supports denial of the Verizon/Straight Path application. The proposed transaction would limit 5G competition and innovation in the millimeter wave (鈥渕mW鈥) bands by allowing Verizon to exceed the mmW spectrum threshold. Further, granting the application would unjustly enrich Straight Path, undermining the FCC鈥檚 credibility with regards to future enforcement of its build-out requirements.
Extensive evidence exists in the record to support the denial of the application. To the contrary, the Applicants have not demonstrated with any detail how this acquisition would benefit the public and advance the Commission鈥檚 goals of promoting universal service and competition. Lastly, the parties do not sufficiently address the substantive concerns raised by commenters and petitioners. Therefore, the Verizon/Straight Path application should be denied.聽