国产视频

In Short

Broadband is Still not as Ubiquitous as it Should Be

Broadband deployment

Recently, we filed FCC arguing broadband is not being deployed to all Americans in a reasonable and timely manner under so-called 鈥淪ection 706.鈥 requires an annual inquiry by the FCC to determine whether 鈥渁dvanced telecommunications capability鈥 (colloquially, 鈥渂roadband鈥) is being deployed to all Americans in a reasonable and timely manner. If the FCC determines that the answer to this question is 鈥渘o,鈥 the statute then grants the FCC the authority to take regulatory action to encourage the deployment of broadband. This annual inquiry is known as the 鈥淏roadband Progress鈥 inquiry.

But to determine whether 鈥渂roadband鈥 is being deployed reasonably, the FCC has to define what 鈥渂roadband鈥 is. The definitions used in the Broadband Progress inquiries have evolved significantly in their nearly-twenty-year history. In the late 1990s, the FCC defined 鈥渉igh-speed broadband鈥 as a (both download and upload). The FCC has subsequently increased the benchmark several times:

2008: 鈥渂asic broadband鈥 is a connection with a and 200 kbps upload.

2010: increased to .

2015: increased to .

We argue in our comments that the benchmarks should be increased again to 50 Mbps download/20 Mbps upload. The increase is necessary with so many new apps and services being released that require high throughput (4K television, video games, telehealth services, virtual and augmented reality), and with consumers increasingly using their upload capability for things like social media and cloud storage. Also, the National Broadband Plan anticipated a .

What the FCC鈥檚 speed-focused definitions miss, however, are important non-speed metrics, such as latency (the time it takes a packet of data to travel to another server on the network), packet loss (the percentage of data that is lost in transmission), and jitter (the variance in latency). With high latency, packet loss, or jitter, a connection that meets a speed requirement may nonetheless be slow or unusable as packets get lost or congested. We urge the FCC to implement a soft latency metric of 50 ms that would then trigger an investigation into the other metrics to determine whether the connection should count as 鈥渁dvanced.鈥

How the FCC collects data on and measures broadband connections is a major question underpinning the Broadband Inquiry, and one that is of particular relevant for us at OTI. Accurate broadband measurements are imperative for the FCC鈥檚 Section 706 analysis*. We argue the FCC should ensure that its measurements reflect the consumer鈥檚 average experience rather than a theoretical high speed on the ISP鈥檚 best day. Some speed tests, such as Ookla鈥檚 Speedtest.net, make routing decisions that may not reflect actual user experience. , a research consortium of which OTI is a partner, hosts its own test called that more accurate reflects user experience. (See OTI鈥檚 recent paper, Getting Up to Speed, for a deep-dive on broadband measurement and a list of best practices.)

The FCC also asks whether data caps should factor into the Section 706 analysis, and if so, how. Data caps, which take many different forms including caps with overage charges or caps that throttle speeds, disincent the use of an Internet connection. We argue that data caps should factor into a Section 706 analysis. All the capacity in the world means nothing if consumers are cut off from using it to its fullest potential. We urge the FCC to more broadly investigate the use of data caps on wired and wireless networks, but to also consider limits on the use of data caps in this proceeding. Wired connection caps are unjustified on technical and economic grounds, and networks where such caps are present should not be considered 聽鈥渁dvanced.鈥 Data caps over wireless connections, however, may be justified in some instances, and we argue any mobile network with a wireless data cap below 5 GB per month should not be considered 鈥渁dvanced.鈥

Section 706 requires the FCC make a decision within 6 months of its release of the Notice of Inquiry, which gives it until approximately March 2017 to issue an Order that determines whether advanced broadband service is being deployed in a timely matter. We hope the FCC recognizes the gains in Internet services and speeds offered and implements the suggestions we made. With any luck, your connection may improve as a result.


*聽The FCC currently relies on both self-reporting by Internet Service Providers (ISPs) via 鈥淔orm 477鈥 and the FCC鈥檚 measurement tools, including and a mobile app called FCC Speed Test for and .

More 国产视频 the Authors

Eric Null
Eric Null

Programs/Projects/Initiatives

Broadband is Still not as Ubiquitous as it Should Be