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South African Institute of Electrical Engineers
Presentation to the Parliamentary Portfolio Committee on Communications Convergence Bill
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SAIEE Presentation Team
Viv Crone, PrEng, FSAIEE Deputy President SAIEE, CTO Spescom Dumisa Ngwenya, PrEng, SMSAIEE Senior Lecturer, University of Pretoria Neël Smuts, PrEng, FSAIEE Consultant, Former Councillor ICASA
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SAIEE Background Established 1909
The Institute contributes to the common interests and welfare of the engineering fraternity through close co-operation with the Engineering Council of South Africa (ECSA) Voluntary Society as opposed to Statutory (like ECSA) Apolitical and non-discriminatory Over 6000 members throughout Southern Africa
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SAIEE Background Members are professionally engaged in the full range of engineering activities including: academic research manufacturing electronics software development broadcasting and telecommunications measurement and control mining and power infra-structure services. SAIEE is represented on and participates in a number of standing committees
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Contents Comments divided into 2 sections:
General Comments on Convergence Bill Clarification of Overall Guiding Principles Promotion of Innovation and Investment Technology Neutrality Definitions and Policy Statements Bill Process Regulation of content Some suggested principles Specific comments on sections of the Bill
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Overall Guiding Principles
What is the big VISION? Consensus that Bill needs to consolidate various Acts IBA Act, Telecommunications Act and Broadcasting Act Suggested guiding principles (vision) are To reduce cost of doing business To address developmental goals (e.g. Education) To maintain technology leadership by general deployment of broadband access Regulatory framework should draw from relevant sections of other jurisdictions and not just one need to maintain best of imported and local that fulfills our South African vision
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Innovation and Investment Promotion
The Bill should not inhibit innovation in any way but focus on regulating the environment At present there are several areas in the Bill that may inhibit innovation Requirement to license many services that should not require licensing Not providing sufficient regulatory certainty for large investors in infrastructure
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Technology Neutrality
SAIEE supports a policy of technology neutrality Some technology-specific areas have been removed How do we take advantage of the Convergence of Technology? Concerns are: Great details on telephone numbers No details on newer technologies e.g. ENUM There is bias towards “digital technologies” Recommendations Numbering and portability should be dealt with broadly Details should be dealt with in regulations Section 65 to 70
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Definitions and Policy Statements
Definitions contain policy statements Makes some definitions unnecessarily complicated Policy should be in body of Bill e.g. “broadcasting services” definition consists of subsections that could be in the body
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Bill Process Broad concerns:
Bill did not follow the traditional Green Paper - White Paper process This resulted in inadequate early opportunities to contribute SAIEE however acknowledges that this traditional process is cumbersome. Remedy: this opportunity for comment before the Portfolio Committee for Communications Concern about not simultaneously empowering ICASA e.g. functions and funding
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Regulation of Content It is not necessary to deal with all content regulation in a single piece of legislation - there is other legislation (e.g. Publications Act) dealing with content Under current legislation content is dealt with in different ways, or ignored, depending on how it is delivered e.g. Broadcasting signal distribution, Internet, Telecommunication systems (e.g. Cellular & digital lines) There needs to be a distinction between broadcasting content and other ‘informational’ content
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Some suggested principles
Delivery mode should be independent of content Delivery of broadcasting services should be technology neutral Thus content should be regulated separately from delivery systems This does not imply that all content needs a licence
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Specific Issues: Chapter 5 - Radio Frequency Spectrum
Section 30: Control of RF Spectrum Inadequate provision for control of the spectrum Suggest that Subsection 2c be deleted as too technology specific Section 34: RF Plan Frequency planning needs 2 levels Policy Level & International Level Operational Level/Industry sectors Provide for and accommodate the existing SA Table of Allocations as the first tier planning related to the ITU Frequency Allocations Provide for 2nd tier planning to accommodate the Broadcast Frequency Plan per S 31 of IBA Act and Band Plans per S 29 of Telecommunications Act to provide for the repeal of these provisions in these acts SAIEE recommends the redrafting of this chapter to reflect above points
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Specific Issues: Chapter 6 - Technical Equipment & Standards
The Bill does not cover the need for certificated technicians to install or maintain telecommunications facilities as provided for in S57 of the Telecommunications Act SAIEE recommends that an amended version of S57(1) and the full provisions of S 57(2) of Telecommunications Act be included in the Convergence Bill Certification however should not be done by ICASA but the Bill should refer to and be aligned with Engineering Professions Act (46 of 2000) that provides for registration of all categories of engineering practitioners and the safety related reserved work categories where required
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Specific issues: Chapter 13 – Transitional Provisions
The timeframe for the workload imposed on ICASA in this chapter is unrealistic S84(4) states: “Existing licences referred to in subsection (1) must be converted by the Authority in terms of section 85 within 12 months from the commencement date of this Act” All licences or authorisations existing before the promulgation of the Telecommunications Act in 1996 have not yet been converted SAIEE recommends that realistic targets with broad priorities be set in the Bill, say a 3 to 5 year plan with per year priorities Failure to reach the prescribed target above will lead to instability, uncertainty or exploitation in the communication industry
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In Summary Bill should be technology neutral
Content regulation should be separate from regulation of delivery Definitions should be simple and not include policy issues Repealed Acts to be comprehensively covered – e.g. RF spectrum Certification and Engineering Professions Act Realistic targets for transition
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Conclusion The SAIEE welcomes the Convergence Bill
It has the potential to dramatically increase the rate of economic and other development in South Africa The SAIEE gladly offers assistance to re-draft relevant portions of the Bill The SAIEE thanks the Portfolio Committee for the opportunity to make a contribution
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Broadcasting Service Definition
‘‘broadcasting service’’ means any service which consists of the broadcasting of television or sound broadcasting material to— (a) the public, (b) sections of the public; or (c) subscribers to such a service, but does not include— (i) a service (including text service) that provides no more than data, or no more than text (with or without associated still images); or (ii) a service or components of a service that make programmes available on demand on a point-to-point basis, including a dial-up service;
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“Application” ‘‘application’’ means any technological intervention by which value is added to a communications network service which includes the— (a) manipulation; (b) storage; (c) retrieval; (d) distribution; (e) creation; and (f) combination, of content, format or protocol for the purpose of making such content, format or protocol available to customers;
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“application service”/ “application service licensee”
‘‘application service’’ means a communications service provided by means of applications; ‘‘application service licensee’’ means a person licensed to provide an application service;
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Bill’s opening statement
To promote convergence in the broadcasting, broadcasting signal distribution and telecommunications sectors and to provide the legal framework for convergence of these sectors; to make new provision for the regulation of communications and network services; to provide for the granting of new licences and for new social obligations; to provide for the control of the radio frequency spectrum; to provide for the continued existence of the Universal Service Agency; and to provide for matters incidental thereto.
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