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KCOM Group PLC 1 Switching fixed voice and broadband providers on the Openreach copper network Response by KCOM 4 October 2013 Summary KCOM Group PLC delivers communications services to a range of businesses and consumers throughout the UK under a number of different brands. Kcom provides communications services for national multi-site enterprise and public sector organisations across the UK. Eclipse Internet delivers a portfolio of communications services with a focus on the national SME market. In Hull and East Yorkshire, KC provides a range of communications services to businesses and consumers. KC is the incumbent fixed operator in the Hull area and has a network footprint the majority of which does not overlap the Openreach copper access network. Kcom and Eclipse both deliver services to end-users using Openreach infrastructure outside of the Hull area, while KC uses Openreach infrastructure in very limited areas. This consultation is therefore of interest to KCOM, both from the point of view of services we provide over Openreach infrastructure and for any consequences for KC in the Hull area, where we act as both a wholesale and retail provider. KCOM has serious concerns over Ofcom’s current drafting of the legal instruments. The proposed GC22 excludes cable-delivered services, but much of the drafting does not exclude switching on KC’s network. This despite Ofcom suggesting networks other than Openreach would be dealt with in a future workstream. Switching does occur between providers on the KC Hull area network between KC’s retail business and CPs taking KC Wholesale products, as well as between those third-party CPs. As some paragraphs in the proposed GC22 would appear to apply to the Hull area while others do not, we would effectively be forced into a fragmented and unclear switching process. Although Ofcom has not consulted on switching in the Hull area and therefore arguably is not yet empowered to amend a GC that would significantly change arrangements, we do think Ofcom’s proposed approach for the Openreach network would be proportionate for KC. Considering the Openreach proposals, we remain of the view a LPL process would have been preferable. Nevertheless we do agree there is value in harmonising switching processes. We also welcome that Ofcom has taken a more proportionate approach with its current proposals than it was previously considering.

Transcript of Switching fixed voice and broadband providers on the ...€¦ · GCs 22 and 24 Openreach switching...

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Switching fixed voice and broadband providers on the

Openreach copper network

Response by KCOM

4 October 2013

Summary

KCOM Group PLC delivers communications services to a range of businesses and

consumers throughout the UK under a number of different brands. Kcom provides

communications services for national multi-site enterprise and public sector organisations

across the UK. Eclipse Internet delivers a portfolio of communications services with a focus

on the national SME market. In Hull and East Yorkshire, KC provides a range of

communications services to businesses and consumers.

KC is the incumbent fixed operator in the Hull area and has a network footprint the majority

of which does not overlap the Openreach copper access network. Kcom and Eclipse both

deliver services to end-users using Openreach infrastructure outside of the Hull area, while

KC uses Openreach infrastructure in very limited areas. This consultation is therefore of

interest to KCOM, both from the point of view of services we provide over Openreach

infrastructure and for any consequences for KC in the Hull area, where we act as both a

wholesale and retail provider.

KCOM has serious concerns over Ofcom’s current drafting of the legal instruments. The

proposed GC22 excludes cable-delivered services, but much of the drafting does not

exclude switching on KC’s network. This despite Ofcom suggesting networks other than

Openreach would be dealt with in a future workstream. Switching does occur between

providers on the KC Hull area network between KC’s retail business and CPs taking KC

Wholesale products, as well as between those third-party CPs. As some paragraphs in the

proposed GC22 would appear to apply to the Hull area while others do not, we would

effectively be forced into a fragmented and unclear switching process. Although Ofcom has

not consulted on switching in the Hull area and therefore arguably is not yet empowered to

amend a GC that would significantly change arrangements, we do think Ofcom’s proposed

approach for the Openreach network would be proportionate for KC.

Considering the Openreach proposals, we remain of the view a LPL process would have

been preferable. Nevertheless we do agree there is value in harmonising switching

processes. We also welcome that Ofcom has taken a more proportionate approach with its

current proposals than it was previously considering.

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We note that many of the improvements Ofcom is seeking will be driven by Openreach

systems development, including better address to line information and an increased number

of services able to use simultaneous provide. Given the dependency on Openreach to

deliver many of these changes, in some areas we question whether placing obligations on

the gaining retail provider through the GCs is necessary. We accept the removal of the MAC

process requires a change to the GCs, but for several of the other supporting changes

providers already have a strong commercial incentive to make the switching experience for

their new customers as smooth as possible.

In the remainder of our response we first briefly address Ofcom’s proposals in relation to

Openreach infrastructure before discussing our primary concerns regarding the impact the

proposals would inadvertently have in the Hull area.

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Switching on the Openreach copper network

Question 1: Do you agree with our assessment of the Record of Consent

Requirement?

KCOM understands Ofcom’s desire to be able to successfully use enforcement action to

reduce slamming, and as such we do not disagree with Ofcom’s proposals to require

retention of consent records for 12 months.

Question 2: Do you agree with our assessment of the requirement for better

information on the implications of switching?

We believe that consumers being in possession of relevant information is important for an

effective switching process and a functioning communications market generally.

In relation to the LP and GP letters, Ofcom notes at paragraph 9.68 that “for the majority of

consumers, being in possession of a written record of the direct and indirect impacts will

make it easier to comprehend and understand the trade-offs, and they will therefore be more

capable of reaching an informed and reasoned decision”. We would highlight that an

inherent issue with GPL switching processes is, even though the LP would be required to

send this information, it would be after the consumer has taken the decision to switch. It is

implicit that Ofcom is expecting a significant number of consumers to make a reasoned final

decision only after they entered into a contract with the GP. Although this would be possible

given the right to terminate within the transfer period, it is not necessarily the most efficient

use of switching procedures.

For example, we would be concerned about occasions when a consumer receives

information from the LP on likely due ETCs that although accurate and fair, they were not

expecting. When inevitably contacted by the consumer, LPs may be too limited in discussion

of a customer’s legitimate options to avoid the fees due to the ban on representations that

could induce a customer to continue their existing contract. In contrast, gaining providers at

this point would not have a comparable obligation to avoid reactive save activity should the

customer contact them with the intention of cancelling an order during the proposed ten day

transfer period.

Question 3: Do you agree with our assessment of mandating use of functionality to

ensure seamless transfer of bundled voice and broadband services?

KCOM would welcome functionality improvements to Openreach systems ensuring

simultaneous provide orders can be submitted for a wider range of wholesale products.

However from a regulatory perspective we question whether mandating providers to actually

submit orders in this way is necessary. Providers have a commercial incentive to maximise

their new customers’ experience, and therefore have an incentive to submit orders as a

simultaneous transfer where they are offering bundled services to customers and Openreach

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systems enable them to do so. We believe this is more a question of delivery from the

Openreach end and therefore not something it is necessary to address in the GCs.

Question 4: Do you agree with our assessment of requirements to reduce the

occurrence of ETs under the WLT process?

KCOM agrees that reducing the number of ETs is a worthwhile objective and as such we

have no objection to mandating the existing WLT process through the GCs. However, we

are concerned that the exact match requirement may be difficult to implement operationally.

There are circumstances where there may be more than one line in a property, in different

locations in the building. This is particularly likely with some small business customers.

There could also be circumstances in which customers supply incorrect address information

leading to the incorrect line being identified by the GP. In these situations we struggle to see

how a GP can be entirely certain the correct line is being identified and therefore the

obligation seems an unreasonably high compliance standard to be imposed without unduly

restricting the ability to use WLT over cease and re-provide.

We believe the key issue with WLT is the quality of the Openreach database, and this is not

an issue appropriate to address through the GCs. We consider the proposed mandated

requirement on incumbent providers to contact the account holder of a target line and for

gaining providers to send a letter to the address are sufficient and pragmatic measures to

minimise the number of WLT transfers that are completed erroneously.

If Ofcom felt it needed to ensure a greater degree of protection, Ofcom might better word the

proposed GC22 A2.3 as:

A Gaining Provider may only place a Working Line Takeover Order if it has taken all reasonable measures to ensure it has identified a correct match for the Target Line.

Question 5: Do you agree with the estimated implementation timescales of GPL NoT+

we have outlined?

We are concerned Ofcom may be underestimating the timescales required to implement the

measures it is proposing.

While Ofcom’s proposals are certainly less onerous and more proportionate than suggested

in previous switching consultations, timing of implementation remains an important issue.

Particularly with broadband transfers currently using the MAC process, it is vital that all of

the industry can move to the new process at the same time. Improvements in Openreach’s

systems and the associated interoperability with CPs’ own systems are key to the

assessment of timescales. In several cases, for example improvements in address

information required for WLT, CPs compliance to an amended GC22 would depend on

Openreach delivering changes to its systems first.

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Switching on the KC copper network

Question 6: Are there any other key issues that need to be taken into consideration?

KCOM has serious concerns that the drafting of the proposed amended GC22 is unworkable

in terms of how it would apply in the Hull area. We have set out below some background on

switching in the Hull area as well as our specific concerns and suggested approaches to

addressing the issue.

Switching in the Hull area

The Hull area1 does not have any Openreach access infrastructure present. Instead, KC,

part of the KCOM Group, is the owner of the access infrastructure, with significant market

power in the relevant Ofcom-defined fixed wholesale markets.

In addition KC is the largest retail provider of fixed services in the Hull area, although there

are a number of CPs taking KC Wholesale’s voice and broadband products2. These

products are not the same as the products offered by Openreach. Instead we have

developed much simpler alternatives to full wholesale products to meet the demands of

alternative CPs competing in the Hull market. Outside of the Hull area KC has an expansion

area of its copper network which covers some parts of East Yorkshire (known as the KC

EYE network), where separate Openreach infrastructure is also present. In Hornsea and

Withernsea, KC also has an LLU presence in Openreach exchanges used to deliver KC

retail services. We have set out in Table 1 below broadly the relevant distinct access

networks and current respective switching arrangements.

1 Historically defined by Ofcom as “the 'Licensed Area' in the licence granted on 30 November 1987

by the Secretary of State under section 7 of the Telecommunications Act 1984 to Kingston upon Hull City Council and KCOM Group PLC” 2 http://www.kcomplc.com/regulatory-information/price-lists-and-notices/

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Table 1 Current switching processes by network

Area The Hull area KC East

Yorkshire

Expansion (EYE)

area

KC LLU areas

(Hornsea and

Withernsea

exchanges)

Rest of the

UK

Present

copper access

networks

KC network KC network

Openreach

network

Openreach network

Available

KCOM Group

retail services

(and network

used)

KC (KC network) KC (KC network in EYE,

Openreach in Hornsea and

Withernsea)

Eclipse (Openreach)

Kcom (Openreach)

Eclipse

(Openreach)

Kcom

(Openreach)

Copper

network

switching

KC switching

processes under

GCs 22 and 24

between KC and

CPs taking KC

Wholesale products

Switching

between KC

network and

providers using

Openreach

infrastructure is

cease and re-

provide

Openreach

switching

processes under

GCs 22 and 24

Openreach switching

processes under GCs 22 and

24 between CPs taking

wholesale BT products,

including Eclipse and Kcom

In terms of the scale of switching in the Hull area, since we starting providing wholesale

exchange line and broadband products in June 2009, there have been [] transfers on the

KC network3. Of these []% have been analogue voice services and []% have been

ADSL. []% were from KC retail to third-party providers with []% between third-party

providers. These were predominately for business end-users, many of whom would be

classed as small businesses under the Communications Act definition. In the 12 months to

August 2013 there were around [] voice switches, which is approximately []% of the

Hull area business analogue exchange line market. In Figure 1 we have shown the one year

rolling monthly average of transfers processed by KC Wholesale3.

Figure 1 Monthly voice and ADSL transfers on the KC network in the Hull area over the last three years (rolling one year monthly average)

[]

3 []

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Concerns over the proposed drafting of GC22

In Annex 1, by way of illustration, we have highlighted Ofcom’s proposed draft of GC22 to

show where we believe a paragraph may apply, or partially apply, in the Hull area and where

it may only apply to Openreach infrastructure elsewhere in the UK.

KCOM considers much of the confusion about whether specific obligations apply results

from how Ofcom has defined key terms in the proposed GC. Ofcom’s proposed draft of

GC22 defines broadband services as any DSL delivered over copper, which would include

KC. However Ofcom would be defining Target Line, Notification of Transfer and Working

Line Takeover using current Openreach products, which would exclude KC. It is not clear in

many of the paragraphs in the draft GC22 whether or not they would apply to voice and

broadband switching on the KC network. In addition Ofcom proposes to revoke and explicitly

prevent the use of the MAC process which currently applies and is used for broadband

transfers in the Hull area.

We have also illustrated some of the perverse effects of the proposed drafting in Table 2

below by comparing at a high level the changes proposed with the current GCs 22 and 24.

For example, through its definition of slamming Ofcom would appear to be tacitly permitting

slamming on lines over KC infrastructure as GC22.25(ii) as drafted would not cover

wholesale products currently offered in the Hull area.

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Table 2 Illustrative interpretation of proposed changes to GCs 22 & 24

Hull area: Providers over KC

infrastructure

Rest of the UK: Providers over Openreach

infrastructure

Cannot use Follow the MAC process for

broadband

Facilitate migrations and connections

Do not mis-sell, do not slam

Correct information at point of sale

Gaining provider sends a letter

including expected migration date

Losing provider sends a letter

including expected migration date

Gaining provider must have termination

during transfer period procedure via

telephone, e-mail, and post

Records retention for 6 months

Cancel other process

No save activity

Consent records retention for 12

months

Cannot use Follow the MAC process for

broadband

Facilitate migrations and connections

Do not mis-sell, do not slam

Correct information at point of sale

Gaining provider sends a letter including

expected migration date

Losing provider sends a letter including

expected migration date

Gaining provider must have termination

during transfer period procedure via

telephone, e-mail, and post

Records retention for 6 months

Cancel other process

No save activity

Consent records retention for 12 months

Gaining provider to submit simultaneous

transfer orders

Follow Working Line Takeover process

Putting to one side the issue Ofcom has not consulted on any impact of amending GC22 in

the Hull area, we cannot see how the current GC22 draft could be workable in Hull for KC.

Below we consider what we see as the three broad options Ofcom could pursue to resolve

the fundamental flaws in the proposed draft GC22;

Option 1: Amend the current drafting to entirely exclude the KC network, maintaining

existing processes for the Hull area

Option 2: Devise an alternative switching process for the KC network in the Hull area

Option 3: Amend the current drafting to mirror requirements for switching within

Openreach infrastructure for switching within KC Hull area network infrastructure.

Option 1: Amend the current drafting to entirely exclude the KC network, maintaining

existing processes for the Hull area

If Ofcom were to follow the letter of what it proposed in the consultation document and avoid

further consultation, it could correct the drafting of the proposed GC22 to apply to

Openreach only, while maintaining the existing provisions in GCs 22 and 24 but narrowing

their application to just the KC network in the Hull area.

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Were Ofcom to pursue this option, KCOM considers it would be vital to ensure the drafting of

GC22 would make clear that KC copper access infrastructure would be entirely excluded

under the proposals for Openreach infrastructure. Under this option we consider Ofcom

should make clear that not only that intra-network switching on the KC network in the Hull

area would be excluded but also inter-network switching between the KC EYE network and

Openreach would not inadvertently be captured.

KCOM considers Option 1 would resolve concerns around problematic drafting, but it would

mean Ofcom having to return to switching on the KC network as part of a future switching

workstream.

In previous responses to Ofcom switching consultations we have argued that proportionality

was the primary reason why we did not believe the process for Openreach would be

appropriate for the Hull area. Given the current proposals, we do not feel this objection is as

much of a concern. Therefore we would question the merit in running a different process for

the Hull area when it would otherwise be proportionate to implement Option 3.

Option 2: Devise an alternative switching process for the KC network in the Hull area

It is possible Ofcom could take the view a separate process for switching was required for

the Hull area that was both different to the current arrangement but not the same as what is

proposed for Openreach.

As illustrated in Table 1, KC does have an LLU presence in two Openreach exchanges while

other brands within the KCOM Group also use wholesale products based on Openreach

infrastructure to deliver services. Consequently whatever Ofcom eventually decide as the

appropriate switching process for services over Openreach infrastructure will have to be

implemented for a certain number of KC retail services. Given we would have to implement

this for our Openreach-based retail customers, we can see the case that it would be worth

exploring implementing a comparable process for our KC network based customers too.

If Ofcom were proposing a more onerous switching process than in the statement and

further consultation, such as third party verification, we might have preferred Option 2 on the

grounds that systems development would represent a disproportionate burden for KC. Given

we anticipate limited systems development would be required to implement Option 3 for our

wholesale business, discussed below, we do not see a strong case for Option 2.

Option 3: Amend the current drafting to mirror requirements for switching within

Openreach infrastructure for switching within KC Hull area network infrastructure

This is KCOM’s preferred approach.

We can see the value in harmonising the switching processes for voice and broadband in

the Hull area. At present we currently use a notification of transfer process for voice transfers

and the MAC process for broadband. Our relatively low volumes of transfers mean our

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processes are somewhat more manual than Openreach. Therefore we expect in practice

moving to an enhanced notification of transfer process would require limited systems

development.

We consider that implementing a Hull area version of enhanced notification of transfer would

be proportionate and is the most preferable option in the circumstances. We would however

note that moving to an enhanced notification of transfer process does not suggest we would

always support mirroring Ofcom’s switching proposals for Openreach, particularly if in future

Ofcom considers obligations requiring more extensive systems development.

As with Option 1, we suggest it is necessary that the drafting of GC22 can only be

interpreted as covering intra-network switching on the KC network in the Hull area and the

Openreach network respectively; excluding KC’s EYE network, which overlaps but is

separate to Openreach.

We do note any impact in the Hull area has not been discussed in Ofcom’s consultation.

Neither KCOM, CPs using KC Wholesale products to offer retail services in the Hull area,

nor any other stakeholders in the Hull area market have had direct chance to respond to any

published Ofcom consideration of switching in the Hull area. While we believe Option 3

would be the most sensible option, we consider there is a question for Ofcom as to what

level of consultation it would need to undertake for it to satisfy its legal requirement to

consult on regulatory changes. KCOM does consider it important that we have the chance to

fully consider and comment on any revised drafting of GC22 prior to a final legal instrument

being published.

KCOM is happy to work with Ofcom further to achieve a pragmatic solution for consumer

switching within the Hull area.

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Annex 1 – Inconsistent application in the draft of GC22 for the Hull area

Key Appears to apply in the Hull area

Appears not to apply in the Hull area

22. SERVICE MIGRATIONS AND HOME-MOVES

Migrations of Broadband Services

22.1 Communications Providers shall:

(a) facilitate the migration (or where applicable, connection) of the Broadband

Service in a manner that is fair and reasonable;

(b) ensure that the migration (or where applicable, connection) of the Broadband

Service is carried out within a reasonable period; and

(c) ensure that the migration (or where applicable, connection) of the Broadband

Service is carried out with minimal loss of the Broadband Service.

Communications Provider Migrations

22.2 Communications Providers shall in relation to Communications Provider Migrations

comply with Conditions 22.3 to 22.14.

Mis-selling Prohibition

22.3 When selling or marketing Communications Services, the Gaining Provider must not:

(a) engage in dishonest, misleading or deceptive conduct;

(b) engage in aggressive conduct;

(c) contact the Customer in an inappropriate manner; or

(d) engage in Slamming.

Information at point of sale

22.4 The Gaining Provider must take all reasonable steps to ensure that before entering

into a contract for the provision of Communications Services, the Customer who is

requesting a Communications Provider Migration:

(a) is authorised to do so;

(b) intends to enter into the contract; and

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(c) is provided with the information set out below in a clear, comprehensible,

prominent and accurate manner, in paper or another Durable Medium which is

available or accessible to the Customer or, where the Customer enters into the

contract during a sales call, by telephone:

i. the identity of the legal entity the Customer is contracting with and its

telephone, website and/or e-mail contact details;

ii. a description of the Communications Service requested; the key charges,

including minimum contract charges, and any early termination charges, if

applicable; payment terms; the existence of any termination right, termination

procedures and the Customer’s right to cancel at no cost from the point of

sale to the completion of the Transfer Period; the arrangements for provision

of the service, including the order process and, as accurately as possible, the

likely date of provision of the service and any minimum period of contract.

Customer’s termination rights

22.5 When the Customer enters into a contract for the provision of Communications

Services, the Gaining Provider must allow the Customer to terminate the contract

from the point of sale to the completion of the Transfer Period without charge or any

other form of compensation being required to be given by the Customer to the

Gaining Provider.

22.6 The Gaining Provider must have procedures in place to enable the Customer to

exercise their right to terminate their contract pursuant to Condition 22.5 without

unreasonable effort. These procedures must include the ability to contact the Gaining

Provider to terminate the contract by any of the following contact methods:

(a) telephone

(b) e-mail;

(c) post.

Records Retention

22.7 The Gaining Provider must use reasonable endeavours to create and keep all

records regarding the sale of its Communications Services, for a period of not less

than six months. Such records must include the date and approximate time of the

contact with the Customer, the means through which the Contract was entered into,

the place where the contract was entered into, where relevant, and be such as to

allow subsequent identification of the salesperson(s) involved and to assist in dealing

with any complaint or query.

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Record of consent

22.8 For each contract entered into with a Customer for the provision of Communications

Services, the Gaining Provider must create and keep individually retrievable records

of the following, for a period of not less than twelve months:

(a) a direct record of consent, as provided by the Customer, to:

i. migrate from the Communications Services supplied by the Losing Provider

to the Communications Services supplied by the Gaining Provider; or, as

relevant,

ii. begin acquiring Communications Services over the Target Line;

(b) an explanation from the Communications Provider that they are required to create

a record of the Customer’s consent;

(c) the name and address of the Customer;

(d) the time, date and means by which the consent in sub-section (a) above was

given;

(e) where appropriate, the place where the consent in sub-section (a) above was

given and the salesperson(s) involved;

(f) the Target Address; and

(g) where appropriate, the Calling Line Identification of the Target Line.

22.9 The Gaining Provider shall keep the records required in paragraph 22.8 irrespective

of whether the contract for the provision of the Communications Services is cancelled

or terminated.

Notification Letters

22.10 When a Customer enters into a contract for the provision of Communications

Services, the Gaining Provider must send that Customer a letter, in paper or another

Durable Medium. The letter shall set out in clear and intelligible terms:

(a) the date of the letter;

(b) that the Customer is transferring their Communications Service;

(c) all Communications Services that will be transferred;

(d) where relevant, the Calling Line Identification of all Communications Services that

will be transferred;

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(e) a reasonable estimate of the Migration Date (including date and time of the day);

(f) the right of the Customer to terminate the contract as set out in Condition 22.5, the

means by which the right to terminate can be exercised and the date by which the

right to terminate must be exercised; and

(g) relevant contact details.

22.11 The Losing Provider must, in accordance with the industry agreed process, send the

End-User a letter, in paper or another Durable Medium. The letter shall set out in

clear, intelligible and neutral terms:

(a) the date of the letter;

(b) that the End-User is transferring their Communications Service;

(c) all Communications Services that will be transferred;

(d) where relevant, the Calling Line Identification of all Communications Services that

will be transferred;

(e) all Communications Services or other types of services that the Losing Provider

reasonably expects to be directly or indirectly affected by the transfer;

(f) all Communications Services that the Losing Provider reasonably expects to

remain unaffected by the transfer;

(g) a reasonable estimate of the Migration Date (including date and time of the day);

(h) an explanation that the transfer will automatically take effect on the Migration

Date and that no contact is required with the Losing Provider to cancel their existing

service;

(i) an explanation that after the transfer, the Customer will receive a final bill including

any Early Termination Charge that is due;

(j) an explanation of the applicable Early Termination Charge as set out in the

contract;

(k) the means by which the Early Termination Charge must be paid;

(l) the amount of the Early Termination Charge due at the expected Migration Date;

(m) where applicable, the impact of the transfer on the prices of all continuing

Communications Services; and

(n) relevant contact details.

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22.12 The letters under Conditions 22.10 and 22.11 must be sent by normal post, unless

the Customer has explicitly agreed to receive correspondence electronically, such as

through verbal consent in a call or through electronic confirmation when ordering

online.

Simultaneous transfers

22.13 Where a Gaining Provider elects to co-ordinate a Communications Provider Migration

on behalf of a Customer who has requested to transfer to Broadband and Fixed-line

Telecommunications Services provided by it over the same line, it shall submit to

Openreach an order for the simultaneous transfer with minimal loss of service of both

Communications Services.

Reactive save

22.14 Where the Losing Provider communicates with the Customer in order to comply with

this Condition, it must not make any marketing statements or representations in the

communication which may induce the Customer to terminate their contract with the

Gaining Provider and/or remain in a contract with the Losing Provider.

Communications Provider Migrations without change of location

22.15 In addition to Conditions 22.1 to 22.14, each Communications Provider shall comply

with the provisions of Annex 1 to this Condition in each instance where it is a Gaining

Provider which elects to co-ordinate a Communications Provider Migration on behalf

of a Customer.

22.16 Each Communications Provider shall ensure that the End-User is not required by the

Losing Provider to make contact with it in order for a Communications Provider

Migration falling within Condition 22.15 to be put into effect.

22.17 Without prejudice to the generality of paragraph 22.16, a Losing Provider shall not

require, in particular, the granting of consent by it, nor the provision of any

information (such as a MAC) by it to the End-User, in order for a Communications

Provider Migration falling within Condition 22.15 to be put into effect.

22.18 Conditions 22.15 – 22.17 only apply where the Communications Provider Migration

does not involve a change of the location where the Communications Services are

supplied.

Home-moves

22.19 In addition to Conditions 22.1 to 22.14, each Communications Provider shall comply

with the provisions Annex 2 to this Condition, in each instance where it is a Gaining

Provider which elects to carry out a Working Line Takeover pursuant to a Home-

Move Request.

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General requirements

Responsibility

22.20 Where Communications Providers engage representatives or agents, they shall

procure that such representatives or agents comply with the requirements of this

Condition.

Training

22.21 Communications Providers must ensure that their staff or any representatives of any

agency engaged by them, are appropriately trained to comply with this Condition.

Monitoring

22.22 Communications Providers must monitor, including conducting regular audits, their

compliance with this Condition, including compliance on their behalf by any

representatives or agency engaged by them, and take appropriate steps to prevent

the recurrence of any problem(s) identified.

Publication of Information

22.23 Communications Providers must:

(a) publish a copy of this Condition, or a link to a copy of this Condition, published on

Ofcom’s website, in an easily accessible and reasonably prominent manner on their

website or, where there is no such website, by making it available in their registered

office during normal office hours for inspection free of charge by members of the

general public; and

(b) provide a copy of this Condition to the Customer free of charge upon reasonable

request.

Effect

22.24 The obligations set out in this Condition shall apply from (and including) the Effective

Date.

Definitions

22.25 For the purposes of this Condition and Annexes 1 and 2 to this Condition:

(a) “Access Network” means the Electronic Communications Network which runs

from a Local Access Node to a network termination point on an End-User’s premises

and which supports the provision of copper-based access services and fibre-based

access services to End-Users;

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(b) “Address” means a UK postal address;

(c) “BT” means the BT Group plc;

(d) “Broadband Services” means all DSL (including FTTC) services which are

capable of supporting always-on services that provide the End-User with high data

transfer speeds, excluding services provided over a Cable Network;

(e) “Cable Network” means a hybrid fibre-coax Electronic Communications Network

that uses a combination of optical fibres and coaxial cable;

(f) “Calling Line Identification” means a facility that enables identification of the

number from which a call is being made or to which a return call could be made;

(g) “Cancel Other” means the industry term for a functionality that enables the

Losing Provider to cancel, during the Transfer Period, a Transfer Order placed by the

Gaining Provider;

(h) “Communications Provider” means a person who provides Communications

Services;

(i) “Communications Provider Migration” means a process by which an End-User

or Customer transfers from Communications Services supplied by one

Communications Provider to Communications Services provided by another

Communications Provider;

(j) “Communications Service” means a Broadband Service and/or a Fixed-line

Telecommunications Service;

(k) “CPS (Carrier Pre-Selection)” means a facility which allows a customer of a

Publicly Available Telephone Service to select a provider designated in advance to

apply on every occasion where no other providers have been pre-selected for the

use of a telephone number;

(l) “Customer” means a person who is an End-User of Communications Services

provided by a different Communications Provider or a person who is seeking to

become an End-User of a Communications Provider;

(m) “DSL (Digital Subscriber Line)” means a family of technologies generically

referred to as DSL, or xDSL, capable of transforming ordinary phone lines (also

known as ‘twisted copper pairs’) into high speed digital lines;

(n) “Durable Medium” means any instrument which enables the Customer or End-

User to store information addressed personally to him in a way accessible for future

reference, for a period of time adequate for the purposes of the information, and

which allows the unchanged reproduction of the information stored, excluding SMS;

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(o) “Early Termination Charge” means the charge payable by the End-User for the

termination of the contract before the end of the minimum contract period;

(p) “End-User” means a person, other than a Communications Provider, who:

(i) is party to a contract with the Communications Provider for the provision of

Communications Services, and;

(ii) is not acquiring the Communications Services in respect of an undertaking

carried on by him for which more than ten individuals work (whether as

employees or volunteers or otherwise);

(q) “Effective Date” means [date to be inserted in the final condition; X months from

date on which modifications are made];

(r) “Failure to Cancel” means failure by the Gaining Provider to cancel a Transfer

Order, after a request from the Customer during the Transfer Period;

(s) “Fixed-line Telecommunications Services” means narrowband calls and lines

services provided to an End-User or Customer that allow for the transfer of speech

communications, and other forms of communications such as facsimile and data;

(t) “FTTC (Fibre-To-The-Cabinet)” means an Access Network consisting of optical

fibre extending from the access node to the street cabinet;

(u) “Gaining Provider” means:

i. the Communications Provider to whom the End-User or Customer is

transferring; or

ii. the Communications Provider to whom the Inbound Customer or End-User

makes a Home-Move Request;

(v) “Home-Move Request” means a request by an Inbound Customer or End-User

to begin acquiring one or several Communications Services over the Target Line;

(w) “Inbound Customer or End-User” means the Customer or End-User who is

moving into the Target Address;

(x) “Incumbent Communications Provider” means the Communications Provider

who supplies Communications Services to the Incumbent End-User over the Target

Line;

(y) “Incumbent End-User” means the End-User who is moving out of the Target

Address;

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(z) “Losing Provider” means the Communications Provider from whom the End-

User or Customer is transferring;

(aa) “MAC (Migration Authorisation Code)” means a unique code used to identify

a Broadband Service that is intended to be transferred from one Communications

Provider to another Communications Provider;

(bb) “MDF” means the metallic distribution frame;

(cc) “Migration” means one or more of the following processes by which:

i. the Communications Provider transfers from one Communications Service

to another Communications Service;

ii. an End-User transfers from one Communications Service to another

Communications Service;

iii. an End-User or Customer transfers from Communications Services

supplied by one Communications Provider to Communications Services

supplied by another Communications Provider (“Communications Provider

Migration”);

iv. an End-User or Customer transfers from Communications Services

supplied by a Communications Provider at one location to Communications

Services supplied by the same Communications Provider at a different

location.

(dd) “Migration Date” means the date on which the transfer of the Communications

Service or takeover of the Target Line will be effected, at which point the End-User’s

Communications Service will commence being provided to the End-User by a

different Communications Provider or at a different location;

(ee) “MPF (Metallic Path Facility)” means a circuit comprising a pair of twisted

metal wires between an End-User’s premises and a main distribution frame that

employs electric, magnetic, electro-magnetic, electro-chemical or electro-mechanical

energy to convey signals when connected to an Electronic Communications Network;

(ff) “Narrowband” means the services provided over a traditional Public

Communications Network, excluding services provided over a Cable Network;

(gg) “Notification of Transfer” means a process by which an End-User or

Customer transfers from the Communications Services provided by one

Communications Provider over a WLR, MPF or SMPF line to Communications

Services provided by another Communications Provider over that same line;

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(hh) “Openreach” means the BT group business offering Communications

Providers’ products and services that are linked to BT’s nationwide Access Network;

(ii) “Slamming” means where a request for a CPS, WLR, SMPF and/or MPF has

been made, or a Transfer Order or a Working Line Transfer Order has been placed

on Openreach, without the Customer’s express knowledge and/or consent; that is in

the following circumstances:

i. where the Customer has never contacted, or has never been contacted by,

the Gaining Provider;

ii. where the Customer has contacted, or has been contacted by, the Gaining

Provider, but has not given the Gaining Provider authorisation to transfer

some or all of their Communications Services;

iii. where the Customer has agreed to purchase a product or service from the

Gaining Provider and the Gaining Provider has submitted an order for a

different product or service which the Customer has not agreed to purchase;

or

iv. where the Customer has agreed to transfer some or all of their

Communications Services to the Gaining Provider having understood as a

result of a deliberate attempt by the Gaining Provider to mislead, that they are

making an agreement with a different Communications Provider;

(jj) “SMPF (Shared Metallic Path Facility)” means access to the non-voiceband

frequencies of the MPF;

(kk) “SMS (Short Message Service)” means a text message delivered to the

handset of an End-User or Customer who acquires Publicly Available Telephone

Services, or, if SMS is superseded or withdrawn, an equivalent text communication

sent directly to the handset of an End-User or Customer who acquires Publicly

Available Telephone Services;

(ll) “Target Address” means the address where the Target Line is situated;

(mm) “Target Line” means the working WLR, MPF or SMPF line to which a

Customer request for a Migration, or a Home-Move Request, refers;

(nn) “Transfer Order” means an order submitted by, or on behalf of, the Gaining

Provider to Openreach, or other applicable wholesaler, requesting for the Target Line

to be transferred from the Losing Provider to the Gaining Provider;

(oo) “Transfer Period” means a period of 10 Working Days before a Customer’s

Order can be activated;

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(pp) “WLR (Wholesale Line Rental)” means a regulated wholesale service sold by

BT, which is used by the Communications Provider to provide retail customers with

exchange lines and in turn, access to other narrowband telephone services (for

example, telephone calls, facsimile and dial-up);

(qq) “Working Day” means the hours between 09.00 – 17.00 on Monday to Friday,

with the exception of Bank Holidays;

(rr) “Working Line Takeover” means a process by which a Communications

Provider takes over a WLR or MPF line in order to provide Communications Services

to the Inbound Customer or End User, where that line is being used by that same or

a different Communications Provider to supply Communications Services to the

Incumbent End-User; and

(ss) “Working Line Takeover Order” means an order submitted by, or on behalf of,

a Gaining Provider to Openreach, requesting for the Working Line Takeover of the

Target Line.

Annex 1 to Condition 22

Notification of Transfer

A1.1 Where a Gaining Provider elects to co-ordinate a Communications Provider Migration

on behalf of a Customer who has requested to transfer to a Communications Service

supplied by it, that Gaining Provider shall, within a reasonable time, ensure a

Transfer Order is placed.

Cancel Other

A1.2 The Losing Provider shall only be permitted to use Cancel Other in the following

circumstances:

(a) where Slamming has occurred;

(b) at the Customer’s request, where the Gaining Provider has failed to cancel the

Transfer Order after being directed by the Customer to do so (“Failure to Cancel”);

(c) where the telephone line is or will be, ceased during the Transfer Period (“Line

Cease”);

(d) for other specified reasons not related to a Customer’s request to cancel a

transfer, as agreed by the relevant industry forum and approved by Ofcom; and

(e) in such other circumstances as defined by Ofcom.

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A1.3 Before using Cancel Other in cases of Slamming and/or Failure to Cancel, the Losing

Provider shall take reasonable steps to establish that Slamming and/or Failure to

Cancel has actually taken place.

A1.4 After using Cancel Other, the Losing Provider shall confirm the cancellation of the

order by Durable Medium to the Customer, unless this is not possible or appropriate,

including where the Customer is deceased.

A1.5 The Losing Provider shall record its reasons for using Cancel Other in each case,

selecting the appropriate reason code from a list corresponding to permitted use of

Cancel Other and consistent with Condition 22.25 (ii)(i) to (iv), as agreed by the

industry and approved by Ofcom.

Annex 2 to Condition 22

Working Line Takeovers

A2.1 Where a Gaining Provider elects to carry out a Working Line Takeover pursuant to a

Home-Move Request that Gaining Provider shall ensure a Working Line Takeover

Order is placed.

Asset identification

A2.2 Before a Working Line Takeover Order is placed, a Gaining Provider shall take

reasonable steps, having regard to industry best practice, to identify the Target Line.

A2.3 A Gaining Provider may only place a Working Line Takeover Order if it has identified

an exact match for the Target Line.

Notification Letter

A2.4 After being notified of the Working Line Takeover Order, the Incumbent

Communications Provider shall send the Incumbent End-User a letter, in accordance

with the industry agreed process, in paper or another Durable Medium, which clearly

sets out:

i. the date of the letter;

ii. a notification that a third person has indicated that they are moving to the Target

Address and want to take over the Target Line;

iii. all Communications Services directly affected by the Working Line Takeover;

iv. where relevant, the Calling Line Identification of all Communications Services that

are directly affected;

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v. the expected Migration Date;

vi. that the End-User should notify the Incumbent Communications Provider if they

are not moving out of the Target Address or if they expect to move at a later date

than the expected Migration Date;

vii. the relevant contact details.

A2.5 The letter must be sent by post, unless the Customer has explicitly agreed to receive

correspondence electronically, such as through verbal consent in a call or through

electronic confirmation when ordering online.