CONSULTATION PAPER NO. 2001/2

                      TELECOM REGULATORY AUTHORITY OF INDIA

                               CONSULTATION PAPER

                                       ON

                    "INTERNATIONAL LONG DISTANCE SERVICES"
                    -------------------------------------




                          3rd September 2001, New Delhi






                                     PREFACE

1.    Following the announcement  under the New Telecom Policy (NTP) 1999 that
      international  Long  Distance  (ILD)  Service  would be opened  up,  the
      Government has more recently  announced that this Service will be opened
      up for private  participation  from 1st April,  2002. The Government has
      sought TRAI's  Recommendations  on the  modalities for opening up of the
      ILD  Service  with  specific  reference  to certain  key  issues.  These
      include terms and  conditions of the license,  number of players in this
      field,  selection  criteria,  license fee  structure  and other  license
      conditions.

2.    In our country,  liberalization of the telecommunications sector started
      in the early I 990s.  The opening up of Cellular  Mobile  Service sector
      was followed by private  participation in Basic Service and the National
      Long  Distance  Service  Sectors.  While the  liberalization  of the ILD
      Sector  raises  some  issues  similar to those  arising  in these  other
      cases,  it  also  raises  certain  policy  issues  specific  to the  ILD
      Service.  Until some years ago, most  countries  operated  International
      Services  through  Government  owned  monopolies  and used the surpluses
      from this as well as Domestic Long Distance  Services to subsidize Basic
      Services.  The situation has now changed in a large number of countries,
      following adoption by them of other  accommodating  policies,  including
      tariff  re-balancing  and more detailed  interconnection  regime.  As we
      proceed  to  liberalize  the ILD  sector in  India,  here too we need to
      consider  these  aspects  of the  matter.  In the area of  International
      Services,  some additional  policy  considerations  become very relevant
      due to aspects such as  call-back,  bypass and the fact that not all the
      revenues are generated domestically.

3.    The TRAI has identified the following  issues as key determinants of the
      policy regime under which the ILD Service Sector will be liberalized:
      (a)   Type and nature of competition
      (b)   Selection criteria
      (c)   Types of services to be permitted
      (d)   Terms and Conditions of the license
      (e)   License Fee Structure
      (f)   Carrier  selection,  interconnection  regime  and other  technical
      issues

4.    This paper gives  information on the existing global scenario  regarding
      the ILD Sector,  and provides a background for  considering  the various
      policy/operational  issues  relating to the ILD Sector.  Each Section of
      the paper ends with a list of questions  addressing  various issues that
      need to be  addressed by TRAI before the  recommendations  sought by the
      Government  are  provided.  The  objective  is to  solicit  the views of
      various stakeholders  including Service Providers,  Consumers,  Consumer
      Organizations or anybody else interested in the subject.

5.    Since  the  Recommendations  t~  the  Government  are  to be  made  in a
      time-bound  manner,  we would like to have the comments and views on any
      or all issues  raised in this paper on or before 30TH  SEPTEMBER,  2001.
                                                       ----------------------
      For further clarifications,  Adviser (Fixed Network Division),  TRAI may
      be  contacted on telephone  number:  6166930.  The fax number is 6103294
                                           -------                     -------
      and e-mail is:  TRAI@DEL2.VSNL.NET.IN.  Submissions  in electronic  form
                      ----------------------
      would be appreciated.
                                                                Sd/-

                                                         M. S. Verma
                                                         Chairman






New Delhi
3rd September, 2001
                                     LIST OF CONTENTS

SECTION                      TOPIC                          PAGE NUMBER
1                 INTRODUCTION                                   1
 2                GLOBAL SCENARIO                                 3
 3                TERMS AND CONDITIONS OF LICENSE                15
 4                LEVEL OF COMPETITION                           20
 5                SELECTION CRITERIA                             26
 6                STRUCTURE OF THE LICENSE FEES                  29
 7                TECHNICAL ASPECTS                              32







                INTERNATIONAL LONG DISTANCE CARRIAGE SERVICES

                          1   INTRODUCTION

1.1 For opening up of the Telecom Service Sector, policy makers generally
consider the Local, National Long Distance and International Long Distance
Networks segments as separate entities. The sequence in which these three
segments are opened up for private participation varies from country to country.
However, a large number of countries have either introduced or are considering
to introduce competition in the International Long Distance Service sector, as
it is considered to be one of the most lucrative segments of the Telecom
Network, where private sector participation can benefit the customer in terms of
price reduction and improvement of Quality of Service (QOS).

1.2 In our country, the liberalisation process in the Telecom Service sector
started in early 1 990s. Liberalisation in the Cellular Mobile preceded that in
Basic Services, and the National Long Distance Services (NLD) sector is now
being opened up. The Government has now decided to open up the International
Long Distance Segment of the Telecom Service sector and has sought
Recommendations of TRAI on the issue of ILD License. Annexure l contains the
Government's reference to TRAI on this matter, which seeks recommendations on:

a)    Terms and conditions of the license

b)    Number of players in this field

c)    Selection criteria
d)    License fee structure

1.3 The Government has already made the policy decision that the International
telecom sector will be opened up for private participation. In this context, one
of the important questions to be considered will be to examine, what kinds of
services may be allowed to be provided by the ILDO. For example, should the ILD
License provided under the liberalised environment include in addition to
Telephony Services, Lease Line Services and Multi-Media Services including data
and video services. Likewise, there is a need to consider the Nature of
Competition and Number of ILDO Operators, Conditions for Eligibility and
Selection of Operators, License Fee Structure and Technical Aspects.

1.4 Chapter 2 gives information on the Global Scenario, and provides a
background for considering the various policy matters raised in this paper.
Chapter 3 discusses the issues relating to Terms and conditions of License.
Chapter 4 addresses the issue of Level and Nature of Competition, e.g. the
number of International Long Distance Service Providers. Selection Criteria are
covered in Chapter 5, Chapter 6 discusses the Structure of License Fees, and
some technical issues are raised in Chapter 7. Each Section contains at the end
a list of questions which address the various policy matters that need to be
considered for meking policy recommendations with respect to liberalisation of
the ILD sector in India.






                              2. GLOBAL SCENARIO

2.1 This Section provides a background to a number of policy considerations that
are relevant to liberalisation of the International Long Distance sector. This
background is provided in terms of the global scenario pertaining to these
maters. Before proceeding with these details, it would be useful to take a look
at the Network statistics of the incumbent Indian international Long Distance
Operator, namely, VSNL, which are indicated in the Table 1 below:

TABLE 1.    VSNL'S PAID MINUTES AND NETWORK STATISTICS, 1995-96 TO 1999-2000

  ------------------------------------------------------------------------------
  SI      Item                   95-96    96-97     97-98    98-99     99-2000
  No

  1.      Telephone   Paid       114.8    138.5     168.5    193.5     224.6
          Minutes(in Crores)

  2.      Transit Paid           0.670    0.524     0.745    0.905     0.427
          Minutes
          (in Crores)
          Number of Internet.    4151     20042     90042     213045    366432
          Users

  4.      Number of              12873    14184     15431    17922      19722
          International
          Telephone Circuits

  5.      Number of              245      402       603      661       659
          High Speed Data
          Circuits

  6.      Total International    4473     5285      6436     7176      7230
          Operator's (i.e.
          VSNL's Revenue (in
          Rs. Crores)
  ------------------------------------------------------------------------------
      Source:  VSNL Annual Reports

BACKGROUND

2.2 Until recently most countries operated international Services through
Government owned monopolies and used the profits from Long Distance Services to
subsidise Basic Servi~es i.e., Local rental and call charges. In many countries
such as Japan (KDD), Australia (OTC), India (VSNL), Thailand (CAT), the monopoly
ILD Services were operated by an entityo different from the National Telecom
Operator. In a number of Commonwealth countries, a private company, Cable and
Wireless, operated the Services either under license or in partnership with the
Government. In our neighbouring countries, such as Myanmar, Sri Lanka and in
certain African countries like Zimbabwe etc., the National PSTN Operator also
operated the International Services. In the 1990s, when the telecom reform
process gained momentum, some countries permitted competition by licensing a
second Operator to offer International Services; e.g Satel Indo (Indonesia
1994), China Unicorn (China 2000). In some countries, the incumbent National
PSTN Operator was allowed to enter the International market as a second operator
e.g., Telstra in. Australia; NTT Japan (1998). In some instances, this was done
indirectly by enlarging the scope of the licenses of the existing Cellular or
PSTN Operator to include ILD Operations like in Zimbabwe and Uganda.

2.3 During the 1990's, particularly in the second half of the decade, there has
been a sharp rise in the number of countries that have introduced competition in
the ILD sector, and the policy regime has allowed much larger number of
operators, including open competition. This can be seen from Table 2 below.

TABLE 2.    COUNTRIES WHICH HAVE ALLOWED  COMPETITION IN THE ILD SECTOR,  1990
TO 1998

            1990                      1995                      1998

 Japan, New Zealand,        Japan, New Zealand,       Japan, New Zealand,
 UK, USA                    UK, USA                   UK, USA
                            Australia, Canada,        Australia, Canada,
                            Columbia, Chile,          Columbia, Chile,
                            Denmark, Finland,         Denmark, Finland,
                            Korea, Malaysia,          Korea, Malaysia,
                            Philippines, Sweden       Philippines, Sweden
                                                      Austria, Belgium,
                                                      Brunel, DPR Congo,
                                                      Dominican, Republic, El
                                                      Salvadore, France,
                                                      Germany, Ghana,
                                                      Guatemala, Hong Kong
                                                      (China), Indonesia,
                                                      Ireland, Israel, Italy,
                                                      Mexico, Netherland,
                                                      Norway, Peru, Russia,
                                                      Somalia, Spain,
                                                      Sweden, Switzerland,
                                                      Uganda, Ukraine

 Share of above four        Share of above fourteen   Share of above thirty
 countries in ILD           countries in ILD          nine countries in ILD
 originating traffic: 35%   originating traffic: 46 % originating traffic: 74%

 Source: ITU

2.4 A number of salient features emerge when we consider the countries that have
opened their 1LD sector to competition.

   (A)COUNTRIES THAT HAVE INTRODUCED COMPETITION IN ILD INCLUDE BOTH THOSE WITH
       LARGE AS WELL AS SMALL SHARES IN GLOBAL INTERNATIONAL TRAFFIC

2.5 Table 3 below shows the top 20 ILD operators in terms of total traffic in
1998. While most of the companies in this list are from countries mentioned in
Table 2 above, we also have companies from China, Saudi Arabia, and India, i.e.
countries which do not figure in Table 2. The top 20 companies account for a
bulk of the global ILD market, and a comparison of Tables 2 and 3 shows that
there are several countries in Table 2 which have allowed open competition
without necessarily a large presence in world ILD sector.

2.6 Table 3 shows that the Indian ILD operator, VSNL, is also in the top 20
operators of international traffic. This is mainly because of the incoming
traffic, which far outweighs the importance of outgoing traffic for VSNL. For a
comparison, the top 20 ILD operators in terms of outgoing international traffic
are shown in Table 4 below.






  TABLE 3. TOP 20 INTERNATIONAL TELECOMMUNICATION OPERATORS RANKED BY 1998 TOTAL
  MINUTES (OUTGOING PLUS INCOMING) MINUTES OF INTERNATIONAL TELEPHONE

                                     TRAFFIC



         Operator (Country)  International telephone traffic, minutes 1998         International
                                                                                   telecom revenue
                             Both ways         Outgoing         Incoming           Total   Change
                             Total    Change   Total   Change   Total       Change (US $   (97-98)
                             (m)      (97-98)  (m)     (97-98)  (m)         (97-98)  m)
                                                                       
1        AT&T (United        15,113       4.0% 10,452      1.2%  4,661       11.0% 7,533      -9.8%
         States)
2        Deutsche Telekom    10,747       3.0%  4,711     -2.1%  6,036        7.4% 3,357     -16.4%
         (Germany)
3        MCI WorldCom        10,257       2.0%  7,195     -1.6%  3,062       11.6% 4,243     -10.5%
         (United States)
4        France Telecom       7,300       9.0%  3,400      9.7%  3,900        8.3% 1,859     -17.3%
         (France)
5        BT (United Kingdom)  6,350      10.2%  2,710      4.5%  3,640       14.9%   924     -14.2%
6        Telecom Italia       5,289       9.5%  2,339      5.9%  2,950       12.6% 1,438       0.6%
         (Italy)
7        Sprint (United       4,795       6.4%  2,916      4.4%  1,879        9.8%18,202       1.1%
         States)
8        DGT (China)          4,212       4.5%  1,712      4.9%  2,500        4.2% 2,200       3.0%
9        Hongkong Telecom     3,818       3.8%  1,718     -2.1%  2,100        8.2% 1,995     -17.7%
         (Hongkong Sar)
10       Tselefonica (Spain)  3,704      16.1%  1,803     15.1%  1,901       17.0%   813      -3.9%
11       Swisscom             3,680       -     1,901     -2.9%  1,779        3.3% 1,379       2.2%
         (Switzerland)
12       KPN (Netherlands)    3,443       6.0%  1,606      4.6%  1,837        7.3%   847     -23.6%
13       Telmex (Mexico)      3,286     -12.8%    880    -12.8%  2,406      -12.8%   879     -24.3%
14       C&W Com. (United     2,670      36.2%    971     27.3%  1,699       41.8%     0      36.0%
         Kingdom)
15       Belgacom (Belgium)   2,621       0.0%  1,271     -5.1%  1,350        5.3%   548      22.2%
16       PTA (Austria)        2,270      16.2%  1,130     13.5%  1,140       19.0%   424       2.0%
17       Singapore Telecom    2,251      25.6%  1,161     23.2%  1,090       28.2% 1,267       7.3%
         (Singapore)
18       KDD (Japan)          2,200       3.3%  1,105      0.2%  1,095        6.6% 1,903      -5.0%
19       Teleglobe (Canada)   1,905       3.1%  1,145      3.0%    760        3.2%   631     -18.3%
20       VSNL (India)         1,679      21.2%    422      9.6%  1,257       25.7% 1,600      11.8%
         Top Twenty          99,062       6.0% 51,252      2.7% 47,810        9.7%35,660      -7.3%

      Source:  ITU for Tables 3 and 4


  TABLE 4. TOP 20 INTERNATIONAL TELECOMMUNICATION OPERATORS RANKED BY 1999
  -------------------------------------------------------------------------
                  MINUTES OF INTERNATIONAL OUTGOING TRAFFIC
                  -----------------------------------------




       Operator (Country)                    International       International telecom
                                           Outgoing Telephone           Revenue
                                                Traffic
                               Fiscal    (Million)         %                  %     As % of
                               Year                      Change            Change    total
                                                        1998-99 (M US $)  1998-88   telecom
                                                                                    revenue
                                                                   
1      AT&T (United States)    31 Dec     10,900.0       4.3%   4,921.0     -7.7     7.9%
2      MCI WorldCom (United    31 Dec      8,306.0      15.4%   3,489.0     27.1     8.6%
       States)
3      Deutsche Telekom        31 Dec      3,860.0     -18.1%   1,493.5    -53.1     8.0%
       (Germany)
4      Sprint (United States)  31 Dec      3,640.0      24.8%     825.0    -10.5     4.1%
5      France Telecom (France) 31 Dec      3,200.0      -5.9%   1,333.5    -24.7     4.6%
6      BT (United Kingdom)     1 Apr       2,679.0      -3.9%   1,143.5    -10.9     4.6%
7      Telecom Italia (Italy)  31 Dec      2,390.0       2.2%   1,359.2     -9.4     4.7%
8      Tselefonica (Spain)     31 Dec      1,935.0      14.5%     836.4      7.8     3.4%
9      China Telecom (China)   31 Dec      1,760.0       2.8%   1,703.5    -26.2     6.2%
10     Hongkong Telecom        1 Apr       1,668.3      -0.8%   2,005.7    -17.9    55.0%
       (Hongkong Sar)
11     KPN (Netherlands)       31 Dec      1,625.0       1.6%     756.5     -6.1     7.8%
12     Swisscom (Switzerland)  31 Dec      1,440.0     -24.3%     875.3      2.5    11.8%
13     Belgacom (Belgium)      31 Dec      1,288.0       1.3%     601.9    -11.5    14.6%
14     PTA (Austria)           31 Dec      1,178.0       4.2%     386.7     -4.3     9.8%
15     Teleglobe (Canada)      31 Dec      1,130.0      -1.3%     423.3    -32.8     -
16     KDD (Japan)             1 Apr       1,096.2      -1.4%   1,458.8    -19.3    27.8%
17     Telmex (Mexico)         31 Dec      1,063.1       3.9%   1,206.9     27.2    12.0%
18     Etisalat (United Arab   31 Dec        963.3      10.1%     583.4     14.3    34.6%
       Emirates)
19     STC (Saudi Arabia)      31 Dec        932.6      16.4%       -        -       -
20     Chungwa Telecom         30 Jun        897.5       8.7%   1,303.1     55.4    21.2%
       (Taiwan-China)
       TOP 20                             51,952         2.7%  26,706.2    -10.3










      (B)   A POLICY OF OPEN COMPETITION  DOES NOT NECESSARILY  IMPLY A LARGE
      ------------------------------------------------------------------------
            NUMBER OF OPERATORS
            -------------------

2.7 The fact that the policy regime allows open competition does not necessarily
imply induction of a large number of ILD operators in this sector. Table 5 below
shows that the number of ILD operators may be similar for both those countries
which have allowed open competition and others. Hence, it is noteworthy that the
number of operators depends not only on the policy regarding open competition
but also on economic factors, such as the market size, and the terms and
conditions of entry and operation.

TABLE 5.      NUMBER OF INTERNATIONAL LONG DISTANCE OPERATORS WITH

              SIGNIFICANT MARKET SHARE IN SOME COUNTRIES

COUNTRY                     NO. OF
                            OPERATORS  NAME OF OPERATOR

Australia                   2          Telstra, Optus

China                       2          China Telecom; China Unicorn

Korea                       3          Korea Telecom
                                       DACOM Corporation
                                       ONSE Telecom

Japan                       3          Kokusai Denshin Denwa Co Ltd., (KDD)
                                       International Telecom Japan Inc (ITJ)
                                       International Digital Communications Sinc
                                        (IDC)

UK                          3          British Telecommunications plc, C&W Comm,
                                       Kingston Communication (Hull) plc

USA                         5          AT&T, MCI Worldcom, Sprint, WorldxChange,
                                       Pacific Gateway Exchange Inc.

Indonesia                   2          PT Indosat; PT Satelindo

   Source:  APT H

2.8 Another noteworthy feature in this regard is that even if the number of
licensees may be large, the actual number of service providers are not as many.
For instance, if we consider the situation in the European Union, as on 1st
August 1999, there were 490 Operators authorised to offer International Network
Services, but only 187 were actually offering these services (please see Table 6
below).

 TABLE        6. NETWORK OPERATORS AND SERVICE PROVIDERS WITH LICENSE FOR
              INTERNATIONAL LONG DISTANCE SERVICES IN EUROPEAN UNION AS ON 1ST
              AUGUST 1999 AND PROVIDING ONE OR MORE OF THE LICENSED SERVICES

Country        Network Operators and     NetworkOperators and Service Providers
               Service Providers         actually offering one or
               authorised to offer       more Licensed
               Services

Belgium                   25                        11
Denmark                    4
Germany                   10                         2
Greece                     1                         9
Spain                     14                         1
France                    15                         2
Ireland                   21                        15
Italy                      4                        11
Luxemburg                 15                         4
Netherland                82                         4
Austria                   33                        63
Portugal                  10                         0
Finland                   18                        16
Sweden                    59                         1
UK                        179                       41


Note: In  European  countries,  there are two type of Licenses  i.e.,  one for
facilities  based  operation  and the second only for Service  provision.  The
latter are a kind of resellers of call minutes.  In some countries,  Operators
have common License for all Services.

2.9 Table 6 includes Network Operators who install, manage and operate their own
facilities i.e., Transmission and Switching Systems to provide public telephony/
Network services. Service Providers are a kind of resellers, who purchase
Network capacity i.e., lease line or minutes of use and offer services to their
customers. Operators engaged exclusively in activities like call-back, calling
card operators or billing and marketing of International traffic are not
included in Table 6. However, in certain countries, the total number of
licensees may be over-estimated as a common license is provided to operators
which are allowed to provide a particular service but may plan to remain only in
a limited market segment and not provide all the services that the license gives
it the flexibility to offer.

 (C)COMPETITION IS INTRODUCED THROUGH ILDOS AS WELL AS THROUGH RE-SELLERS
  -----------------------------------------------------------------------


2.10 As indicated in Table 6, a number of countries have also permitted
Resellers or Service Providers in the market. This results in greater
competition in certain regions of the country, depending on the number of
resellers in that region. it also increases the number of the licensees
operating in the country to provide International Telecom Service, thus
providing greater~ choice to the customers.

 (D)TARIFFS HAVE GENERALLY DECLINED FOR INTERNATIONAL TRAFFIC, A TENDENCY
  ------------------------------------------------------------------------
    THAT HAS GOT ENHANCED DUE TO GREATER COMPETITION
    ------------------------------------ -----------


2.11 In general, enhanced competition also implies reduction in tariffs. For the
International telephony sector, this decline has taken place also due to the
tariff re-balancing exercise that is underway in a large number of countries. In
the European Union, the average price of International Long Distance calls
between year 1997 and 2000 has declined by 32% for Residential Users and 34 %
for Business users. Within this period in India, which has the same rate for
business and residential users, International call charges have declined by 32.8
to 34.7% depending upon the ILD category (geographical slab).

 (E)  GROWTH OF OUTGOING MINUTES OF INTERNATIONAL TRAFFIC DIFFERS ACROSS
 -------------- ------------------- -------------------------------------
   COUNTRIES, INCLUDING THOSE WITH OPEN COMPETITION
   ------------------------------------------------


2.12 Though there is a general decline in International tariffs, the outgoing
International traffic has not necessarily increased for all countries, including
some with open competition. This is because the outgoing International traffic
depends also on the relative decline in tariffs in different countries, economic
prosperity of a country, and the possibility of call-back due to arbitrage in
traffic. Thus, while in general there has been an increase in outgoing calls
from countries which have Iiberalised in recent years, this is not a uniform
picture across all such countries (please see Table 7 below).

  TABLE 7.    OUTGOING MINUTES IN SELECTED COUNTRIES WHICH INTRODUCED
  --------------------------------------------------------------------
              COMPETITION BETWEEN 1995 AND 1998 (IN MILLION MINUTES)
              -----------------------------------------------------


COUNTRY              1995                   1998                    1999
Austria                              901                1250                1178
Belgium                             1106                1460                1590
France                              2850                4043                4386
Germany                             5238                5900                7385
HK (China)                          1692                1880                2720
Indonesia                            206                 310                 251
Ireland                              407                 885                1015
Israel                               266                 661                 804
Italy                               1839                2285                2500
Mexico                               950                1316                1563
Netherlands                         1459                1805                2150
Norway                               437                 461                 567
Peru                                  63                  99                 111
Russia                               897                1038                1008
Spain                               1063                1803                1934
Switzerland                         1733                2034                2256


2.13 There are a number of other policy issues which need to be considered in
the context of the Iiberalisatjon of the International telecom sector. These
include, for example, duration of the license, types of "tele" and "bearer"
services permitted for the ILD operator, methods of issuing licenses (bidding,
beauty parade, any other), whether equal ease of access is available to the
subscribers the evolution of the market share of the incumbent after opening up
of the market. These are addressed below.

2.13.1      DURATION OF THE LICENSE

       The duration of license for International Telecom Service may vary from
country to country. For example, New Zealand provides Licenses for unlimited
period. Singapore provides licenses for 10 to 20 years depending upon status as
Reseller or Network Operator. Malaysia provides Licenses fo Network facilities,
Network Services and Content Application Services for 10 years duration. For
application Services it is 5 years.

2.13.2      TYPES OF "TELE" AND  "BEARER"  SERVICES  THAT ARE ALLOWED FOR THE
            ------------------------------------------------------------------
ILD OPERATOR
------------

       Bearer services are a type of telecommunication services that provides
the capability for the transmission of signals between user-network interfaces.
Some of the examples of bearer service include service provided include circuit
switched 3.1 KHz audio bearer service; ISDN user access with circuit switched 64
kbit/s unrestricted and circuit switched 3.1 KHz audio bearer services; and 64
kbit/s, 8KHz structured for speech.

       Teleservices are a type of telecommunication services that provides
complete capability, including terminal equipment functions, for communications
between users according to established protocols. It includes telephone,
telefax, videotex and videotelephony services.

       In conjunction with bearer and teleservices, a set of supplementary
services like Calling Line Identification, call forwarding, call waiting, advice
of charge etc. are also available.

       European Union and many other countries allow various types of
teleservices and bearer services.

2.13.3      WHETHER EQUAL EASE OF ACCESS IS PROVIDED TO SUBSCRIBERS
            --------------------- ---------------------------------



       When multiple operators are part of the market, a level playing field
requires that the subscribers have equal ease of accessing any of the operators.
This may be through dynamic call-by-call selection or through preselection of
the operators by the subscribers. Experience has shown that often the incumbent
is reluctant to introduce Equal Ease of Access, i.e., he does not favour
introduction of additional digits required to be dialled for Carrier Selection
as also Pre-selection. However, in India this process is already progressing in
the National Long Distance Sector. The issue will have to be tackled also for
the ILD sector. The Figure below shows the percentage of population in European
Union countries which have choice of selecting more than one International
Carrier i.e. percentage of population with Equal Ease of Selection in
International Long Distance Services.

                                GRAPHICS OMITTED

2.13.4      THE EVOLUTION OF THE MARKET SHARE FOR THE INCUMBENT AFTER OPENING
            ------------------------------------------------------------------
UP.
--

       By definition, the market share of the incumbent will fall after the
market is opened up. But the extent of this decline can vary, depending on a
number of factors, including the time period of market opening and the
competitive strategies used by the incumbent. Such differences in market share
can be seen in the chart below which provides a view of the Incumbent Operator's
market share in international Long Distance Services in years 1997, 1998, 1999
and 2000 (projected) in various countries of European Union. In certain other
cases, such as for Hong Kong, Japan, and the United States, the decline in
incumbent's market share has been larger than the general picture shown in the
figure below.

                                GRAPHICS OMITTED

            3.    TERMS & CONDITIONS OF LICENSE


3.1   Type of Services and Technologies

3.1.1 In developing countries, including India, more than 90% of international
traffic is at present voice telephony. Volume of telecommunication data traffic
is, however, picking up fast. Voice Services through Internet! packet Networks
are also likely to be offered in a big way in the near future, particularly in
the developed countries. One important policy issue is whether to give different
licenses for Voice and data services or to allow several selected tele and
bearer services under the license of International Long Distance Operators. Yet
another possibility is to adopt a technology neutral approach and grant the
License for bearer Services. Since ILD is essentially a Carriage Service, most
of the developed countries have not specified any teleservice, as these Services
are mainly derived from the Customer's Premises Equipment (CPE), which is
provided by the Access Providers.

3.1.2 Limiting licenses to a specific type of bearer or tele service, may lead
to sub-optimal utilisation of the costly international bandwidth if it involves
building separate international backbones for different tele services, such as
voice, data, video etc. In a highly competitive and rapidly changing technical
environment, Operators may find it difficult to prepare optimum business and
corporate plans if they are restricted to a particular service or technology.
Further, the Licensor and Regulator may find it difficult to monitor violations
of the license conditions. On the other hand, proliferation of technologies can
lead to difficulties in Interconnection arrangements and maintenance of QOS
standards, as some of the nascent technologies do not guarantee Quality of
Services for real time traffic generated by voice and video services.
Unregulated service without any QOS guarantee on a particular segment of the
Network can lead to undesirable commercial practices, and problems for operators
who provide end to end Services.

3.1.3 It is worth careful consideration at this stage as to whether existing
license formats, which specify Network architecture such as PSTN, PLMN and also
protocols such as GSM, CDMA etc, should be adopted for ILD Licenses as well.
Issues like fixation of tariffs for such Services, principles to be followed for
revenue sharing between Interconnecting Operators etc. also require discussion.
While Considerable progress has been achieved in addressing these issues for
PSTN based circuit Switching techniques, there is a need to develop principles
and concepts for packet switching (VOIP) technologies, when they are employed to
carry real time voice.

3.2   Interconnection and Network Definition

3.2.1 International experience shows that in the ILD market, both Facility based
and Non-Facility based Operators have been permitted in a number of countries.
The latter are called Re-sellers or Virtual ILDOs. Generally in developing
countries where infrastructure availability is restricted, re-sellers as ILDOs
were not permitted in the first phase of opening up of the ILD market.

3.2.2 The Interconnection issues depend on the nature of the Network
architecture allowed for ILD Operators. Three possible options in this regard
are the following:

      a)    Configuration I

      The scope of International Long Distance Network is defined as consisting
of International Gateway Switches, International Circuits and National
connectivity to the nearest gateway switch of the NLDOs, as shown in the Figure
"I" in Annexure II.

      b)    Configuration II

      The scope of International Long Distance Network is defined as consisting
of International Gateway Switches International Circuits and National
connectivity to the Access Providers at the Telecom Circles through leased
lines, as shown in the Figure "II" in Annexure II. It would. then by-pass the
network of NLDOs. This may create some techno-legal problems.

      c)    Configuration iii [Existing VSNL configuration]

      VSNL, the incumbent International Long Distance Operator has International
Gateway switches at all Metro and some other stations like Jallandhar,
Ernakulam, Kanpur and Gandhinagar (Ahmedabad). Generally all Level I TAXs have
direct Routes to more than one Gateway Switch of VSNL. This may appear similar
to a Interconnection with an NLDO. Many of the Level II TAXs also generally have
direct routes to at least one Gateway switch based on traffic and
techno-economic considerations This may appear similar to connectivity to BSOs.
At present VSNL switches do not have direct connectivity to Cellular Networks.
In this approach, we will have to permit installation of International Switches
generally at Level I LDCAs i.e., roughly one in each State. This could result in
by-passing the NLDO's infrastructure giving rise to legal and regulatory issues.

3.2.3 The present Draft License Agreement for NLD Services does not provide for
direct connectivity of ILDOs with Access Providers. NTP'99, however, mentions
about such an option. The Draft License Agreement for new BSOs mentions that for
International Long Distance call, the BSO shall access International Long
Distance Operator through National Long Distance Operator only.

3.2.4 If the lLDQs are permitted to set up multiple gateways and inter-link
them, there may not be much difference between the first configurations above.
It is also noteworthy that any decision in this regard should be considered for
application to VSNL also.

3.2.5 Configuration "I" above could allow the ILDO to provide Services with a
minimum investment i.e. with the establishment of a single gateway switch. All
other facilities could be leased, and as traffic increases, additional gateways
could be established. Number of Point of Interconnections at minimum level could
be specified as one with each NLDO. As such Roll-out could be immediate and
there may not be a need for any mandatory Roll out obligations. 3.2.6 Under
configuration "II" above the ILDO would be able to pick up traffic directly from
the Access Providers, by-passing the NLDO, because the ILDO would establish
Points of Presence (POP) in all territorial Circles where BSOs and CMSPs are
licensed. The ILDO could have various options i.e. to establish POP by leasing
transmission capacity from the NLDO/infrastructure Providers, or lease both
switching and transmission capacity from the NLDO, or to lease switching
capacity from NLDO and transmission capacity from Infrastructure Providers, or
establish its own infrastructure In this configuration, there may be a need to
have Roll-out obligations along with associated time periods so that advantages
of competition to telecom users are not confined to pockets of high revenue
generating Telecom Circles only.

3.2.7 Under configuration "III", the number of Interconnections with the NLDO
and Access Provider's Switches will depend upon traffic thresholds. For example,
if traffic from any Level II TAX station to ILDO justifies direct connectivity
with say a minimum of two 2Mb/s streams, the same will be required to be
provided by ILDO. For all Level I TAXs, direct Route in any case will be
mandatory In this configuration too, there may be a need to have Roll-out
obligations along with associated time periods.

3.3   Time Period of License

3.3.1 Time Frame for the License Should be such that it provides an adequate
time to achieve a reasonable return of investment and to plan for the disposal
of assets. A short license period raises the problem of the disposal of the
Network at the end of the license period. The closure of the business may not
affect users substantially if other ILDOs take over quickly. However, `the
Networks may not be easily disposed off as they are likely to become rapidly
obsolescent because of technology change.

3.3.2 Basic and National Long Distance Services are licensed for a period of 20
years, with a provision for extension of the license period. The issue arises
whether a similar time period should be provided for ILDOs also.

3.4   The discussion leads to following set of questions:

Question 3a) What are the type of tele and bearer Services `that should be
permitted as part of ILD License provided under the liberalised environment?
Considering the fact that tele services are basically derived from bearer
services by the Customer's Premises Equipment (CPE), which is provided by BSOs,
is there a need for the ILD licensee to specify tele services? Will it not be
adequate, if it specifies certain bearer services and otherwise adopts a neutral
approach in so far as specific tele services are concerned?

Question 3b) VSNL has International gateway switches at a few metro cities, such
as Mumbai, Delhi, Chennai, Calcutta etc. Will it be the most appropriate
architecture when there are multiple ILDOs? Should we mandate a similar
architecture for private ILDO?

Question 3c) Three deployment options of interconnectivity, viz a) with NLDOs
only, b) directly with Access Providers, and C) the existing VSNL deployment
practice, have been discussed in the, Consultation Paper? Which of these or any
other should be the preferred option and why?

Question 3d) Should a set of roll out obligations be imposed on ILDOs similar to
the pattern of Basic Service and NLD licenses along with associated penalties
for non-compliance for establishing Services and POPs?

Question 3e) What should be the license period for an ILD License?

4.    Nature of Competition

4.1 Competition in a market depends on the number of players and the flexibility
provided to these players to operate in the market. The determinants of
competition in ILD may be considered in terms of:

a) Type of competition, that is whether only operators or carriers who own
facilities such as switches (POP) be allowed to compete or switchless Re-sellers
of International bandwidth shall also be permitted to enter the ILD market as'
is the practice in developed countries such as USN Canada.

b)    Level of  competition,  i.e.,  whether  we  permit a  limited  number of
players in the first phase and then open up  unlimited  competition  including
Re-sellers in the second phase.

c)    Time period for implementing the policy regime for competition.

 4.2    Type of Competition (ILD Operators! Carriers or Re-sellers):


4.2.1 Competition can be introduced either through Facilities-based or
Non-Facilities Operators. Facilities based competition involves licensing of
Operators, who operate their own facilities. Non-Facilities based competition,
would entail competition by Operators who do not operate their own facilities,
but lease them from facilities based operators.

4.2.2 Three different entities may be considered in this context.

a) International Long Distance Operators (ILDs), who build their own Network to
provide bearer or carriage services to other operators such as NLDOs and Access
Providers.

b)    Switch  based  re-sellers,  who  lease  transmission  systems  from both
International! National Infrastructure providers.

c) Switch-less re-sellers who purchase bulk minutes from International Carriers
and offer Services to their customers i.e. they do not have their own
transmission system or switching system.

4.2.3 ILDO is essentially a Carrier's Carrier. One policy issue to consider is
whether to make it mandatory for the ILDOs to establish switching facilities in
the country. For inland facilities, ILDOs can either build their facilities or
lease them from Infrastructure Providers.

4.2.4 As far as International links are Concerned, the minimum facility required
by a facility based ILDO can be an earth station and gateway switch connected to
the National/International Networks. Non-Facility based Operators can lease
switch as well as circuit capacity from others, basically selling switched
bearer service to other operators such as NLDOs/BSOs/CMSOs.

4.2.5 Availability of adequate wholesale capacity with the existing
Infrastructure Providers or International Backbone Providers are essential
pre-requisites for the introduction of Non-Facilities based competition
International trends show that Re-sellers are generally permitted in more mature
markets, where infrastructure is well developed and tele-density is high. The
consultation process needs to address the option of whether to permit Re-sellers
as the ILD Sector gets opened up, and the appropriate timing of the same.

4.3   Level of Competition

       The level of competition depends on the number of operators in a
particular market. The number of operators may be pre-determined by the
policy-maker in case of limited competition (duopoly/ oligopoly) or left to the
market forces, in the case of unlimited competition. The focus in this paper is
to determine the policy regime regarding the level of competition, because the
actual number of ILD operators in the market does not necessarily depend only on
what the policy permits. This is evident from a comparison of the policy regime
and number of ILD operators in various countries, shown in Section two of this
paper.

4.3.1 Limited Competition:

       We define Limited competition to mean fixing the number of players. This
can lead to Duopoly or oligopoly as described below:

4.3.1.1     Duopoly:

         A duopoly market structure means only two powerful operators A number
   of countries have a duopoly market structure in the first phase of
   liberalisation of the ILD market. The duopoly market structure limits
   competition and provides a profitable market to the new entrant. At the same
   time, by reducing the extent of competitive pressure, the incumbent gets a
   longer time to adjust to the changed environment. However, the prices tend to
   remain higher than under a situation of greater competition and this implies
   a larger burden on the consumer

4.3.1.2     Oligopoly

       In an oligopolistjc market structure normally three or four operators
with significant market power are present. The oligopoly market may arise either
due to the policy maker specifying that only a limited number of operators will
be allowed in the market or because the market may itself give rise to a limited
number of operators under the entry and operating conditions specified by the
policy maker.

       In the latter situation i.e. where the policy maker does not specify a
limit on the number of operators, the focus is not on determining the number of
operators but on the entry and operating conditions. These issues are raised
under the sub-section "Unlimited Competition".

       In oligopoly/ multipoly, the operators face greater competition than
duopoly and therefore have lower profit opportunities. The relatively higher
competition, however, reduces prices faced by Consumers and provides greater
incentives to operators for being innovative in terms of their service and price
packages.

4.3.2       Unlimited Competition or Multipoly

4.3.2.1 In Unlimited competition market forces determine the number of players
which may lead to multipoly i.e. a large number of players and none of them
enjoying a significant market power. The key policy considerations for unlimited
competition include specification of entry conditions, performance obligations
and operational restrictions. Potential Operators will assess. the
attractiveness of the options vis-a-vis the obligations and barriers before
entering the sector.

4.3.2.2 The main reason to specify the entry conditions is to discourage the
entry of operators that are not capable and serious. A disadvantage of such
conditions is that entry costs would add to the cost of service Provisioning.
Also, there is no methodology for fixing the optimal level of entry barriers,
which will complement and not Oppose market forces. The issue of eligibility
criteria is addressed in more detail in the next section.

4.3.2.3 The full competition scenario envisages no entry barriers and licenses
are available on demand. In unlimited competition, competitive forces could
ensure cost-effective methods of delivering Bearer Services, and passing on the
benefits to customers Competitors could apply innovative techniques to capture
market shares. However, unrestricted entry may raise a number of issues
Pertaining to the viability of Operations, appropriate interconnection regime
and regulation of Service Quality and tariffs.

4.4   Time period for implementing the policy regime for competition

      There are two possible ways of introducing greater competition. One isto
phase-in more and more competition in different stages over time. Another is to
allow either unlimited competition or a limited number of ILDOs, say four! five
in the initial phase of opening up the market. While several countries have
increased competition in stages, a number have quickly opened up to unlimited
competition , as shown by the information in Section two of this paper.

4.5 In the light of the discussions in pre-para, the following questions are
brought our for public Consultation:

Question 4a) Should it be mandatory for ILDOs to establish switching facilities
in the country? Should we go in for facilities based competition only?

Question 4b) Should non-facility based competition be permitted? If yes, what
should the terms and conditions for non-facility based Operators or Resellers?
Should Resellers be permitted to purchase switched minutes of call time not only
from ILD Operators (facility based), but also from NLDOs?

Question: 4c) Should there be limited or unlimited competition? In case of
limited competition policy, what should be the mechanism to restrict entries and
is it reasonably possible to arrive at the optimum number of operators in the
ILD segment?

Question: 4d)  If  unlimited   competition   is  introduced   Should  this  be
phased..jn over a specified period or be introduced from the beginning itself?

Question 4e) Should the option of infrastructure leasing include the leasing of
Switching capacity from NLDOS?

5.    SELECTION CRITERION


5.1 The licenses will offer International Long Distance Services exclusivity to
the ILDOs for a given time period. Selection can be through a bidding process,
or alternatively by prescribing and announcing a set of criteria for selection.
Such criteria may include provision of Entry Fee and or Technical and Roll-out
requirements.

5.2   Eligibility Criteria:

5.2.1 Certain eligibility criteria may need to be specified to ensure that
nonserious entities do not enter the market. These criteria may focus on various
attributes such as those specified for the Basic Services and National Long
Distance Operators.

5.2.2 One criteria to consider is whether to allow entry to only those with a'
proven track record in the field of Telecommunication Services. Similarly sound
financial background is another criteria worth considering. Under this criteria,
the promoter of a company may be required to have a combined net worth above a
particular threshold. Adequacy of experience in the field may also be considered
important and thus, for example, it may be required that the applicant or
at-least one or some of the constituents of a group or joint venture having a
certain percentage of the total equity in the applicant company, should have
experience of telecom sector.

5.2.3 An Entry Fee may be considered for the purpose of keeping non-serious
players out. Entry Fees get determined by the policy objectives , including the
competition strategy adopted for the market. In case of limited competition,
Entry Fee may be determined through bidding. in contrast, in the case `of
unlimited competition where licenses are available on demand, Entry Fees may be
pre-decided amounts, to be paid by all licensees. Alternatively, the Entry Fee
could have a linkage to the expected revenues from the licensee's areas of
operations, i.e. it may be fixed considering the market potential.

5.3   Selection Criteria:


5.3.1 The technical proposal may be evaluated on the basis of various criteria
such as Ownership parameters, performance record, sector experience,
transmission facilities, Points of Presence and other parameters considered
relevant by the Licensor! Regulator.

5.3.2 In case limited competition is to be introduced either through duopoly or
oligopoly! multipoly, a detailed evaluation process should be in place to select
and award the Stipulated number of licenses Both the technical and financial
proposals will need to be evaluated After evaluation of the Technical proposals,
the qualifiers may be allowed to bid in accordance with a pre-announced bidding
methodology.

5.3.3 Another issue requiring some consideration is whether there Should be some
disabilities! pre-emptions from Participating in the process of obtaining the
ILDO License For example, should parties having acquired the incumbent's (VSNL)
equity in the course of its disinvestments, be allowed to: bid for this license.
The rationale in Prescribing the disability would be to avoid conflict of
interest as well as concentration of market power.

5.4   In  the  light  of  the  discussions  in  this  section,  the  following
questions come up for discussion

Question: 5a) What Should be the eligibility criteria? Should it include
Financial parameters and minimum experience of ILD operations elsewhere. Should
it also include the combined net worth of promoters above a particular
threshold, a minimum Percentage of stake in the total equity, a Stipulated
number of years of experience in Telecom Service Sector particularly in Long
Distance Operations, or any other criteria?

Question : 5b) In case limited competition is preferred, Should the criteria for
financial selection include both. Entry and Annual License Fees payments?

Question: 5c)  Should an Entry Fee be specified or should it be subject to
bidding? What should be the optimum level of the Entry Fee if it has to be
specified?

Question: 5d) Should the selection criteria include technical parameters? If the
answer is in the affirmative, then what parameters should be included and what
weightage should be given to the parameters taken into account?

Question: 5e)  Should the parties acquiring VSNL equity. through the
disinvestment process, be permitted to obtain licenses for new ILDOs?


6.    STRUCTURE OF THE LICENCE FEES

6.1   General Considerations

         A License Fee having one or more of the following components may be
   prescribed:

i)    One Time Entry Fee

    a)  Operators to pay a Fixed Entry Fee to obtain a license.

    b)  Entry Fee may be linked to roll-out performance

ii)   An Annual License Fee

       An annual License Fee based on a percentage of Gross collected Revenue
       less `Pass-through' revenue is payable

iii)  USO Levy

       USO levy is also applied, either. separately or as part of the annual
       License Fee.

       The details of these components MAY need to be determined by the policy
maker.

6.2   Factors important for consideration of the License Fee Structure
relating to ILD licenses

6.2.1 Till full tariff re-balancing takes place, the International Services will
generally be the most remunerative part of the telecom business. The Opportunity
for business development in the ILD sector is also higher, since a number of
advanced Services are often available with a matching clientele.

However the business scenario is changing with an increase in competition in the
sector, and a decrease in tariff for International calls.

6.2.2 The above factors are relevant in a consideration of the Entry Fee and
Revenue Share License Fee for ILDO.

6.3   Estimating Gross Revenues for License Fee

6.3.1 A definition of adjusted gross revenue for determining License Fee has
already been arrived at in the case of revenue sharing arrangements of NLD
operators. This is the gross collected revenue of the Operator for all licensed
activities less the deductions on account of `pass through' revenue.

6.3.2 This approach, however, is inapplicable in the case of incoming
International calls, because these calls emanate from the Operators in other
countries, and calculating the relevant revenue from these calls may not be a
straight forward exercise. Incoming traffic to India is higher than outgoing
traffic. The settlement regime through accounting rate mechanisms also do not
provide any reliable estimate of total revenues. Call back and Reverse Call
revenues introduce additional complications. For example, it may be Possible for
an ILDO in India to enter into a bi-lateral settlement agreement with a remote
International Operator and thus maximise the amount retained abroad and minimise
the payment to the Indian ILDO.

6.3.3 Based on the above, there may be a need to treat outgoing call revenues
separately from incoming call revenues . The License Fee could be applied
separately for these two type of revenues, For the incoming part, traffic could,
for example, be measured and settlement worked out on the basis of the standard
accounting rates arrived at between VSNL and the other Operators, or some other
alternate formula. One such Possibility is the payment of a fixed license fee on
each unit of incoming call minutes.

6.4   Questions

The following questions emerge from the foregoing discussions:

Question 6a) What factors should be taken into account while determining the
License Fee for ILD operations?

Question 6b) How should License Fee be estimated? For example, should it be a
certain percentage of the ILDO's revenue? Whether this percentage should be the
same as was fixed for NLD Services?

Question 6c) How should the revenue on incoming calls be determined and included
in gross revenue of the ILDO for the purpose of arriving at the license fee
payable by the operator?

7.    TECHNICAL

7.1 All Long Distance Carriers i.e., both National and International, are
examining the technical feasibility of deploying VOIP techniques based on packet
switching instead of PSTN or circuit switching techniques in their Backbone
Network, because of the possibility of sharing the same IP Backbone for both
data and voice. Although this may be effectively implemented in developing
countries after a longer period, in developed countries, the data traffic is
about to overtake voice traffic. The possibility of transmitting voice over
IP-based Networks, with the associated opportunities, such as voice and data
integration, constitutes a milestone in the convergence of the communication
sector. The key issue is that IP-based Networks, are increasingly being used as
alternatives to the circuit-switched telephone Networks and the likelihood of
ILDOs deploying this technology in their Network has to be taken into account.
We discuss the main issues after introducing certain relevant terms in use.

7.2   Terms In Use

7.2.1 Voice-over-IP (VOIP) refers to the transmission of voice, fax and related
Services over packet-switched IP-based Networks. VOIP is different from Internet
Telephony. VOIP is a technology, whereas Internet telephony is a Service,
provided to the public on the Internet. VOIP and Internet telephony are not
permitted in India at present.

7.2.2 The Public  Internet:  (also referred to as the  Internet):  The global,
public,  IP-based  meta-Network  created by the interconnection of many public
and private IP-based Networks.

7.3   Issues Relating to VOIP

       Greater volumes of IP Telephony now travel over managed, private IP
Networks as opposed to the public Internet. It is estimated that the total
volume of Voice over Internet Protocol (VOIP) traffic carried over International
Networks in 2000 may have been around 4 billion minutes, or just over 3 per cent
of the global total. This percentage is much lower for developing countries. IP
based Networks are designed for non real time data traffic and still do not
guarantee QOS for voice. Due to its lower Quality of Service, it is not a
preferred mode when QOS is an important issue.

7.4   Impact of VOIP on the Public Telecommunication Operator

7.4.1 If telephony via internet or VOIP is allowed, one major impact on Public
Telecommunication Operators is likely to be loss of income from International
calls, both direct (loss of collection charges) and indirect (loss of settlement
payments). There are, however, a growing numbers of public Telecommunication
Operators that have chosen to offer IP Telephony Services, even though this may
cannibalise their existing revenue streams. These Operators include Telecom
Egypt, GamTel (Gambia), Matav (Hungary), Cesky Telecom (Czech Republic) and CAT
(Thailand).

7.4.2 Voice over IP (VOIP) gateways can provide not only Basic telephony and Fax
Services but will also enable several value-added Services, e.g., cal!centers,
integrated messaging, least-cost routing etc. These will increase marketing
flexibilities and provide additional sources of revenue. However, VOIP gateways
are largely proprietary products and they do not inter-work if one operator has
one product and the other a different product.

7.5   Interconnection  issues  Two  issues  relating  to  interconnection  are
likely to arise.

7.5.1 Carrier Selection

7.5.1.1 The Telecom users could have the option of selecting the ILDO of their
choice on the pattern of NLDO option recommended by TRAI. Options available
could be Dynamic Carrier Selection (Dial around) in which the Carrier is
selected through a dialling procedure in which `1OXY' is to be dialled after
`00' and prior to International significant number. `XY' would represent the
selected carrier code. Pre-selection is another option in which the user informs
his Access Provider about his choice of the ILDO., and all ILD calls by the user
automatically get transferred to the chosen ILDO.

7.5.1.2 To enable the ILDO to collect traffic, the user should be able to
express a choice of the carrier. Difficulties, however, arise in permitting a
simultaneous choice of the ILDO and NLDO. These difficulties relate to existing
limitations in storage and analysis of the additional digits required for
Carrier Selection. At present, it is difficult to provide for a selection of the
ILDO and the choice would have to be left to the NLDO. National and
International services would be offered as a package by the NLDOs. Further
studies are being conducted on the possibility of providing a pre-selected
choice of the ILDO in addition to a choice of NLDO and should it be possible,
additional costs would be involved. If a technical solution can be found, a
decision as regards who will bear this cost and in what manner, will have to be
taken.

7.5.2 Billing

       Differential rates and concessions are likely to be offered by the ILDO,
and this has been one reason for giving the responsibility of billing to the
ILDO itself. However, various alternatives are available for collecting ILD
charges from customers, e.g., collection may be through the NLDO or through the
Access provider.

7.6   Based  on the  discussions  of the  pre-para,  the  following  questions
emerge for public discussion:

Question 7a) Should ILD Operator be permitted to deploy VOIP network instead of
PSTN for carriage of International voice traffic?

Question 7b) In case the answer to the previous question is in the affirmative,
then how to regulate the Quality of Service on VOIP links? Should a degraded
performance on ILD link be acceptable with a reduced tariff?

Question 7c) Whether existing Regulatory frameworks will be adequate for IP
based Networks? What QOS standards should be applicable until ITU standards
become fully mature?

Question 7d) Whether VOIP based Networks need special considerations on issues
like Numbering, Routing, addressing, inter-operability and QOS?

Question 7e) Can ILD operator be allowed to engineer two networks, one based on
PSTN with QOS guarantees and other based on VOIP with no QOS guarantee? How to
regulate QOS and Interconnection in such a scenario?

Question 7f) Should there be Carrier Selection of ILDO? If yes, what should be
the modality of ILD access i.e. pre-selection or dial around or both?

Question 7g) What shoutd be the technical arrangement and responsibilities for
Billing for ILD calls? Where should the call data records (CDR) be generated for
example, should these be generated by Routers in addition to the Switches?






                                   ANNEXURE I

                                               No. 10-19/2001-BS-l

                               Government of India

                           Ministry of Communications

                        Department of Telecommunications

                          Sanchar Bhawan, 20-Ashok Road

                               New Delhi 110 001.

To
The Secretary,

Telecom Regulatory Authority of India,
Jawahar Vyapar Bhawan, Janpath
New Delhi 110 001.                                    Date: 12.03.2001

Subject:  Recommendations of TRAI on the issue of license for International
          Long Distance Telephone Service - Regarding

       The Government has decided to open the International Long Distance
Service ~ector for private participation from April' 2002. . For this purpose
the Government has to decide the terms and conditions for issue of the license.

       In terms of Clause 11(1)(a)(ii) of the TRAI Act 1997, it is requested
that the recommendations of the TRAI may be given on the:

       b)   Terms and conditions of the license
       c)   Number of players in this field
       d)   Selection criteria
       e)   License fee structure

       The recommendations should also include other facts of license
conditions.

       It is further stated that the Government has already decided, except for
Cellular services, free and open competition in other services such as National
Long Distance service, Basic services, GMPCS etc.

       It would be appreciated if TRAI can give the recommendations at the
earliest so that new players can be inducted by 1st April 2002.

                                                             Yours faithfully,

                                                                           Sd/
                                                                 (P.K. Mittal)
                                                  Deputy Director General (BS)
                                                Tele:     3710437/FAX: 3372061






                                                                   ANNEXURE II



                           ALL ILD Calls through NLDO only





                                  GRAPHICS OMITTED






       ALL ILD calls from APs directly to ILDO                  ANNEXURE II

           (Note: This is presently not permitted as per NLD and Basic
                           Service Licence conditions)




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       Present arrangement with VSNL ANNEXURE II (BSNL presently is the NLD)
       (contd.)

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