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- EFFector Online Volume 5 No. 13 7/23/1993 editors@eff.org
- A Publication of the Electronic Frontier Foundation ISSN 1062-9424
-
- -==--==--==-<>-==--==--==-
- In this issue:
- Online Congressional Hearings Postponed
- Summary of New Infrastructure Bill
- EFF Joins Telecommunications Policy Roundtable
- -==--==--==-<>-==--==--==-
-
-
- **************************************
- Online Congressional Hearing Postponed
- **************************************
-
- In the last issue of EFFector Online (Volume 5, Number 12, July 7, 1993),
- we announced an upcoming online Congressional hearing to be held over the
- Internet on July 26 at 9:30AM EDT. Unfortunately, this event has been
- postponed until October or November. The following note from Internet Town
- Hall organizer Carl Malamud explains:
-
- "I wanted to explain a bit more my understanding of why we
- are delaying the congressional hearings. Please be very
- clear that I do not represent the committee and that this
- explanation is being sent in my capacity as the organizer
- of the Internet Town Hall.
-
- "The Internet Town Hall depends on voluntary donations from a
- large number of parties. For this Internet Town Hall, we've
- had a tremendous outpouring of support from groups such as
- O'Reilly & Associates, Sun Microsystems, Cisco, ARPA, Empirical
- Tools and Technologies, BBN, UUNET, Metropolitan Fiber Systems,
- and many others.
-
- "The purpose of this broad coalition is to demonstrate how the
- Internet works and how the Internet can be made to work in the
- congressional process. We wanted to make the point that there
- exists a general-purpose infrastructure that allows everything
- from email to IRC chat to WAIS databases to the World Wide Web
- to be accessed.
-
- "One of the key things we wanted to show the Congress was how
- audio and video can work over a general purpose infrastructure
- such as the Internet. Rather than transmit video over the key
- transit networks, which tend to get overloaded during events
- such as the Internet Town Hall, ARPA had agreed to furnish the
- use of DARTNET, the experimental advanced research network they
- operate.
-
- "The underlying transmission facilities for DARTNET are operated
- by Sprint. In order for the National Press Club, the headquarters
- site for the hearing, to be part of DARTNET we required a T1
- line from our facility to the Sprint point of presence a few
- blocks away. We had requested Sprint to provide that T1 line
- and become part of the Internet Town Hall.
-
- "In the course of examining our request, Sprint postulated that
- furnishing a T1 line for a congressional hearing might violate
- congressional ethics laws. There are in fact laws on the books
- that prohibit members of Congress or its committees from accepting
- in-kind donations over a certain value under certain circumstances.
- Sprint forwarded their concerns to the House Ethics Committee,
- and then later informed the Subcommittee on Telecommunications
- and Finance and my organization of their actions.
-
- "Needless to say, there are technical alternatives to the T1 line
- that we asked Sprint to furnish. In fact, a single call to
- Metropolitan Fiber Systems resulted in a 10 Mbps virtual Ethernet
- using ATM between Washington, D.C. and Boston which is available
- for the hearing when it does occur.
-
- "Even though the technical issue is solved, there still remains
- the ethics concern. We firmly believe that a broad industry/government
- group volunteering time and money to show how the congressional
- process can be changed to include more input from the general
- public to be in the public interest. However, we are equally
- adamant that *ANY* ethical concerns *MUST* be cleared before
- we proceed with the hearings.
-
- "The crux of the issue has to do with in-kind contributions. If
- you are testifying before Congress, it is clearly allowed to bring
- in computers. However, a donation to the underlying infrastructure
- of the congressional committee might be construed as an expense
- that must be reimbursed by the committee to the donor. The purpose
- of such laws is to establish beyond the shadow of a doubt that
- the congressional process is clean and not subject to the undue
- influence of a particular interest group.
-
- "We will spend the next few months describing to congressional
- officials exactly what we have in mind for the hearings. Since this
- will be a historical occasion, there is no precedent for on-line
- hearings. We want to make sure that everybody is very comfortable
- with the issues and that officials believe that there is public
- benefit in such a demonstration.
-
- "I'd like to thank all the volunteers for their time and effort
- to date. A tremendous amount of behind the scenes efforts has
- already taken place and we're hoping to salvage some of that
- effort so we don't have to start from scratch. I'd also like
- to thank everybody on the network who sent in letters. The
- Subcommittee and Congressman Markey were truly impressed at
- the volume and the quality of the commentary from the public
- through e-mail and are looking forward to a successful on-line
- hearing later in the year.
-
- "BTW, we're keeping congress@town.hall.org open ... no sense
- in cutting off communication!
-
- Carl Malamud
- Internet Multicasting Service"
-
-
- *******************************************************
- Telecommunications Infrastructure Act of 1993 (S. 1086)
- *******************************************************
-
- Introduced by Senators Danforth and Inouye on June 9, 1993
- First hearing scheduled: July 14, 9:30 AM
-
- A Summary by the Electronic Frontier Foundation
-
- The Senate Communications Subcommittee is now in the process of
- considering legislation that would eliminate the legal monopoly that
- local telephone companies have on local phone service, allow any
- communications provider to offer local phone service, and allow local
- telephone companies to compete fully in the cable television market.
- The legislation's goal is to promote increased investment in the
- nation's telecommunications infrastructure.
-
- The bill proposes many significant policy changes, chief among
- which is a very rapid move toward deregulating the local telephone
- companies' monopoly on local telephone service. The policies proposed
- are laid out in broad concepts, leaving the Federal Communications
- Commission to wrestle with the actual implementation of the policies.
-
- LOCAL EXCHANGE COMPETITION
-
- One year after the bill is enacted, any company would be allowed
- to offer local telephone service. Potential new entrants that would be
- allowed in the local exchange market under this bill include cable
- television companies, wireless service providers, and even Bell
- companies outside their current local exchange monopoly areas. Any
- State laws that would preserve the current telephone company monopoly
- or limit the entry of competitors are pre-empted by the bill.
-
- TELECOMMUNICATIONS CARRIER OBLIGATIONS
-
- Any company that offers telecommunications service or is
- interconnected with the local exchange carrier's network has several
- obligations under this bill. The definition of telecommunications
- service is somewhat vague, but it certainly includes voice telephone
- service, interactive data services used to carry information services,
- and possibly one-way video services such as those currently provided by
- cable television companies. Carriers' obligations include:
-
- 1. Interconnection
-
- All carriers that either provide telecommunications service or are
- interconnected with a carrier that provides telecommunications
- service must allow other carriers to interconnect with their network
- for the purpose of providing telecommunications or information services
- to users of either network. Network operators must provide
- interconnection under nondiscriminatory terms, on an unbundled basis.
- Operators must also supply all necessary technical information to enable
- others to interconnect and interoperate from one network to another.
-
- 2. Universal Service
-
- All providers of telecommunications service must contribute to the
- "preservation and advancement of universal service." States, in
- cooperation with the FCC, are responsible to make regulations that
- establish the mechanism for supporting universal service in the newly
- competitive telephone market. The bill does provide, however, that any
- universal service support should be given directly to "individuals and
- entities that cannot afford the cost" of telecommunications service.
- Subsidy for users' communications equipment is also allowed.
-
- 3. Number Portability
-
- The FCC will establish regulations the provide for "portable"
- numbers from all carriers as soon as possible. Thus, a customer could
- switch telecommunications providers without having to change telephone
- numbers. The administration of the numbering system would be removed
- from Bellcore and placed with an "impartial entity."
-
- INFRASTRUCTURE FOR RURAL AREAS AND NONCOMPETITIVE MARKETS
-
- The bill recognizes that in a competitive market environment,
- rural and "noncompetitive markets" may not enjoy the level of investment
- necessary for providing advanced telecommunications services. The
- minimum level of service desired in the bill is that which would
- "provide subscribers with sufficient network capacity to access to
- information services that provide a combination of voice, data, image,
- and video; and are available at nondiscriminatory rates that are based
- on the reasonably identifiable costs of providing such services." It is
- not clear that such services would be interactive. State regulators would
- be given the primary responsibility to ensure that carriers have an
- incentive to provide high-quality services to all areas. If this
- approach fails, the FCC is empowered to take action to have necessary
- service delivered to these areas.
-
- NETWORK STANDARDS AND PLANNING
-
- All segments of the communications industry are encouraged to work
- together to set voluntary standards for interconnection and
- interoperability. If the FCC determines that standards development is
- not succeeding or is proceeding too slowly, it may set incentives or
- deadlines for work to be completed. The FCC may also impose mandatory
- standards if the voluntary process fails.
-
- The FCC and the States are required to ensure that advanced
- telecommunications services are designed to be accessible to people with
- disabilities.
-
- TELEPHONE COMPANY ENTRY INTO CABLE TELEVISION MARKET
-
- The current ban preventing local telephone companies from entering
- the cable television market is lifted, in part. Local phone companies
- will be allowed, under the bill, to provide cable television service
- within their serving area, if the service is provided by a
- separate subsidiary and the phone company does not break any laws
- regarding improper cross-subsidization between phone service and cable
- services. By the same token, cable companies that provide
- telecommunications service must do so through separate subsidiaries and
- obey laws regarding cross-subsidization. Phone companies are still not
- allowed to purchase more than 5 percent interest in any cable system
- that provides services within the phone companies' service regions.
-
- CHANGES IN LONG DISTANCE RESTRICTIONS
-
- The restrictions on local phone companies against providing long
- distance (InterLATA) telecommunications service are lifted, in part, by
- the bill, to enable local phone companies to function more easily in the
- cable television and cellular phone markets. Bell companies would be
- allowed to operate wireline and satellite links for the purposes of
- distributing cable television signals over long distances. Some
- relaxation of the InterLATA restriction is also allowed to enable Bell
- companies to carry cellular phone calls from one region to another, and
- to hand off calls from one cellular system to another.
-
- INFORMATION SERVICES SAFEGUARDS
-
- Bell companies that provide information services must do so
- through a separate subsidiary in order to prevent cross-subsidies that
- would be unfair to consumers of basic phone service and to information
- service competitors. The separate subsidiary must maintain separate
- books and records, only engage in arms-length transactions with the Bell
- company, and follow other regulations that the FCC issues regarding
- accounting, tariffing, and business practices.
-
- PRIVACY OF CUSTOMER TRANSACTION INFORMATION
-
- Telecommunications carriers are prohibited from disclosing
- information about individual customers unless there is an affirmative,
- written request to do so by that customer. Carriers must, however, make
- any information (Customer Proprietary Network Information) that is
- disclosed available equally to their affiliates and all competitors who
- request the information. Customer Proprietary Network Information
- includes quantity, type, and technical characteristics of
- telecommunications service used by a customer, as well as information
- contained in bills received by the customer.
-
- [A complete copy of S.1086 is available by anonymous ftp on ftp.eff.org.]
- [Please direct any questions to eff@eff.org.]
-
-
- **********************************************
- EFF Joins Telecommunications Policy Roundtable
- **********************************************
-
- The Electronic Frontier Foundation is pleased to announce its participation
- in the newly formed Telecommunications Policy Roundtable. With market
- actions fast outpacing the public policy process, it is critical that
- citizens' groups articulate basic public interest goals that can help frame
- the debate over information infrastructure policy.
-
- Organizations such as the Association of Research Libraries, the Center for
- Media Education, Computer Professionals for Social Responsibility, and the
- Institute for Civic Networking all played leading roles in initiating the
- Roundtable. We thank these organizations, for creating the very important
- forum, in which a wide range of public interest organizations work together
- to frame common communications policy goals. In addition to general
- participation in the group, EFF has agreed to focus its efforts on the
- public policy and legislative strategy taskforce of the Roundtable.
-
- The initial announcement of the Roundtable (posted to com-priv) contained
- some suggestion that EFF's work on infrastructure policy issues over the
- last year was narrow and lacking in vision. Though we have never pretended
- to know, or be able to pursue, the solutions to all communications policy
- problems, we do feel that we have made a significant contribution to the
- infrastucture debate and to the effort to protect free speech and privacy
- in new electronic media. Some criticize our emphasis on ISDN and other
- affordable digital media as too narrow. We believe that our Open Platform
- policy efforts in support of ISDN have caused a major change in the way
- communications infrastructure policy is discussed. With the example of
- ISDN, we showed that citizens do not have to wait around 20 years while
- RBOCs lay fiber-to-the-home. Rather, with affordable, available
- technology, those who don't own telephone networks or cable television
- networks can start to create the applications and services that will shape
- our experience of the information age. Our Open Platorm efforts are aimed
- at increasing the diversity of information sources, expanding the notion of
- universal service, increasing access to information, and protecting
- privacy. ISDN is not our final goal, but a first step that shows we should
- begin to expect the benefits of digital networking technology soon, at
- affordable rates, and with nondiscriminatory terms.
-
- In order to show that we are not stuck on ISDN, either as a technology or a
- policy goal, we convened a meeting of over 20 major public interest
- organizations on June 1, 1993 (several weeks before the Roundtable was
- announced), to discuss EFF's long-term policy concerns and to hear the views
- of other groups. A section of the paper that we prepared for that meeting
- is appended to this message. We hope that this will clarify that EFF does
- have a view of communications policy goals beyond ISDN. We certainly
- invite comments on this document, but hope that in the future people who
- write about our positions will take the time to read our work first.
- (Please see also an article in the July/August '93 issue of Wired Magazine
- by Mitchell Kapor, EFF's Chairman of the Board, "Where Is the Digital
- Highway Really Heading? A Case for a Jeffersonian Information Policy" for
- a broad statement of EFF's infrastructure vision.)
-
- EFF has joined the Roundtable to be part of the process of framing a
- comprehensive public interest communications policy. We are looking
- forward to the success of this effort.
-
- =========================================================
- TOWARD A NEW PUBLIC INTEREST COMMUNICATIONS POLICY AGENDA
- FOR THE INFORMATION AGE
-
- A Framework for Discussion
-
- by the Electronic Frontier Foundation
-
- June 1, 1993
-
- I. Introduction
-
- For over a decade, techno-prophets have been predicting the
- convergence of telephone, computer and television technologies. In this
- world, endless information would be available at the touch of a button, and
- many of life's chores would be simplified by artificially-intelligent
- personal assistants. The prophesied results were said to be everything
- from a newfound global village enabled by democratized communications
- tools, to an Orwellian multimedia, mind-numbing, thought-controlling,
- consumer culture/police-state gone wild. In the past, discussions of this
- convergence has been relegated to the musings of futurists and the arcana
- of telecommunications regulatory policy. This year, however, the grand
- convergence is evident both on the front pages of national magazines and
- newspapers, as well as in the White House. Telecommunications
- infrastructure policy -- the management of this grand convergence -- has
- arrived as a mainstream policy issue.
-
- Most telling of all, large investments are now being made in order
- to take advantage of business opportunities arising out of the convergence
- of television, computers, and telecommunications. Despite existing
- regulatory barriers, a number of major corporations have undertaken major
- initiatives which blur the traditional media distinctions. Regional Bell
- Operating Companies, including Bell Atlantic and US West, have announced
- multi-billion dollar infrastructure investment plans that position them to
- expand from the telecommunications market to the video entertainment
- market. By the same token, cable television companies are crossing over
- from their traditional domain toward being able to offer telecommunications
- services. Early in 1993, Time-Warner announced plans to offer interactive
- services and connections directly to long distance telephone networks for
- residential customers in Orlando, FL. Six cable television companies also
- recently joined forces to purchase a company called Teleport, which
- competes directly with local telephone companies. And finally, US West
- announced in May 1993 that it will purchase a multi-billion dollar stake in
- Time-Warner Entertainment Partners.
-
- All of these developments are being watched with great interest by
- Congress and the Administration. No longer is telecommunications policy a
- matter of sorting out the special interests of newspaper companies,
- telephone companies, and cable companies. Rather it has been re-christened
- as "information infrastructure" policy. As such, it is recognized to have
- major implications for domestic economic development, global
- competitiveness, and science and technology policy. The ultimate symbol of
- this increased interest in telecommunications policy is the Vice
- President's frequent declaration that the Clinton Administration is
- committed to promoting the creation of electronic superhighways in the
- 1990s, just as the Vice President's father oversaw the construction of the
- interstate highway system in the 1950s.
-
- Talk of superhighways and potential for new economic growth,
- though, may lead some to forget that in shaping information infrastructure
- policy, we must also be guided by core communications policy values. The
- "highways" that are being built here are for speech as well as for
- commerce. In order to preserve the democratic character of our society as
- we move into the Information Age, these key public interest communications
- policy goals must be kept at the forefront:
-
- o Diversity of Information Sources: Creating an infrastructure that
- promotes the First Amendment goal of availability of a maximum possible
- diversity of view points;
-
- o Universal Service: Ensuring a minimum level of affordable,
- interactive service to all Americans;
-
- o Free Speech and Common Carriage: Guaranteeing infrastructure
- access regardless of the content of the message that the user is sending;
-
- o Privacy: Protecting the security and privacy of all communications
- carried over the infrastructure, and safeguarding the Fourth and Fifth
- Amendment rights of all who use the information infrastructure;
-
- o Development of Public Interest Applications and Services: Ensuring
- that public interest applications and services that are not produced by
- the commercial market are available and affordable.
-
- Advances in telecommunications have tremendous potential to support all of
- these important communications policy values. In many cases, inexpensive
- equipment exists that could give individuals and small organizations a
- degree of control over information that has never before been possible.
- However, if not implemented with core communications values in mind, the
- technology will do more harm than good. The convergence of historically
- separate communications media poses a major challenge to the public
- interest community. The Electronic Frontier Foundation hopes to play a
- role with other public interest organizations in realizing the democratic
- potential of these new technologies.
-
- II. Framing Public Interest Communications Policy Goals For The
- Information Age: What Is at Stake in the Development of the Information
- Infrastructure
-
- A. Diversity of Information Sources
-
- Aside from the universal service guaranty, the driving communications
- policy value for the last 50 years has been promotion of the maximum
- diversity of information sources, with the greatest variety of viewpoints.
- Most agree that from a diversity standpoint, the ideal environment is the
- print medium. Compared to both the broadcast and cable television arenas,
- print is the vehicle for the greatest diversity of viewpoints and has the
- lowest publication and distribution costs. Despite the regulatory steps
- taken to promote diversity in the mass media, the desired variety of
- opinion and information has never been fully achieved.
-
- The switched nature of advanced digital network technology offers
- to end the spectrum and channel scarcity problem altogether. If new
- network services are deployed with adequate down- and up-stream capacity,
- and allow point-to-point communication, then each user of the network can
- be both an information consumer and publisher. Network architecture that
- is truly peer-to-peer can help produce in digital media the kind of
- information diversity that only exists today only in the print media. If
- network access is guaranteed, as is the case in the public switched
- telephone network, the need for content providers to negotiate for air time
- and channel allocation will be eliminated. Even in a truly interactive
- network environment, the government will still need to provide financial
- support to ensure that public interest programming is produced and
- available, but channel set-asides per se will not be necessary.
-
- B. Universal Service: From Plain Old Telephone Service to Plain Old Digital
- Service
-
- The principle of equitable access to basic services is an integral part of
- this nation's public switched telephone network. From the early history
- of the telephone network, both government and commercial actors have taken
- steps to ensure that access to basic voice telephone services is affordable
- and accessible to all segments of society. Since the divestiture of AT&T,
- many of the internal cross-subsidies that supported the "social contract"
- of universal service have fallen away. Re-creation of old patterns of
- subsidy may no longer be possible nor necessarily desirable, but serious
- thought must be given to sources of funds that will guaranty that the
- economically disadvantaged will still have access to basic communications
- services.
-
- The universal service guaranty in the Communications Act of 1934
- has, until now, been interpreted to mean access to "plain old telephone
- service" (POTS). In the information age, we must extend this guaranty to
- include "plain old digital service." Extending this guaranty means
- ensuring that new basic digital services are affordable and ubiquitously
- available. Equity and the democratic imperative also demand that these
- services meet the needs of people with disabilities, the elderly, and other
- groups with special needs. Failure to do so is sure to create a society of
- information "haves" and "have nots."
-
- C. Free Speech: Common Carriage
-
- In a society which relies more and more on electronic communications media
- as its primary conduit for expression, full support for First Amendment
- values requires extension of the common carrier principle to all of these
- new media. Common carriers are companies that provide conduit services for
- the general public. The common carrier's duties have evolved over hundreds
- of years in the common law and statutory provisions. Common carriers have
- a duty to:
-
- o provide services in a non-discriminatory manner at a fair price,
- o interconnect with other carriers, and
- o provide adequate services
-
- The public must have access to digital data transport services, such as
- ISDN and ADSL, which are regulated by the principles of common carriage.
-
- Re-shaping common carriage duties for new media environments is of
- critical importance as mass media and telecommunications services converge
- and recombine in new forms. Telephone companies, the traditional providers
- of common carriage communications services, are moving closer and closer to
- providing video and content-based services. By the same token, cable
- television companies, which have functioned as program providers, are
- showing great interest in offering telecommunications services. In what is
- sure to be an increasingly complex environment, we must ensure that common
- carriage transport is available to those who want it.
-
- Unlike arrangements found in many countries, our communications
- infrastructure is owned by private corporations, not the government.
- Therefore, a legislatively imposed expanded duty of common
- carriage on public switched telephone carriers is necessary to protect free
- expression effectively. A telecommunications provider under a common
- carrier obligation would have to carry any legal message, whether it is
- voice, data, images, or sound, regardless of its content. For example, if
- full common-carrier protections were in place for all of the conduit services
- offered by the phone company, the terminations of "controversial" 900
- number services, such as political fundraising, would not be allowed, just
- as the phone company is now prohibited by the Communications Act from
- discriminating in the provision of basic voice telephone services. As a
- matter of law and policy, the common carriage protections should be
- extended from basic voice service to cover basic data service, as well.
-
- D. Privacy
-
- With dramatic increases in reliance on digital media for communications,
- the need for comprehensive protection of privacy in these media grows.
- The scope of the emerging digital communications revolution poses major
- new challenges for those concerned about protecting communications
- privacy. Communication that is carried on paper through the mail
- system, or over the wire-based public telephone network, is relatively
- secure from random intrusion by others. But the same communication
- carried, for example, over a cellular or other wireless communication
- system is vulnerable to being intercepted by anyone who has very
- inexpensive, easy-to-obtain scanning technology. As such, access to
- robust, affordable encryption technology will be critical to enable people
- to protect their own privacy. Government controls on encryption systems,
- whether for law enforcement or national security reasons, raise grave
- constitutional issues and could undermine individuals' ability to protect
- the privacy of personal information and communications.
-
-
- For more information contact:
-
- Electronic Frontier Foundation
- 1001 G St, NW
- Suite 950 East
- Washington, DC 20001
-
- eff@eff.org
-
- A complete copy of this document is available by anonymous ftp at
- ftp.eff.org in the file named
- "pub/EFF/papers/open-platform-discussion-1993."
-
-
- =============================================================
-
- EFFector Online is published biweekly by:
-
- Electronic Frontier Foundation
- 1001 G Street, N.W., Suite 950 East
- Washington, DC 20001 USA
- Phone: +1 202 347 5400 FAX: +1 202 393 5509
- Internet Address: eff@eff.org
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- Director of Legal Services & Community Outreach (ssteele@eff.org)
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