Filed by Sirius Satellite Radio Inc.
Pursuant to Rule 425 under the
Securities Act of 1933 and deemed filed
pursuant to Rule 14a-12 under the
Securities Exchange Act of 1934
Subject Company: XM Satellite Radio Holdings Inc.
Commission File No.: 0-27441
This communication contains forward-looking statements within the meaning of the Private
Securities Litigation Reform Act of 1995. Such statements include, but are not limited to,
statements about the benefits of the business combination transaction involving Sirius Satellite
Radio Inc. and XM Satellite Radio Holdings Inc., including potential synergies and cost savings and
the timing thereof, future financial and operating results, the combined companys plans,
objectives, expectations and intentions with respect to future operations, products and services;
and other statements identified by words such as anticipate, believe, plan, estimate,
expect, intend, will, should, may, or words of similar meaning. Such forward-looking
statements are based upon the current beliefs and expectations of SIRIUS and XMs management and
are inherently subject to significant business, economic and competitive uncertainties and
contingencies, many of which are difficult to predict and generally beyond the control of SIRIUS
and XM. Actual results may differ materially from the results anticipated in these forward-looking
statements.
The following factors, among others, could cause actual results to differ materially from the
anticipated results or other expectations expressed in the forward-looking statement: general
business and economic conditions; the performance of financial markets and interest rates; the
ability to obtain governmental approvals of the transaction on a timely basis; the failure of
SIRIUS and XM stockholders to approve the transaction; the failure to realize synergies and
cost-savings from the transaction or delay in realization thereof; the businesses of SIRIUS and XM
may not be combined successfully, or such combination may take longer, be more difficult,
time-consuming or costly to accomplish than expected; and operating costs and business disruption
following the merger, including adverse effects on employee retention and on our business
relationships with third parties, including manufacturers of radios, retailers, automakers and
programming providers. Additional factors that could cause SIRIUS and XMs results to differ
materially from those described in the forward-looking statements can be found in SIRIUS and XMs
Annual Reports on Form 10-K for the year ended December 31, 2006, and Quarterly Reports on Form
10-Q for the quarter ended March 31, 2007, which are filed with the Securities and Exchange
Commission (the SEC) and available at the SECs Internet site (http://www.sec.gov). The
information set forth herein speaks only as of the date hereof, and SIRIUS and XM disclaim any
intention or obligation to update any forward looking statements as a result of developments
occurring after the date of this communication.
Important Additional Information Will be Filed with the SEC
This communication is being made in respect of the proposed business combination involving
SIRIUS and XM. In connection with the proposed transaction, SIRIUS plans to file with the SEC a
Registration Statement on Form S-4 containing a Joint Proxy Statement/Prospectus and each of SIRIUS
and XM plans to file with the SEC other documents regarding the proposed transaction. The
definitive Joint Proxy Statement/Prospectus will be mailed to stockholders of SIRIUS and XM.
INVESTORS AND SECURITY HOLDERS OF SIRIUS AND XM ARE URGED TO READ THE JOINT PROXY
STATEMENT/PROSPECTUS AND OTHER DOCUMENTS FILED WITH THE SEC CAREFULLY IN
THEIR ENTIRETY WHEN THEY BECOME AVAILABLE BECAUSE THEY WILL CONTAIN IMPORTANT
INFORMATION ABOUT THE PROPOSED TRANSACTION.
Investors and security holders will be able to obtain free copies of the
Registration Statement and the Joint Proxy Statement/Prospectus (when
available) and other documents filed with the SEC by SIRIUS and XM through the
web site maintained by the SEC at www.sec.gov. Free copies of the Registration
Statement and the Joint Proxy Statement/Prospectus (when available) and other
documents filed with the SEC can also be obtained by directing a request to
Sirius Satellite Radio Inc., 1221 Avenue of the Americas, 36th Floor, New York,
NY 10020, Attention: Investor Relations or by directing a request to XM
Satellite Radio Holdings Inc., 1500 Eckington Place, N.E. Washington, DC 20002,
Attention: Investor Relations.
SIRIUS, XM and their respective directors and executive officers and other
persons may be deemed to be participants in the solicitation of proxies in
respect of the proposed transaction. Information regarding SIRIUS directors
and executive officers is available in its Annual Report on Form 10-K for the
year ended December 31, 2006, which was filed with the SEC on March 1, 2007,
and its proxy statement for its 2007 annual meeting of stockholders, which was
filed with the SEC on April 23, 2007, and information regarding XMs directors
and executive officers is available in XMs Annual Report on Form 10-K, for the
year ended December 31, 2006, which was filed with the SEC on March 1, 2007 and
its proxy statement for its 2007 annual meeting of stockholders, which was
filed with the SEC on April 17, 2007. Other information regarding the
participants in the proxy solicitation and a description of their direct and
indirect interests, by security holdings or otherwise, will be contained in the
Joint Proxy Statement/Prospectus and other relevant materials to be filed with
the SEC when they become available.
***
SIRIUS website, which is available at www.SIRIUSmerger.com and has information
about SIRIUS proposed merger, has been updated. The updates include the
information being filed herewith.
In addition, the In the News page of the website also contains links to the following
third-party articles:
HD Radio Grabs the Ear of Satellite Rivals
As Listeners Discover High Definition, XM and Sirius Face Growing Competition
The Washington Post
By Sam Diaz
Tuesday, July 3, 2007; D04
When Hyundai introduces its still-unnamed premium sports sedan for 2008, it will arrive with a
built-in feature that most other new cars wont have: high-definition radio.
Over the past few months, high-definition radio technology, which delivers clearer and crisper
sound for over-the-air radio, has made inroads into the new-car market, a major battleground for
audio entertainment. Hyundai, Jaguar and BMW are among the automakers that have installed the
required special receivers into their cars.
The retailers Best Buy and Wal-Mart in March said they would carry high-definition equipment in
their stores. In May, broadcast companies launched stations in the updated format in the nations
top 100 markets.
HD radios recent announcements could be noteworthy as XM Satellite Radio and Sirius Satellite
Radio continue to lobby the government to approve their planned merger.
Executives of the countrys two satellite radio companies point to HD radio, Internet radio and
in-car iPod accessories as their competitors. Regulators are keenly interested in looking at the
competitive landscape for radio, particularly in the car, where many satellite radio systems are
installed. None of those technologies were around a decade ago when satellite radio was created,
proponents of the merger have argued.
With 14 million subscribers, satellite radio still has many more listeners than HD radio, although
HD is gaining ground.
In 2006, the number of HD radio receivers sold was about 200,000. That number is projected to reach
1.5 million this year, according to the HD Digital Radio Alliance, a consortium of broadcasters
promoting the technology. And the number of stations broadcasting in the new format has more than
doubled in less than a year, to more than 1,300 from about 600 at the end of last summer.
HD radio, unlike its satellite counterpart, broadcasts over traditional airwaves and charges no
monthly subscription fee, a feature the industry is promoting as part of its $250 million marketing
and advertising campaign.
The monthly fee charged by the satellite companies could put them at a disadvantage if consumers
begin to choose between the two options, said Rob Enderle, principal analyst at Enderle Group.
Free tends to trump fee in almost every market, he said. I think the argument for XM and Sirius
is that if they dont merge, theyll probably go away.
Sirius chief executive Mel Karmazin said that increased rivalry from newer technologies could
threaten the future of satellite radio. Neither XM nor Sirius has ever made a profit.
Its not news to us that HD radio is a competitor, Karmazin said. It may be news to regulators
because they dont follow this as much as we do, but this is the market we saw when we announced
our merger.
Peter Ferrara, president and chief executive of the HD Digital Radio Alliance, said he thinks
satellite radio is complimentary to traditional radio. He also recognizes that it would be tough to
challenge satellite radio for the attention of the major carmakers, who tend to adopt new
technologies only after they have reached the mainstream market.
For the first time this year, subscriptions for XM and Sirius are growing, through their
partnerships with automakers including Chrysler, Ford, General Motors, Toyota and Honda, something
Ferrara sees as more of a threat to the widespread adoption of HD radio.
If they [merge], they can control the dashboard, Ferrara said about the satellite companies.
They already have the partnerships. They could block us out.
Karmazin Raps NAB Spin On Merger
In sitdown with TWICE, Sirius CEO calls broadcast lobby disingenuous.
By Joseph Palenchar and Amy Gilroy TWICE, 7/2/2007
NEW YORK The National Association of Broadcasters [NAB] is disingenuous for opposing the
proposed satellite radio merger on the grounds that a duopoly would become a monopoly, Sirius
Satellite Radio CEO Mel Karmazin told TWICE in an exclusive interview.
The annual reports of all publicly held radio groups say in their risk factors that they compete
with satellite radio, he said. So its just disingenuous for an organization [NAB] to stand up
and say this is a duopoly becoming a monopoly.
During an interview at Sirius headquarters here, Karmazin said the intensity of the NAB campaign to
shoot down the proposed XM-Sirius merger, although probably predictable, proves the point that
satellite and terrestrial radio compete and that the proposed merger would not result in a
monopoly.
Karmazin also made the following points:
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The merger will help satellite radio compete, but isnt necessary for the
industrys survival. |
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In order to meet the FCCs public-interest requirements, the merged companies
would offer more choice, lower prices and flexible but not totally a la carte
pricing plans, which would credit consumers for channels that they choose not to receive. |
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Aftermarket customers are less likely to churn than consumers who get
satellite radio in a new car. |
See p. 22 and 23 for Karmazins responses to key questions. The interview is available in its
entirety at www.TWICE.com.
Satellite Radio Metrics
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Q1 2007 |
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Q1 2006 |
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2006 |
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Subscriber base |
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Sirius |
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6,581,045 |
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+61.4 |
% |
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4,077,747 |
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6,024,555 |
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+81.7 |
% |
XM |
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7,913,728 |
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+21.7 |
% |
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6,501,859 |
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7,628,552 |
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+28.6 |
% |
Combined |
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14,449,773 |
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+36.6 |
% |
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10,579,606 |
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13,653,107 |
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+47.6 |
% |
Net New Subscriber
Additions |
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Sirius |
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556,490 |
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-26.9 |
% |
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761,187 |
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2,707,995 |
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+24.6 |
% |
XM |
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285,176 |
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-49.9 |
% |
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568,902 |
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1,695,595 |
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-37.3 |
% |
Combined |
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841,666 |
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-36.7 |
% |
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1,330,089 |
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4,403,590 |
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-9.7 |
% |
Gross Subscriber
Additions, |
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Q1 2007 |
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Q1 2006 |
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2006 |
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Deactivations |
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Sirius |
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Gross adds |
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988,458 |
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+2.9 |
% |
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960,610 |
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3,758,163 |
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+49.2 |
% |
Deactivations |
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431,968 |
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+116.7 |
% |
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199,423 |
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1,050,168 |
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+203.5 |
% |
XM |
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Gross Adds |
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868,067 |
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-13.8 |
% |
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1,007,306 |
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3,866,481 |
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-6.4 |
% |
Deactivations |
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582,891 |
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+33 |
% |
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438,404 |
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2,170,886 |
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+52.2 |
% |
Combined |
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Gross Adds |
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1,856,525 |
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-5.7 |
% |
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1,967,916 |
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7,624,644 |
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+14.7 |
% |
Deactivations |
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1,014,859 |
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+59.1 |
% |
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637,827 |
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3,221,054 |
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+81.7 |
% |
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Sources: Sirius, XM company reports © TWICE 2007 |
Post-Merger Plans
TWICE: When the merger occurs, presumably the merged company will adopt the best practices of
both companies. Can you identify each companys strengths?
Karmazin: We have not been able to get into each others businesses. There are antitrust concerns
that are out there that would stop us from sharing any information at all with XM. All I know about
XM is what I know as a competitor. So there hasnt been one bit of information that is confidential
that I have learned, or conversely that we have provided to XM, during this period. Were
prohibited from knowing.
TWICE: How would you accomplish your one-radio, two-services pledge? By porting some XM content
to Sirius radios, and vice versa?
Karmazin: We started our service with 100 channels, and through compression technology and
engineering enhancement and the normal rotation, we now have 135 channels instead of 100. So what
we say is that wed be able to increase our capacity by a certain number so that our existing
receivers would be able to get some additional content. So as an example, if we wanted to have some
baseball, or we wanted to have Oprah, or we wanted to have some of this content, wed be able to
deliver that to our satellites and to our receivers subject to the content partners agreements. We
couldnt offer a full complement of both services.
TWICE: Could we see a 50/50 split between XM and Sirius content on an existing satellite radio?
Karmazin: If we wanted to do that, but why would we want to do that if youre a Sirius subscriber
and you like our content? Were basically saying to you that we dont want you
to be disenfranchised. We saying to you that Youre an existing subscriber, you dont have to pay
more than $12.95 after the merger, and your existing radio is going to work.
TWICE: And you would eliminate redundancies in the selection of channels offered by Sirius and XM
after the merger to make room for some of the extra channels?
Karmazin: Lets assume for a second that, when the time came, that wed take a look, and say that
we both have a 50s station. Now can you sit there and say, Which of the 50s channels might be
the best channel? And wed have some cost savings at the head end, and we would not be producing
two 50s channels.
TWICE: So Sirius would still have its voice and brand, and XM would have its voice and brand, a
Sirius receiver would continue to get existing Sirius channels plus some additional XM content, and
vice versa?
Karmazin: Right.
TWICE: And down the road?
Karmazin: The opportunity exists for us to commercially market an interoperable radio. Right now we
have developed it. Theres one in my office right now, which is an interoperable radio, which is a
receiver that in essence has an XM component and a Sirius component sort of Velcro-ed together. So
we developed that, and one of the things that we have the opportunity to do is to market it into
retail stores as an interoperable radio, one that would be priced attractively and be able to get
the consumer both services. A radio that gets the best of both services is sort of attractive and
again enables the two companies to not water each other down but to have a stronger service while
competing with all of these other technologies.
Merger Mission
TWICE: Is the merger necessary to compete with emerging services and technologies such as the
place shifting of PC-stored content to a cellphone, delivery of entertainment programs via
IP-enabled Mobile WiMAX networks, Wi-Fi streaming of Internet radio services to handheld devices,
and the like?
Karmazin: I dont think it is necessary. I think it is very desirable, and it positions us in a
better way to compete against all of this technology. But by no means do we believe this merger is
about life or death ...
Hardly a day goes by that there is not a new company, a new competitor, thats coming out with the
ability to get not just music but any content that you want. And we think content is king, and we
believe that our content is whats going to separate us from all of these other competitors. No one
has better content than we do.
TWICE: So youre as much a content company as a wireless pipe?
Karmazin: Weve had a number of discussions internally where people say, Well, gee, why dont you
just take out the satellite radio from your name and just call it Sirius? And then a number of
other people who are sitting there are saying, Our network is really one of the things that we
have going for us, that we have a proprietary network. You cant say that about the Internet.
But I do think that at the end of the day, people are listening to our content, not necessarily
listening to a pipe. Were not particularly great fans of a lot of what goes on over Internet radio ... and we have so much more content thats not around anyplace else. And its not just sports [for
example]. Its the way we do sports.
You can get plenty of NFL games, but you cant get every single NFL game with home team announcers
and away team announcers ...
So there are really a whole lot of enhancements that we do. Even on our music channels ... And you
add things like Howard Stern and Martha Stewart and Cosmopolitan ... and a lot of the channels that
are just not available any place else.
Merger Pros & Cons
YEA
African Methodist Episcopal Church
Alabama House of Representatives
American Values
Hispanic Federation
Latino Coalition
National Council of Womens Organizations
League of Rural Voters
League of United Latin American Citizens
National Black Chamber of Commerce
New York State Federation of Hispanic Chambers of Commerce
Women Impacting Public Policy
Women Involved in Farm Economics
NAY
Alabama House of Representatives
Consumers Union*
Consumer Federation of America*
Common Cause*
Free Press*
Independent Spanish Broadcasters Association (ISBA)
Media Access Project*
National Association of Broadcasters
Prometheus Radio Project*
Sen. Herb Kohl (D-Wisc.), chairman of the U.S. Senates antitrust subcommittee
71 members of House of Representatives in a letter to the FCC, FTC, and DOJ
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*Members of Media and Democracy Coalition |
A good merger
Editorial
Washington Times
July 6, 2007
As the Federal Communications Commission and the Justice Department contemplate the proposed merger
between the nationss only two satellite-radio providers Sirius and XM two crucial questions
must be answered. First, is the merger anti-competitive? Second, does the merger serve the public
interest? In the highly complex telecommunications arena, few situations seem to be as clear cut as
this one. Yes, the merger should be approved because (1) it is not anti-competitive and (2) it
clearly is in the interest of consumers, especially where consumer choice is concerned.
If the satellite radio industry were a distinct and separate market, then it would be true that a
movement from the current duopoly to monopoly would be anti-competitive. In fact, the
audio-communications market abounds with competition, consumer choices and products that are close
substitutes for one another. Satellite radio is merely one option in this market a relatively
small option at the moment. Serving a combined 14.5 million subscribers who pay a monthly fee of
$12.95, XM and Sirius together account for a mere 3.4 percent of radio listening. While fewer than
5 percent of Americans listen to satellite radio weekly, nearly 95 percent of Americans listen each
week to AM/FM, or terrestrial, radio. More than 20 percent of Americans now listen to Internet
radio, whose mobility and portability will be rapidly increasing in the near future. There are six
times as many Americans who listen to MP3 players (e.g., iPods) every week than listen to satellite
radio.
The 2006 broadcasting revenues for Sirius and XM ($1.57 billion) was a tiny fraction of the $21.7
billion in radio broadcasting revenues captured by commercial terrestrial broadcasters. Meanwhile,
virtually all of the 240 million registered vehicles in the United States have AM/FM radios, while
fewer than 10 percent have satellite radio receivers.
If the XM/Sirius merger is not approved, satellite radio is in danger of disappearing. Indeed, that
is precisely what the National Association of Broadcasters (NAB) the mergers fiercest opponent
(and most dominant competitor in the audio-communications market) would love to see happen.
Since 1993 (Sirius) and 1998 (XM), their cumulative cash-flow deficits (capital, operating and
interest expenses less sales) have exceeded $10 billion. Last year, Sirius lost $1.1 billion. XM
lost $732 million. Satellite radio is an industry with huge fixed costs and low variable costs. As
a result, a merger could generate large economies of scale and total costs savings between $3
billion and $7 billion in net present value.
In self-serving arguments that are riddled with contradictions, the NAB, which represents the
12,500 AM/FM radio stations, claims the XM/Sirius combination would represent a merger to
monopoly. In reality, if the merger is not approved, todays duopoly in satellite radio could
disappear altogether, and consumers would be the biggest losers.
In addition, the What People Are Saying page of the website also contains a link to the
following information included on the website:
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Circuit City Stores. Inc.
9950 Mayland Drive
Richmond, VA 23233-1464 |
June 28, 2007
VIA ELECTRONIC FILING
Marlene H. Dortch, Secretary
Federal Communications Commission
445 12th Street, SW
Washington, DC 20554
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Re:
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Application for Authority to Transfer Control of XM Radio Inc. and
Sirius Satellite Radio Inc., MB Docket No. 07-57 |
Dear Ms. Dortch:
On behalf of Circuit City Stores, Inc. (Circuit City), I write in support of the proposed
merger of XM and Sirius. Circuit City believes that the interests of consumers should be paramount
in the FCCs consideration of this proposed merger. When viewed from this perspective, we believe
that this merger should be approved by the FCC.
Circuit City is one of the nations leading providers of consumer electronics with more than
600 stores. Our stores sell both XM and Sirius satellite radios and accessories. We believe that,
once the merger is approved, satellite radio should be an even more appealing option to our
customers.
Based upon the statements that have been made by Sirius and XM, it is our understanding that they
have committed to roll out a variety of new products and services post-merger. For example, Sirius
and XM have indicated that the combined company will offer a wider range of program packages. These
new choices should give consumers greater flexibility in the number of channels and content they
receive. In the future, we understand the merger also should foster the development of
interoperable radios, which will enable subscribers to receive both XM and Sirius on a single radio
device.
In addition, we understand that Sirius and XM will use the efficiencies generated by their merger
to improve their offerings, which should make the new company more attractive to subscribers.
In sum,
Circuit City believes that the FCC should allow Sirius and XM to implement
their plans to make satellite radio a stronger competitor, and provide improved product and service
to consumers, by approving their applications in this proceeding.
Marlene H. Dortch, Secretary
June 28, 2007
Page 2
In addition, the Merger Resources page of the website also contains a link to the following
information included on the website:
An Economic Review of the Proposed Merger of XM and Sirius
Harold Furchtgott-Roth1June 20071 President, Furchtgott-Roth Economic Enterprises and Former FCC Chairman. |
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
Executive Summary
This paper provides an overview of economic considerations that government agencies should
take into account when reviewing the proposed merger between XM Satellite Radio Holdings, Inc. (XM)
and Sirius Satellite Radio, Inc. (Sirius).2 It identifies the numerous existing fixed
and mobile communications services that compete with satellite radioincluding terrestrial radio,
pre-recorded music devices, mobile phones, and fixed and mobile internet servicesand describes
the increasing availability of mobile broadband services that offer nearly endless capabilities to
consumers. This paper also analyzes the dynamic nature of the market for mobile communications
services and highlights the commitment that the government has made to facilitate the deployment of
advanced communications services. This paper concludes that government agencies reviewing this
merger should consider the many consumer benefits that are likely to accrue over the longer term.
And, consistent with its approach in other proceedings, the FCC should afford satellite radio
providers the sufficient timing flexibility necessary to respond to rapidly changing market
conditions.
The asserted view that satellite radio is an isolated antitrust market is inconsistent with basic
observations about this market. Satellite radio has a small presence in comparison to other
comparable communications services. From a consumers point of view, there is a range of fixed and
mobile alternatives to satellite radio service, with even more offerings on the immediate horizon.
To take just one example, the 14.5 million satellite radio subscribers pales in comparison to the
237 million mobile phones in use today. Many of those phones allow users to access wireless data
services as well as to download and to play music. Mobile inter-net services are also becoming
increasingly available in cars. These competing choices discipline the prices that XM and Sirius
charge subscribers today and will continue to do so regardless of whether the firms merge. If a
combined satellite radio provider were to raise prices, consumers could find identical or similar
programming elsewhere and switch services.
The provision of satellite radio services is best understood as a segment of the markets for fixed
and mobile communications services. Nearly all of the programming available via satellite radio can
be obtained elsewhere. And internet services are a substitute for a wide range of communications
services, including satellite radio. Although mobile broadband services are not likely to displace
all other mobile communications services, such services will certainly siphon some consumers away
from existing mobile services and will discipline the prices that the other services command in the
market. The Federal Communications Commission (FCC) has taken note of this trend toward a broader
mobile services market in other proceedings, and it should maintain that position when evaluating
this merger. Particularly in light of the rapid changes in technology and market structure, it
would be unreasonable for government agencies to restrict the merger analysis to a static
environment that fails to account for these dynamic market conditions.
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The views expressed in this report are my own and do not necessarily reflect
the views of either XM or Sirius, or any other party. |
2
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
Background
My name is Harold W. Furchtgott-Roth. I am president of Furchtgott-Roth Economic Enterprises,
an economic consulting firm. I was a commissioner of the Federal Communications Commission (FCC)
from November 1997 through May 2001. My statements as a commissioner at the FCC have been cited by
federal courts. I have been a guest speaker at many conferences for the telecommunications
industry. One of my responsibilities is chairing the board of the Telecommunications Policy
Research Conference, one of the primary forums for research on telecommunications issues in the
United States. I chair the board of Oneida Partners, a wireless communications company. I am on the
board of MRV, a publicly traded telecommunications manufacturing company. I serve on several
advisory boards.
From June 2001 through March of 2003, I was a visiting fellow at the American Enterprise Institute
for Public Policy Research (AEI) in Washington, DC. I am currently a senior fellow at the Hudson
Institute in Washington, DC.
I have worked for many years as an economist. From 1995 to 1997, I was chief economist of the House
Committee on Commerce, where one of my responsibilities was to serve as one of the principal staff
members helping to draft the Telecommunications Act of 1996. From 1988 to 1995, I served as a
senior economist at Economists Incorporated, where I worked on economic and econometric matters in
regulatory, antitrust, and commercial litigation cases. These cases included many matters in the
broadcast, cable, and telecommunications industries. From 1984 to 1988, I served as a research
analyst at the Center for Naval Analyses, where I conducted quantitative studies on behalf of the
Department of the Navy.
My academic research concerns economics and regulation. I am the author or coauthor of four books:
A Tough Act To Follow: The Telecommunications Act of 1996 and the Separation of Powers (Washington,
DC: American Enterprise Institute) 2006; Cable TV: Regulation or Competition, with R.W. Crandall,
(Wash-ington, DC: The Brookings Institution), 1996; Economics of A Disaster: The Exxon Valdez Oil
Spill, with B.M. Owen, D.A. Argue, G.J. Hurdle, and G.R. Mosteller, (Westport, Connecticut: Quorum
books), 1995; and International Trade in Computer Software, with S.E. Siwek, (Westport,
Connecticut: Quorum Books), 1993. I am a frequent commenter on economic matters, and daily
newspapers, including the Wall Street Journal, have published my opinion pieces. I have a weekly
column in the business section of the New York Sun. I have testified on many occasions before
committees of the U.S. Senate and House of Representatives.
I received my undergraduate training in economics at MIT, and I received a Ph.D. in economics from
Stanford University.
Assignment
I have been asked by XM and Sirius to review from an economic perspective their proposed
merger. I primarily focus on a consumers perspective and potential changes in competing
communications services providers. In preparing this report, I reviewed various documents including
the following: documents related to the merger prepared both by the merging parties and by parties
opposing the merger; other documents relating to each of these companies; documents related to the
market for mobile communications services and the market for fixed communications services; and
various documents prepared by the FCC over the past many years.
3
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
Summary of findings
On the basis of my background and a review of the documents described above, I reach
conclusions with respect to the proper competitive framework to examine the proposed merger from a
consumers perspective. I find the following:
|
|
|
XM and Sirius compete with numerous other providers of
communications services, both in a fixed and a mobile environment, including
terrestrial radio and fixed and mobile internet services; |
|
|
|
|
the market structure for both mobile communications services and fixed communications
services is changing rapidly, and the federal government has actively promoted the
development and deployment of advanced communications services; and
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|
|
it would be unreasonable to examine the proposed merger of XM and Sirius in a static
environment that does not account for changing technology and market structure over both
the short and long term. |
Rapid changes in both technology and market structure substantially affect the competitive
alternatives available to XM and Sirius customers. The FCC in many proceedings has facilitated the
commercial availability of new technologies that compete with satellite radio and other services.
It would be unreasonable for the FCC and other federal agencies in reviewing the proposed merger to
ignore the substantial federal efforts to promote both fixed and mobile communications services
that compete with satellite radio services.
|
|
|
II. |
|
XM and Sirius compete with numerous other providers of communications services, both in a
fixed and a mobile environment, including terrestrial radio and fixed and mobile internet services. |
Opponents of the XM-Sirius merger frame the relevant product market overly simply: a narrow,
static service market in 2007 comprised exclusively of satellite radio services with the merger
representing increased concentration from two firms to one.3 This view of satellite
radio as spanning an entire isolated antitrust market unaffected by the availability and prices of
competing services, however, is not consistent with technology, consumer demand, and the FCCs
findings in a variety of proceedings. Other studies convincingly refute the narrow market
view.4
Whether in the mobile environment of a car or train or in the fixed environment of a home, office,
or work site, American consumers have a wide and rapidly expanding range of choices for
communications services that compete with XM and Sirius. These competitive choices discipline the
prices that XM and Sirius charge subscribers today and will continue to do so regardless of whether
the firms merge.
For purposes of exposition and consistent with the manner in which the FCC allocates and licenses
spectrum, I will organize my discussion of the markets in which XM and Sirius compete into two
parts:
|
|
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3 |
|
See, e.g., Crowell and Moring, Analysis of Antitrust Concerns Regarding
XM/Sirius Merger, submitted to the FCC, May 22, 2007, at 2-4. See In the Matter of XM
Satellite Radio Holdings Inc., Transferor and MB Docket No. 07-57 Sirius Satellite Radio Inc.,
Transferee Consolidated Application for Authority to Transfer Control of XM Radio Inc. and
Sirius Satellite Radio Inc., Comments of the American Antitrust Institute in Opposition to
the Transfer Application, June 5, 2007. See also J.G. Sidak, Expert Declaration of J.
Gregory Sidak Concerning the Competitive Consequences of the Proposed Merger of Sirius
Satellite Radio, Inc. and XM Satellite Radio, Inc., (Sidak Declaration), March 16, 2007, at
1-2, and 8-33. |
|
4 |
|
See T. Hazlett, The Economics of the Satellite Radio Merger, in
Docket 07-57, June 14, 2007,
http://gullfoss2.fcc.gov/prod/ecfs/retrieve.cgi?native_or_pdf=pdf&id_documen
t=6519527923. |
4
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
fixed communications services and mobile communications services.5 These market
constructs are much broader than, and fully include, the audio entertainment services market
conservatively suggested by XM and Sirius.6 The presentation of these market constructs
for expositional purposes in this paper does not preclude subsequent analytical findings of similar
or different relevant antitrust markets.
The following findings frame this section:
|
|
|
Consumers can choose among many fixed communications services that
compete with XM and Sirius; |
|
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|
Consumers can also choose among many mobile communications
services that compete with XM and Sirius; |
|
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|
XM and Sirius have little programming that consumers cannot obtain
elsewhere from other communications service providers; and |
|
|
|
|
a single internet device can offer many communications services including those
offered by XM and Sirius. |
|
|
|
A. |
|
Consumers can choose among many fixed communications services that compete with XM and
Sirius. |
The United States has more than 300 million people7 and more than 124 million
housing units.8 Of the hundreds of millions of potential satellite radio subscriptions
in fixed locations, there are approximately 14.5 million satellite radio subscribers, and many if
not most of those are primarily used in automobiles.9 Although the number of satellite
radio subscriptions is growing, it remains small relative to the universe of communications
services used in fixed locations in the United States.
For communications services in the home or office, consumers have many choices besides XM and
Sirius. While practically all of these communications services can be used in either a mobile or a
fixed environment, but consumers can also choose communications services that can only be used in a
fixed environment. These include such communications services as internet access and broadband
services offered by wireline telephone companies and cable companies. Consumers also can use a wide
range of electronic devices to listen to pre-recorded music at home, in the office, or at other
fixed locations.
The technologies for fixed communications services are converging. Consumers at home or work can
listen to music, news, sporting events, and other audio services transmitted by terrestrial radio,
internet-based web sites, cable audio services, DBS audio services, or satellite radio. Years ago,
these and other different consumer technologies might have occupied separate product markets;
today, the distinctions blur among different communications services in a fixed environment.
|
|
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5 |
|
I do not suggest that these are necessarily antitrust relevant markets based
on rigorous analysis that I have not attempted in this paper. Rather, mobile communications
services and fixed communications services are useful ways of examining the competitive
choices available to consumers considering XM or Sirius. |
|
6 |
|
See Consolidated Application for Authority to Transfer Control, In the Matter of XM
Satellite Radio Holdings and Sirius Satellite Radio, at 23 and footnote 68 (filed March 20,
2007).7 U.S. Census Bureau. See http://www.census.gov. |
|
7 |
|
U.S. Census Bureau. See http://www.census.gov. |
|
8 |
|
U.S. Census Bureau, figures for 2005. See
http://www.census.gov/popest/housing/tables/HU-EST2005-01.xls. |
|
9 |
|
This reflects 7.9 million XM subscriber, as stated by XM on April 26, 2007, at
http://xmradio.mediaroom.com/index.php?s=press_releases&item=1449 and 6.6 million Sirius
subscribers, as stated by Sirius on May 1, 2007, at
http://investor.sirius.com/ReleaseDetail.cfm?ReleaseID=240128. |
5
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
Internet and broadband services are widely available to the American public, and these
services provide consumers with audio and other services that compete with the satellite radio
services of XM and Sirius. As of June 2006 (the most recent available data), more than 99% of zip
codes in the United States had broadband services.10More than 87% of zip codes had
three or more broadband providers.11More than 19% of zip codes had 10 or more broadband
providers. There were more than 64 million broadband lines based on subscription accounts in
service in the United States, of which more than 11 million were terrestrial mobile accounts and
nearly 500,000 satellite accounts.12 More than 93% of households had access to broadband
service,13 and broadband service was purchased by more than 50 million
residences.14 On any of these services, American consumers can obtain practically the
full range of programming services available on satellite radio.15 All of these
communications services discipline the pricing structure of satellite radio service operators.
In much of the remainder of the paper, I focus more on the mobile communications market than on the
fixed communications market. There are more competitors for fixed communications services than for
mobile communications services. To the extent the merger of XM and Sirius poses no competitive harm
for mobile communications services, it will pose no competitive harm for fixed communications
services.
|
|
|
B. |
|
Consumers can also choose among many mobile communications services that compete with XM
and Sirius. |
Consumers can and do choose among various forms of mobile communications services including
terrestrial radio, pre-recorded music, mobile phones, and mobile internet services that compete
with XM and Sirius. Mobile communications services means communications services that can
potentially be used in a mobile environment such as an automobile.16 Communications
services means a wide range of services that include statutory definitions of broadcast services,
information services, and telecommunications services,17 as well as other information
and entertainment services such as pre-recorded music. Communications services need not be
mobile. Mobile communications services include those satellite radio services offered through
equipment either installed in an automobile or available through plug-and-play and other portable
devices.18 These and other mobile communications services are offered with commercially
available consumer electronic devices both for portable or nomadic use and installed in
automobiles.
As noted above, as long ago as June 30, 2006, the United States had 11 million mobile terrestrial
broadband accounts and more than 500,000 satellite broadband accounts.19 Mobile
broadband subscriptions are growing rapidly and will likely surpass satellite radio service
subscriptions.
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|
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10 |
|
See High-Speed Services for Internet Access: Status as of June 30,
2006, January 2007, at 1 and Table 15,
http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-270128A1.pdf. |
|
11 |
|
Ibid., at Table 15. |
|
12 |
|
Ibid., at Table 1. |
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13 |
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Ibid., at Table 14 |
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14 |
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Ibid., at Table 3. |
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15 |
|
See discussion at II.B.4 below. |
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16 |
|
See 47 U.S.C. 153(27). |
|
17 |
|
See 47 U.S.C. 153(6), (20), (43), and (46). |
|
18 |
|
Some satellite radio services are offered through equipment that is not portable and
that is attached to home stereo and other audio systems. See subsection A above. |
|
19 |
|
See High-Speed Services for Internet Access: Status as of June 30,
2006, January 2007, at Table 1,
http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-270128A1.pdf. |
6
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
Although XM and Sirius both offer satellite radio services, and both compete for new
customers, particularly those interested in portable plug-and-play devices, there is not likely
substantial switching among existing customers between the two. Part of the reason for the lack of
substantial switching between existing customers is the high switching cost for factory-installed
satellite equipment in automobiles, and automobiles account for a substantial share of the customer
base for both XM and Sirius.20 Each satellite radio service requires specialized
equipment, and installing this equipment in an automobile (rather than using a portable transceiver
or other device not built into the car) is both costly and time-consuming. In contrast, terrestrial
radio service is the default option on much factory-installed equipment when a satellite radio
subscription expires.
Indeed, satellite radio subscribers continue to spend time listening to terrestrial radio rather
than to satellite radio.21 Most new automobiles are equipped with CD players and other
audio equipment. For customers with factory-installed satellite radio equipment, the incremental
cost of switching from a satellite radio service to terrestrial radio or other audio services in an
automobile is zero while the incremental cost of switching to a different satellite radio service
is substantial, even without considering the monthly fee. Thus, a price increase for one or both
satellite radio services is likely to lead many consumers to move to another type of service
altogether rather than to the other satellite radio service.
Although an obvious form of switching away from satellite radio services is towards audio services
available in a car with no incremental cost, consumers may also choose from a wide range of other
communications services. Mobile communications services including satellite radio services are
increasingly linked by at least one common form of possible substitution: mobile internet services.
These mobile internet services can both technologically and economically substitute for the
origination, transmission, and reception of practically all other mobile communications services.
Consumers dissatisfied with the quality or price of either XM or Sirius can choose to switch to
other services including more capable mobile internet services.
Switching to mobile internet service may require the purchase of new equipment and subscribing to a
mobile internet service. The switching costs could be substantial if a consumer would not otherwise
subscribe to mobile internet services. On the other hand, millions of U.S. consumers already
subscribe to mobile internet services, and the number of subscribers is increasing rapidly.
The availability and pricing of mobile internet services help discipline the market behavior of
businesses offering other mobile communications services, including satellite radio services. As
will be shown subsequently in this paper, mobile internet services are widely available today and
will become even more widely available with greater capabilities at lower prices in the future. To
see the diffusion of mobile internet technologies, visit any consumer electronics store, either
online or at a local shopping mall. To get a sense of why narrowly defined services such as
satellite radio are technologically subsumed in markets supporting broader mobile communications
technologies, some of which will be commercially available in the next year, see the web sites for
various IEEE groups that are developing standards for mobile broadband services.22
|
|
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20 |
|
See Tim Farrar, The Competitive Landscape for Satellite Radio, April 6, 2007,
at 4, available at www.tmfassociates.com/SatRadio.pdf. See also StreetDeck, Demand for
In-Vehicle Infotainment Picks Up Speed, at 2, available at
http://www.intel.com/design/embedded/casestudies/streetdeck.pdf (last visited June 12, 2007). |
|
21 |
|
Satellite radio subscribers devote a significant portion of their overall radio
listening to either XM or Sirius various channel offerings, but still end up spending more
time with terrestrial radio. Overall, three in ten (31%) say they now listen mostly or
exclusively to satellite-delivered stations, with 43% of Sirius subscribers devoting the
lions share of their time to these channels. But overall, nearly four in ten (38%) satellite
users listen mostly or only to area AM and FM stations. This data supports the recent Arbitron
analysis from the fall 06 ratings book that confirmed that satellite radio listeners actually
listen to more terrestrial radio on a weekly basis (14 hours versus 10:45).See
http://www.jacobsmedia.com/tech3_satellite.htm. |
|
22 |
|
See, e.g., 802.16.e, at http://www.ieee802.org/16/tge/. |
7
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
1. Mobile communications services is a broad category of services with converging
technology
Until recently, mobile communications services consumed in cars could be divided into various
categories including voice services such as mobile phones; data services such as mapping services;
emergency call services such as OnStar; and entertainment services such as terrestrial radio,
satellite radio, and pre-recorded music on CDs, MP3 players, and iPods. In the past, some of these
categories of services might have potentially been described as separate markets, but today the
dividing lines that separate them are blurred. Mobile internet services combine the capabilities of
all of these various categories of services. Consequently, the prices of individual mobile
communications services are disciplined by the prices and availability of broader mobile internet
services.
For passive services such as terrestrial or satellite radio, a consumer receives information from a
fixed menu with a finite number of channels. Information flows one wayto the consumer. In
contrast, on the internet consumers can send messages to friends, order products and services
online, and engage in many other activities. New mobile internet services enable consumers to
interact with the internet at highway speeds.23 A consumer can usually enjoy a mobile
internet service with the same equipment in most locations, whether moving or in a fixed location.
In contrast, many XM and Sirius receivers are primarily for use in cars.24
While mobile internet services are more expensive than satellite services today, the prices of
these services have steadily fallen, and the technical capabilities and geographic coverage have
improved substantially.25 New mobile broadband services that will soon be available will
further reduce prices and substantially improve technical capabilities. In addition, many consumers
already subscribe to mobile internet services, and the incremental cost to receive alternate audio
entertainment via the internet is very low.
2. Mobile communications services tend to be offered with nationwide pricing.
XM and Sirius, separately or jointly, cannot easily offer different prices in different
geographic areas. The very nature of a mobile service generally, and a mobile satellite service in
particular, leads to nationwide pricing. Mobile services are not tied to a single location but can
and do move as the consumer moves. The same nationwide pricing is true for other mobile services
such as most if not all mobile phone services offered by national carriers.26 Nationwide
advertising and promotion campaigns, through both online websites and retail distribution channels
at consumer electronic stores, also would not support geographic pricing.27
|
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23 |
|
See Dan Tynan, Cruising the Internet at 70
MPH, PC World, May 2007, at
http://www.pcworld.com/article/id,129779/article.html. |
|
24 |
|
See The Katz Radio Group, Satellite Radio Penetration, RADIOWAVES, Dec. 2006,
at http://www.katz-media.com/pubs/RadioWaves/121206/RadioWavesDEC2006.pdf (last visited
May 31, 2007). |
|
25 |
|
For example, T-Mobile has an unlimited internet-only plan
for $49.99 per month. See
http://www.t-mobile.com/shop/plans/Default.aspx?plancategory=7.
Sprint has unlimited mobile data plans from $59.99 per month. See
http://nextelonline.nextel.com/NASApp/onlinestore/en/Action/SubmitRegionAction Verizon Wireless
offers bundled data and voice plans for $79.99 per month. See
http://www.verizonwireless.com/b2c/store/controller?item=planFirst&action=viewPlanOverview&cm_re=G
lobalPlansPlans. AT&T has a wide range of rate plans depending on the equipment and the
amount of usage. See
http://www.wireless.att.com/cell-phone-service/cell-phone-plans/data-cell-phone-plans.jsp?_request
id=69275. |
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26 |
|
For a general discussion of competition for mobile phone services, see Declaration
of Harold Furchtgott-Roth in WT Docket No. 05-194. For a discussion of uniform national
pricing, see particularly at 10-11. |
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27 |
|
Ibid. |
8
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
To see nationwide rate plans, visit the web site of one of the national carriers.28
Of course, for some two-way services such as mobile telephony, consumers can and do expect
geographically-sensitive charges such as long-distance and roaming charges, but for other services
such as telematics, consumers are offered flat monthly fees.29 Many if not most
satellite radio customers initially receive service as a part of a new car purchase for a flat
nationwide feefree. For new cars, XM and Sirius have long-term contracts with the major
automobile manufacturers.30
In addition to the facility of national advertising and promotional campaigns with nationwide
pricing, other factors reinforce nationwide pricing for mobile services such as satellite radio.
Most obviously, mobile services can be consumed anywhere, not just at a specific billing address.
Efforts to price discriminate by billing address can be thwarted by consumers either by switching
services or by switching billing addresses for the many consumers who have more than one address
(home, business, school, post-office box, second home, etc.).
3. Among mobile communications services, satellite radio is a relatively small service
American consumers have many different choices for mobile communications services. The United
States has more than 240 million registered highway vehicles,31 the vast majority of
which might reasonably have mobile communications services, most likely terrestrial radio
equipment. Among this large universe of hundreds of millions of potential satellite radio
subscriptions, there are approximately 14.5 million satellite radio subscribers.32 Some
subscribers with plug-and-play devices may use satellite radio services in more than one
automobile. (As discussed in subsection A above, some of these 14.5 million subscriptions are in
fixed locations, rather than motor vehicles.) Of course, satellite radio is a relatively new
service, and subscriptions have grown rapidly in recent years and may well continue to grow over
the next several years. But by any reasonable measure, XM and Sirius are relatively modest
participants in the market for mobile communications services.
For the purpose of comparison to the 14.5 million satellite radio subscriptions, there are more
than 237 million mobile phones in use, and many of these are capable of accessing the
internet.33 As long ago as June 2005, half of mobile phones in use were capable of
accessing the internet, and one third of wireless customers used wireless data
services.34
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28 |
|
See, e.g.,
http://nextelonline.nextel.com/NASApp/onlinestore/en/Action/DisplayPlans?filterString=Individua
l_Plans_Filter&id12=UHP_Plan-sTab_Link_IndividualPlans, visited on June 19, 2007;
http://www.verizonwireless.com/b2c/store/controller?item=planFirst&action=viewPlanOverview&cm_r
e=GlobalPlansPlans, visited on June 19, 2007;
http://www.wireless.att.com/cell-phone-service/cell-phone-plans/individual-cell-phone-plans.jsp
, visited on June 19, 2007; http://www.t-mobile.com/ visited on June 19, 2007;
http://www.metropcs.com/plans.php, visited on June 19, 2007. |
|
29 |
|
See http://www.onstar.com/us_english/jsp/index.jsp. |
|
30 |
|
For a list of automotive partners with Sirius, see
http://www.sirius.com/servlet/ContentServer?pagename=Sirius/CachedPage&c=Page&cid=1019257316845
. For a list of automotive partners with XM, see
http://www.xmradio.com/whatisxm/inyourvehicle/new-vehicles.xmc. |
|
31 |
|
U.S. Bureau of Transportation Statistics. Figures are for
2005. See
http://www.bts.gov/publications/national_transportation_statistics/html/
table0111.html. |
|
32 |
|
See footnote 9.
|
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33 |
|
See www.ctia.org. |
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34 |
|
http://www.ctia.org/advocacy/position_papers/index.cfm/AID/10298. |
9
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
The FCCs most recent wireless competition report describes the widespread availability of
mobile wireless internet services such as EV-DO as WCDMA/HSDPA in early 2006.35 These
and more advanced mobile internet services are widely available today.36 Purchasers of
mobile phones, PDAs, or laptop computers are offered an ever-expanding range of mobile internet
access services.
A recent survey by Bridge Ratings illustrates the relatively modest stature of satellite radio in
the American market.37 According to the May 2007 survey, nearly 94% of Americans listen
to terrestrial radio during a week.39 Approximately 30% of Americans listen to MP3
players (including iPods) during a week.38 But, according to the survey, fewer than 5%
of Americans listen to satellite radio in a week.40 Of particular note, nearly four
times as many Americans, nearly 20%, listened to radio on the internet (both terrestrial stations
with web-based audio feeds as well as internet-only stations) as listened to satellite radio during
the course of a week.41 Interestingly, the Bridge Ratings survey, conducted by a
commercial business for commercial customers, includes a range of services that practically spans
mobile communications services.42 The survey does not include just satellite radio, or
even just satellite radio and terrestrial radio.
4. Mobile broadband services are increasingly available
Until recently, the range of technologies available for cars was much more limited than for
homes or offices. Broadband services, which have only recently become popular in American homes and
offices, are about to become popular in American cars as well.
Many mobile communications services are widely if not ubiquitously available. Terrestrial and
satellite radio services and pre-recorded music devices are the most well-known. Downloadable music
services are now available on cell phones, and can be retransmitted through car stereo
systems.43 In the Sprint Productivity Survey, 43% of respondents report having listened
to music on their cell phone, one of the most common uses of cell phones.44
In the next two years, many new mobile internet services will be based on WiMax technologies, but
other technologies are also being deployed. Sprint is beginning to roll out an advanced broadband
wireless service this year in the 2.5 GHz band and, as required by the FCC, will serve a large
portion of the U.S. population in the next two years.45 Clearwire has a similar rollout
plan for advanced broadband wireless services.
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35 |
|
In the Matter of Implementation of Section 6002(b) of the Omnibus Budget
Reconciliation Act of 1993 Annual Report and Analysis of Competitive Market Conditions With
Respect to Commercial Mobile Services, WT Docket No. 06-17, Eleventh Report, released
September 29, 2006, at paragraph 100. |
|
36 |
|
For the rollout of these services as of 2006, see Eleventh Report, Map 8, at page 116. |
|
37 |
|
Bridge Ratings press release, May 23, 2007, at http://www.bridgeratings.com/press.05.23.07.CompMediaUse.htm. |
|
38 |
|
Ibid |
|
39 |
|
Ibid. |
|
40 |
|
Ibid. |
|
41 |
|
Ibid. |
|
42 |
|
See www.bridgeratings.com. |
|
43 |
|
See http://us.lge.com/products/model/detail/mobile%20phones_select%20by%20carrier_sprint_FUSIC.jhtml. |
|
44 |
|
In the Sprint 2006 Productivity Survey, 43% of respondents report listening to music
with their mobile phones. See
http://www.sprint.com/productivitysurvey/prodsurveyfastfacts.pdf. |
|
45 |
|
See Applications of Nextel Communications, Inc. and Sprint Corporation For Consent to
Transfer Control of Licenses and Authorizations File Nos. 0002031766, et al, WT Docket 05-63,
Memorandum Opinion and Order, Released August 8, 2005. |
10
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
AT&T will soon develop the WCS band, likely for mobile broadband services.46
Winners of the AWS auction will begin offering services in the 1.9 2.1 GHz bands before
long. The 700 MHz auction later this year will afford auction winners opportunities to begin
offering mobile broadband services in 2009. Mobile and fixed wireless broadband services will soon
be available in other bands as well.
Mobile internet services are increasingly available directly in cars. Businesses such as Unwired
Vehicles,47 KVH,48 and Autonet Mobile49 are marketing mobile
internet services for automobiles based on EVDO and Wi-Fi technologies.50 Faster
broadband connections to the car should be available within the next year from businesses such as
Aeris.51 That company is working with an automobile company on a system that can
download data while traveling at rapid speeds.52
Mobile broadband services have capabilities that surpass those of most existing mobile
communications technologies. To mention but a few of these capabilities, users can receive
simulcast internet programming from many radio stations around the world that have an online site.
Users can receive video programming from many online sites for both broadcast shows (e.g., recent
announcements from CBS and other networks)53 as well as other types of video
entertainment (e.g., YouTube).54 YouTube is launching a web site specifically for mobile
users.55 Users can access all other forms of internet content from the convenience of
their caror merely walking down the street. In addition, users will have two-way broadband
capabilities to send information and content, not merely one-way or passive services.
The range of service offerings on mobile broadband services will be more technologically advanced
than those presently offered on satellite radio. Even narrowly for purely audio services, internet
sites enable consumers to tailor music and entertainment choices far more precisely than they can
over satellite radio.56
Mobile broadband services are not a secret. Businesses are investing billions of dollars in the
development of these services; consumers eagerly await them. They will provide enormous competition
to other mobile communications services, including satellite radio services, whether offered
separately or jointly by Sirius and XM. New WiMax and other wireless broadband service providers
are basing their business plans on competitors who will be in the market from 2007 2012. It
would be irrational for satellite radio not to do the same.
|
|
|
46 |
|
See AT&T Inc. and BellSouth Corporation Application for Transfer of Control, WC
Docket No. 06-74, Memorandum Opinion and Order, released March 26, 2007. |
|
47 |
|
See www.unwiredvehicles.com. |
|
48 |
|
See www.kvh.com; also see PR Newswire Europe (inc. UK Disclose), Thursday, January 5, 2006 |
|
49 |
|
See www.autonetmobile.com. |
|
50 |
|
See Dan Tynan, Cruising the Internet at 70 MPH,
PC World, May 2007, at
http://www.pcworld.com/article/id,129779/article.html |
|
51 |
|
Ibid. |
|
52 |
|
Ibid. |
|
53 |
|
See http://www.investors.com/editorial/IBDArticles.asp?artsec=17&artnum=3&issue=20070605. |
|
|
|
54 www.youtube.com. |
|
55 |
|
It will be www.m.youtube.com. See
http://www.smartphonetoday.com/articles/2007/6/2007-6-20-YouTube-Going-Mo
bile.html. |
|
56 |
|
For customized services, see, e.g., http://www.pandora.com and www.slacker.com. |
11
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
5. The FCC has held that mobile data services are a separate and narrow market.
The FCC describes market structure in some of its annual competition reports.57
In its annual report on competition for commercial mobile services (often described as the
Commercial Mobile Radio Services or CMRS Report),58 the FCC divides those services into
three narrow product markets;59 one of these is mobile data services, a category
that would appear capable of including satellite radio services.60 Within the narrow
product market for mobile data services, the FCC describes specific categories of services
including mobile broadband services.61 The FCC describes the wireless broadband
offerings, many soon to be mobile, of Clearwire, Sprint, and other carriers.62 The FCC
does not discuss satellite radio in its CMRS report presumably in part because satellite radio is
discussed in a separate report63 and because the CMRS report is organized around
specific bands of spectrum and specific allocations within those bands.64
|
|
|
57 |
|
For commercial mobile radio services (CMRS), see Implementation of Section
6002(b) of the Omnibus Budget Reconciliation Act of 1993 Annual Report and Analysis of
Competitive Market Conditions With Respect to Commercial Mobile Services, WT Docket 06-17,
Eleventh Report, Released September 29, 2006, at paragraphs 19-88. For satellite services, see
Annual Report and Analysis of Competitive Market Conditions with Respect to Domestic and
International Satellite Communications Services, IB Docket No. 96-67, First Report, released
March 26, 2007, at paragraphs 11 143. For video services, see Annual Assessment of the
Status of Competition in the Market for the Delivery of Video Programming, MB Docket 05-255,
Twelfth Annual Report, released March 3, 2006, at paragraphs 143-208. For broadband services,
see High-Speed Services for Internet Access: Status as of June 30, 2006, January 2007,
http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-270128A1.pdf. In these reports, however,
the FCC does not conduct an empirical analysis to determine the boundaries of markets. Service
offerings are typically included in only one report partly for similarity of licensing
structure or for historical reasons, rather than defensible descriptions of economic markets. |
|
58 |
|
Implementation of Section 6002(b) of the Omnibus Budget Reconciliation Act of 1993
Annual Report and Analysis of Competitive Market Conditions With Respect to Commercial Mobile
Services, WT Docket 06-17, Eleventh Report, Released September 29, 2006. |
|
59 |
|
Ibid., paragraph 21. The FCC presents three narrow product market definitions for
the purpose of the annual report. The FCC does permit some flexibility in product market
definitions observing that some circumstances may require broader definitions while other
circumstances narrower definitions. The relevant observation is that, from the FCCs
perspective, mobile data services are a narrow product market. |
|
60 |
|
Ibid., paragraph 23. The FCC report predicates mobile services as interconnected
only in paragraph 21. Subsequently, it drops the limitation such as in paragraph 21.
Commercial mobile service under 47 U.S.C. 332 is limited to those services offered to the
public and interconnected with the public switched network. On the other hand, a mobile
service under 47 USC 153(27) includes one-way services and those not interconnected. The
discussion of mobile services in the FCCs Annual CMRS report includes mobile services that
are not interconnected such as ringtones. Ibid., paragraph 23. Although the FCC places mobile
satellite services (MSS) in a separate narrow product market, the discussion of MSS is more
from an FCC licensing perspective than from differences in consumer perspectives or
differences in applications available with satellite services. See paragraph 24. |
|
61 |
|
Ibid., paragraph 29.
|
|
62 |
|
Ibid, paragraphs 30-33. |
|
63 |
|
Annual Report and Analysis of Competitive Market Conditions with Respect to Domestic
and International Satellite Communications Services, IB Docket No. 96-67, First Report,
released March 26, 2007. The FCC tends to place services in just one annual report rather than
in multiple reports even if the service could reasonably be discussed in more than one report.
For example, the Satellite Report excludes certain MSS services and satellite MVPD services
because they are addressed in other FCC competition reports. See paragraph 4. |
|
64 |
|
Eleventh Report. For purposes of comparison, the satellite competition report
presents satellite radio as a separate market more for organizational purposes rather than
based on analytical evidence. We emphasize that the market descriptions included in this
Report are intended to facilitate discussion of satellite markets and services as required by
section 703, and may not reflect the appropriate markets to be considered in other Commission
proceedings, including merger reviews, rule-makings involving the Commissions ownership
rules, or other reports to Congress. Satellite Competition First Report, paragraph 27. |
12
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
The FCC reviews license transfers in the broader context of mergers and acquisitions.65
For purposes of merger reviews, the FCC has analyzed specific product markets for mobile data
services, a subset of mobile communications services.66 The FCC defines mobile data
service as the delivery of non-voice information to a mobile device.67 Under this
definition, various forms of
broadcast radio services and satellite radio services delivered to an automobile would qualify as
mobile data services.
Moreover, within the context of mergers, the FCC distinguishes between one-way and two-way mobile
data services as two-way mobile data services include the ability not only to receive non-voice
information on an end-user device...68 Thus, mobile data services need not be two-way,
and one-way mobile data services could easily encompass various broadcast and satellite radio
services delivered to an automobile.
|
|
|
C. |
|
XM and Sirius have little programming that consumers cannot obtain elsewhere from other
mobile communications service providers. |
If a combined XM and Sirius were to raise prices, consumers could find identical or similar
programming elsewhere and switch services. Audio programming is available from many sources besides
SDARS including broadcast terrestrial radio and the internet. On the internet, users can choose
various audio programming sites including internet-only radio stations as well as traditional
broadcast radio stations that stream on the internet as well. Many terrestrial radio stations are
encouraging users to visit their web sites.69 Various web sites help users find both
thousands of traditional radio stations from around the world on the internet as well as
internet-only webcasts.70 Entire internet services such as Slacker are dedicated to
audio programming.71 Slacker even will soon offer a mobile satellite service providing
music via Ku-band satellite updates to a mobile device.72 Indeed, both XM73
and Sirius74 offer online audio services to their subscribers.
Although they have contractual satellite audio distribution rights for various programming, XM and
Sirius have little if any sports programming for which there are not terrestrial audio distribution
rights held by various terrestrial broadcasters. Those terrestrial broadcasts can be and are
received anywhere in the world via the internet. In addition, there are countless sporting
eventsprofessional, college, high school, and amateurcovered by terrestrial or internet
broadcasters that are not carried by XM or Sirius. For example, here in the Washington, DC
metropolitan area, practically all terrestrial radio stations have simultaneous broadcasts
available at web sites.75 Local stations such as Sports-Talk 980 (Washington Wizards,
Baltimore Orioles,
|
|
|
65 |
|
For a list of FCC license transfer reviews in the context of major mergers,
see http://www.fcc.gov/ogc/, as well as
http://www.fcc.gov/transaction/mergerorderschron.html, and
http://www.fcc.gov/transaction/archivedtimelines.html. |
|
66 |
|
See Applications of Nextel Communications, Inc. and Sprint Corporation For Consent to
Transfer Control of Licenses and Authorizations File Nos. 0002031766, et al, WT Docket 05-63,
Memorandum Opinion and Order, Released August 8, 2005, particularly at paragraphs 42 and 152.
For a further discussion of mobile data services, see AT&T Inc. and BellSouth Corporation
Application for Transfer of Control, WC Docket No. 06-74, Memorandum Opinion and Order,
released March 26, 2007, at paragraphs 175-176. |
|
67 |
|
Ibid., at fn 110. |
|
68 |
|
Ibid. |
|
69 |
|
http://www.nytimes.com/2007/06/12/arts/music/12RADIO.html?_r=1&oref=slogin. |
|
70 |
|
See, e.g., www.radiolocator.com; http://www.radiotower.com; http://www.web-radio.fm. |
|
71 |
|
See www.slacker.com. See also Internet Radio Races to Break Free of PC, Wall Street
Journal, page A1, June 18, 2007. |
|
72 |
|
See http://www.slacker.com/company/products.html. |
|
73 |
|
http://xmro.xmradio.com/xstream/index.jsp. |
|
74 |
|
http://www.sirius.com/wi/i/sirm. |
|
75 |
|
See www.radiolocator.com.. |
13
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
Washington Capitals, and local college football), WTOP (Washington Nationals), and ESPN Radio
94.3 FM (Washington Redskins) are available on the internet.76 Thus, a sports fan from
the Washington metropolitan area (or any other metropolitan area) can listen to broadcasts of local
and regional sporting events while traveling anywhere in the United States and throughout much of
the world without satellite radio. Similarly, while in the Washington, DC area, a sports fan from
New York, Boston, Los Angeles, or practically any city or town in America can listen to local
sports broadcasts without satellite radio.
XM and Sirius also have contracts for exclusive distribution rights for non-sports programming.
With the exception of programming featuring Howard Stern and other personalities, most programming
on XM and Sirius has identical or comparable alternatives easily available on the internet. Of
course, terrestrial radio broadcasters also have exclusive rights to the distribution of non-sports
programming such as Rush Limbaugh and other personalities. Ultimately, there is little programming
available on satellite radio that is not available in some form on terrestrial radio.
The 14.5 million subscribers to XM and Sirius services are economically rational. They subscribe at
current subscription rates because the packaging of programming is compelling and because the
mobility and availability of the service are convenient. But economically rational subscribers are
not captive audiences: they have choices. Consumers who want the convenience of mobility and audio
programming similar to that which is available on either XM or Sirius have a choice: they can
subscribe to one of the SDARS services or they can find comparable audio services on the internet,
on an AM/FM radio, or on other mobile devices. The availability of these alternative choices
significantly limits any possible exercise of market power by a combined XM and Sirius.
|
|
|
D. |
|
A single internet device can offer many communications services including those
offered by XM and Sirius. |
The competitive constraint of a wide range of communications services on XM and Sirius can
easily be seen by the communications services available on the internet with a single
internet-access device. Before the 1990s, practically all communications, whether fixed or mobile,
were originated and received on dedicated equipment. The transmission of the communications might
have been by various modes, but the equipment on either end was specialized as a voice handset, a
data processor, a television, a radio, etc.
With the advent of the internet, practically all forms of communications can originate and
terminate with a single piece of equipment, an internet-attached computer. Moreover, many forms of
communications which previously were transmitted by a single dedicated transmission path now are
transmitted through many modes over the internet.
Table 1 illustrates the ubiquity of the internet in the origination, transmission, and termination
of communications services. For purposes of the table, communications services (either mobile or
fixed) are divided into four categories: broadcast services; one-way communications; two-way
communications; and pre-recorded music. Examples of each category of service are listed in the
table. In practically every example of service, either specialized equipment or the internet can be
used to originate and to terminate communications. In most instances, practically any mode,
including satellite services, can be used to transmit communications.
14
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
TABLE 1
Ubiquity of Internet in Origination, Transmission, and Reception of Communications Services
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
|
SIGNAL ORIGINATION |
|
TRANSMISSION MODE |
|
RECEPTION DEVICE |
|
|
DEDICATED |
|
INTERNET- |
|
SATELLITE |
|
TERRESTRIAL |
|
INTERNET |
|
DEDICATED |
|
INTERNET- |
TYPE OF COMMUNICATION |
|
DEVICE |
|
ATTACHED |
|
|
|
|
|
|
|
DEVICE |
|
ATTACHED |
|
|
|
|
COMPUTER |
|
|
|
|
|
|
|
|
|
COMPUTER |
Broadcast services (one to many) |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Radio programming |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Video programming |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
One-way data services |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Paging |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Mapping services |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Emergency services |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
LoJack |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Mobile telemetry |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Two-way data services |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Voice services |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Internet access services |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Emergency services |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
OnStar |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
E911 |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Prerecorded music |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
CD |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
iPod |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
MP3 Player |
|
|
|
|
|
|
|
|
|
|
|
|
|
|
Table 1 helps illustrate that internet services can substitute for a wide range of communications
services, including satellite radio services offered by XM and Sirius, in either a mobile or a
fixed environment. A consumer would need many separate dedicated devices, including a satellite
radio receiver, to offer only part of the capabilities of a single internet device with internet
services.
Internet and broadband services will not entirely displace all other mobile communications services
any more than broadband services in the home have entirely displaced television, radio, CD players
and traditional telephones. In practice, many consumers can and do use more than one communications
service.77 But internet and broadband services, for both mobile and fixed applications,
do siphon usage away from other services and discipline the prices that other services can command
in the market. For example, many studies find that Americans at home are shifting away from
television and other one-way services towards two-way broadband services.78 Just as
importantly, the multiple modes of receiving communications services over the internet help to
replicate the satellite radio service offering. For example, unique visitors to the web sites of
terrestrial radio stations grew 71% in 2006.79
|
|
|
77 |
|
The results of the Bridge Ratings survey illustrate that many consumers use
more than one service. |
|
78 |
|
See Arbitron/Edison Media Research, The Internet & Streaming: What Consumers Want
Next, Internet VII, 12, at
http://www.edisonresearch.com/home/archives/Internet7_Final_Summary.pdf (last visited May
31, 2007). |
|
79 |
|
See March 9, 2007, Internet Radio Scorecard: January 2007, at
http://www.bridgeratings.com/news.htm. |
15
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
|
|
|
III. |
|
The market structure for both mobile communications services and fixed communications
services is changing rapidly, and the federal government has actively promoted the development and
deployment of advanced communications services. |
Some comments filed in this merger review see the relevant market as just XM and Sirius
competing in a separate satellite radio market.80 Part of the justification put forward
in support of such a narrow market definition is the historical opinions of the FCC, particularly
with respect to the number of licensees.81
However, from a consumer perspective, the relevant market contains choices from today onwardnot
choices available retrospectively. The choices of both mobile and fixed communications services
available to consumers, and thus the construction of relevant markets, is not the same today as it
was a few years ago, much less ten years ago. And those choices are growing rapidly, particularly
for mobile communications services. The ability of either XM or Sirius to increase prices
diminishes accordingly. The FCC is well aware of these changing market conditions and their effect
on the review of license transfer applications.
This section reviews two points:
|
|
|
The federal government has taken substantial steps to facilitate
the deployment of advanced communications services; and |
|
|
|
|
the FCC has recognized shifting market conditions in reviewing license
transfer applications in the context of merger reviews. |
|
|
|
A. |
|
The federal government has taken substantial steps to facilitate the deployment of
advanced communications services. |
The federal government is not a passive observer of broadband services. High-ranking
government officials have given speeches about the importance of broadband services. Even the
President of United States has focused on the importance of broadband services:
The other promising new broadband technology is wireless. The spectrum that allows for
wireless technology is a limited resource ... [a]nd a wise use of that spectrum is to help
our economy grow, and help with the quality of life of our people.82
Many of these advanced wireless broadband services are mobile.83 For several years, the
federal government has promoted wireless broadband services generally and mobile wireless broadband
services in particular. The FCC has allocated several bands of spectrum for services that permit
mobile wireless broadband services including 700 MHz, AWS, 2.5 GHz, 3.65 GHz, and others. The FCC
is currently or has recently conducted major auctions in some of these bands.
The FCC has had a successful docket dedicated to Rules to Facilitate the Provision of Fixed and
Mobile Broadband Access, Educational and Other Advanced Services.84 In this docket, the
FCC has made great efforts to facilitate the deployment of wireless broadband services, including
mobile services.
|
|
|
80 |
|
See footnote 3 above. |
|
81 |
|
Crowell and Moring, Analysis of Antitrust Concerns Regarding XM/Sirius Merger,
submitted to the FCC, May 22, 2007, at 2. |
|
82 |
|
President Bush, June 24, 2004. http://www.ntia.doc.gov/ntiahome/speeches/2005/JKneuer_MS110905_files/frame.htm. |
|
83 |
|
Ibid. |
|
84 |
|
WT Docket No. 03-66. |
16
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
Moreover, we facilitate the development of wireless broadband systems in this
band [2495-2690 MHz] that could offer consumers another choice for broadband
accesscompeting in price and features with existing landline offerings, reaching
areas not currently served by landline networks, and offering consumers portability or
mobility. ... Accordingly, through these actions, we make further progress towards our
goal of providing all Americans with universal, affordable access to broadband
technology.85
Moreover, the FCC has taken substantial steps to ensure the deployment of wireless broadband
services. In the merger of Sprint and Nextel, the FCC insisted as a condition of license transfers
that Sprint offer mobile wireless broadband services in the 2.5 GHz band in some geographic areas
within four years of the merger.86 In the merger of AT&T and BellSouth, the merging
parties committed to offer services within the WCS band by 2010.87
Obviously, technology is constantly changing, and the FCC monitors changing technologies in its
various reviews of different sectors of the communications industry.88 The FCC also
monitors the increasing subscription to broadband services by American households.89
|
|
|
B. |
|
The FCC has recognized shifting market conditions in reviewing license transfer
applications in the context of merger reviews. |
The FCC has long recognized shifting market conditions towards broader mobile service
markets.90 The FCC has also recognized the importance of considering changing market
conditions when reviewing license transfer applications in the context of a merger. Although it
sometimes relies on narrower market definitions, the FCC has considered, and not rejected, a market
definition of mobile communications services for purposes of reviewing license transfers within the
context of a merger. For example, consider mergers involving the paging industry.
|
|
|
85 |
|
Amendment of Parts 1, 21, 73, 74, and 101 of the Commissions Rules to
Facilitate the Provision of Fixed and Mobile Broadband Access, Educational, and Other Advanced
Services in the 2150-2162 and 2500-2690 MHz Bands, WT Docket No. 03-66, et al., Order on
Reconsideration and Fifth Memorandum Opinion and Order and Third Memorandum Opinion and Order
and Second Report and Order, FCC 06-46 (rel. Apr. 27, 2006), at paragraph 2. |
|
86 |
|
Applications of Nextel Communications, Inc. and Sprint Corporation For Consent to
Transfer Control of Licenses and Authorizations File Nos. 0002031766, et al, WT Docket 05-63,
Memorandum Opinion and Order, Released August 8, 2005, particularly at paragraphs 152-165. |
|
87 |
|
AT&T Inc. and BellSouth Corporation Application for Transfer of Control, WC Docket
No. 06-74, Memorandum Opinion and Order, released March 26, 2007, at Appendix F. |
|
88 |
|
See citations in footnote 57. |
|
89 |
|
See, e.g., High-Speed Services for Internet Access: Status as of
June 30, 2006, January 2007,
http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-270128A1.pdf. |
|
90 |
|
Consider the following insights from the FCC of more than 10 years ago: 59. Another
view would conclude that the product market is broader. The Commissions Third CMRS Report and
Order contained an analysis of trends in CMRS and found that the direction is away from a
balkanized view that sees cellular, SMRs, paging, etc., competing in separate markets:
growth in the wireless marketplace is bringing with it an increasing degree of service
convergence. Technology and consumer demand, facilitated by our general policy not to restrict
the services that can be provided over any particular band, are prompting commercial service
providers to follow marketing strategies that blur the differences between the various
services comprising the wireless marketplace. The Commission found evidence suggesting growing
substitution (a) between cellular service and wide-area SMRs, (b) between cellular and paging
services, (c) between SMRs, paging, and Business Radio Service, and (d) between nominally
private mobile radio systems on the one hand and common carrier systems such as cellular,
paging, and SMRs on the other. The Commission also found that traditional distinctions, such
as between voice and data services and between one-way and two-way services (and terminal
equipment), are collapsing.See, FCC, Implementation of Section 6002(B) of the Omnibus Budget
Reconciliation Act of 1993 Annual Report and Analysis of Competitive Market Conditions with
Respect to Commercial Mobile Services, First Report, Released August 18, 1995, paragraph 59,
footnotes omitted. |
17
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
The paging industry peaked in terms of subscribers in 1999 with between 45 and 52 million
paging units.91 In 2000, the Wireless Bureau approved the transfer of licenses involving
a merger of the two largest paging companies in the United States: Arch Communications Group and
Paging Network.92 Paging Network had 9.3 million paging units, and Arch had 7.2 million
paging units.93
Part of the basis for the approval of the license transfers was that market conditions were
changing, and paging services were facing growing competition from other services: [P]aging
carriers face growing competition from short messaging services (SMS) and other digital service
features offered by an increasing number of mobile voice carriers.94
By 2004, the paging industry had shrunk by approximately 75%. Arch Wireless and Metrocall, the two
largest remaining paging companies but both in bankruptcy, merged. In their application to the FCC
for transfer of licenses, the companies emphasized the changing technologies and market
conditions.95 The merging parties in 2004, as did Arch Communications and Paging
Networks in 2000, stated that paging services were part of a much broader market for mobile
communications services.96 The FCCs Wireless Bureau approved the merger without
comment in a public notice.97 The merged company survives today as USA Mobility,
accounting for the vast majority of paging units in the country.98
|
|
|
IV. |
|
It would be unreasonable to examine the proposed merger of XM and Sirius in a static
environment that does not account for changing technology and market structure over both the
short and long term. |
For some industries with static technologies and easily modified and implemented business
plans, the relevant time frame for governmental merger analysis may be an instant snapshot in time
because the future may reasonably be expected to be much like the present. Communications services
are quite different with rapidly changing technology, and satellite radio is particularly different
with business plans that require extraordinarily long lead times. One thing that is certain is that
the future of communications services generally and satellite radio in particular will not look
like the present. The rational time frame for government review of the proposed merger of XM and
Sirius is unusually long for at least three reasons:
|
|
|
Given the complexity of technology and the time required to
develop and launch services, satellite service companies have an unusually
long planning horizon; |
|
|
|
|
rapid changes in the technical capabilities of communications services mean that
market definitions today may have little relevance in just a few months or years; and
|
|
|
|
|
failure to provide satellite operators with flexibility in adjusting plans can
lead to unforeseeable harmful consequences. |
|
|
|
91 |
|
See
http://gullfoss2.fcc.gov/prod/ecfs/retrieve.cgi?native_or_pdf=pdf&id_document=6516184456. |
|
92 |
|
Arch Communications Group, Inc., and Paging Network, Inc., for Consent to Transfer
Control of Paging, Narrowband PCS, and Other Licenses, WT Docket No. 99-365, File No.
0000053846, DA 99-3028, Memorandum Opinion and Order, released April 25, 2000. |
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93 |
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Ibid. |
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94 |
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Ibid. at paragraph 15. |
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95http://gullfoss2.fcc.gov/prod/ecfs/retrieve.cgi?native_or_pdf=pdf&id_document=6516184456. |
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96 |
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Ibid. at Exhibit One, Page 9. |
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97http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-254157A1.pdf. |
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98 |
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See http://www.usamobility.com/index.html. |
18
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
For all these reasons, government agencies reviewing the merger of XM and Sirius should review
the merger over many years into the future, a time horizon much longer than for most merger
reviews.
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A. |
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Given the complexity of technology and the time required to develop and launch services,
satellite service companies have an unusually long planning horizon. |
The planning horizons for different firms are not always the same. A lemonade stand can be
conceived, operated, and profitably closed in a day. Even an internet service provider can enter a
market in a matter of days and have a successful business plan measured in months.
Satellite services are different, and the planning horizon for a satellite-service firm is
unusually long. To be successful, a satellite-service firm requires many elements including the
following: a business plan; technology consistent with the business plan; FCC licenses consistent
with the business plan and technology; contracts to build, to operate, and to maintain both the
ground and satellite systems for the business plan; contracts to manufacture consumer electronic
equipment for the business plan; contracts to distribute and to maintain the consumer electronic
equipment; contracts to offer services over the satellite network; and financing for all of these
activities. Each of these elements can take several years to plan and to implement.99
Once implemented, satellite services, unlike many terrestrial services, cannot easily be
altered.
For the reasons listed above, when the FCC considers licenses for new satellite-services firms, it
considers time frames that extend over a decade or more. The relevant planning horizon for a
satellite-services firm is many years to launch a service and 15 30 years for the service to
continue in operation. Sirius and XM won their FCC licenses at auction in 1997 and launched
services several years later. In the late 1990s, many observers believed that the market could not
support both firms, and there was much speculation about a merger.
If XM or Sirius were to begin from scratch today, neither would repeat exactly the same business
plan developed in 1997. Both technology and market conditions have changed substantially in the
past decade. Investments in the satellite industry are fixed and largely sunk.100 XM and
Sirius must reshape their business plans to react to those changes in technology and market
conditions that occurred over the past decade. It will still take the firms, either separately or
combined, several more years to implement a new business plan and a new technology plan. Part of
the reason for the merger is to lead to a more efficient business plan, but fully implementing that
plan will likely take years.101
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99 |
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Annual Report and Analysis of Competitive Market Conditions with Respect to Domestic
and International Satellite Communications Services, IB Docket No. 96-67, First Report,
released March 26, 2007, at paragraph 83. |
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100 |
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Ibid., at paragraphs 86-87. |
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101 |
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In the long run, the combined company will be able to consolidate redundant
programming, making it possible to use excess channel capacity to enhance programming diversity,
including additional programming related to public safety and homeland security, and programming
aimed at minority and underserved communities. The merger also will help accelerate deployment of
advanced technology, including improvements in products such as real-time traffic and rear-seat
video and development of a next-generation satellite system. Consolidated Application for
Authority to Transfer Control, In the Matter of XM Satellite Radio Holdings and Sirius Satellite
Radio, at ii, (filed March 20, 2007). |
19
AN ECONOMIC REVIEW OF THE PROPOSED MERGER OF XM AND SIRIUS
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B. |
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Rapid changes in the technical capabilities of communications services mean that market
definitions today may have little relevance in just a few months or years. |
By the time a new business plan is implemented for satellite radio services over the next
several years, the communications services market will be substantially changed and more
technologically capable. For example, by then, there will be widespread availability of mobile
broadband services and other services offering audio entertainment of the form available on
satellite radio. Even if satellite radio would not take years to implement a new technology plan,
its competitive position in the market for communications services, both fixed and mobile, would be
substantially different and weaker in just a few years with the advent of more capable competitive
services. Consequently, the relevant time period to examine this merger is not just 2007 but the
many following years during which the newly merged firm would be implementing a new business plan
and during which new competitors would be implementing their business plans.
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C. |
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Failure to provide satellite operators with flexibility in adjusting plans can lead to
unforeseeable harmful consequences. |
Business plans for satellite services are often difficult to adjust in the face of
unforeseeable circumstances or simply changed market circumstances. Several satellite licensees
never developed services as the result of unforeseeable circumstances.102 Other
satellite licensees have developed but only after substantial changes in business plans and service
rules.103 The FCC has often been accommodating of those changes.104 Indeed,
S-Band licensees have used their ancillary terrestrial component authority, a subsequent FCC grant
of authority to the licensees, to develop new services. ICO is developing a mobile interactive
media services to distribute video and other communications services to mobile users in competition
with satellite radio services.105 TerreStar is building out a integrated satellite and
terrestrial IP-based mobile communications network which can compete with satellite radio.106
The network will provide nearly ubiquitous service throughout North America.
XM and Sirius have stipulated many changes in technology and service offerings as a result of the
proposed merger.107 Some of these proposed changes will take years to implement, and it
would be unreasonable to evaluate the proposed merger in a shorter time period. Moreover, should
the merger be approved, the merging parties should have sufficient time to implement the proposed
business and technological changes.
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102 |
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Consider, in particular, Teledesic, several S-Band licensees, or most of the
Little LEO licensees. |
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103 |
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Consider ancillary terrestrial component services offered by mobile satellite
service providers in the L- and S-Bands. |
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104 |
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See, e.g., 2000 Biennial Regulatory Review Streamlining and Other Revisions of
Part 25 of the Commissions Rules Governing the Licensing of, and Spectrum Usage by, Satellite
Network Earth Stations and Space Stations, IB Docket No. 00-248; and Amendment of Part 25 of the
Commissions Rules and Regulations to Reduce Alien Carrier Interference Between Fixed-Satellites at
Reduced Orbital Spacings and to Revise Application Procedures for Satellite Communication Services,
CC Docket No. 86-49 Fifth Report and Order in In IB Docket No. 00-248, and Third Report and Order in
CC Docket No. 86-496, released March 15, 2005. See also Flexibility for Delivery of
Communications by Mobile Satellite Service Providers in the 2 GHz Band, the L-Band, and the
1.6/2.4 GHz Bands, IB Docket No. 01-185, Memorandum Opinion and Order and Second Order on
Reconsideration. Released February 25, 2005. |
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105 |
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For ICOs description of its development of mobile
interactive media services, see
http://investor.ico.com/ReleaseDetail.cfm?ReleaseID=240320.
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106 |
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http://www.terrestar.com/index.html.
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107 |
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See http://www.xmradio.com/merger/promise.xmc,
http://sec.gov/Archives/edgar/data/908937/000095012307005727/y30604te425.htm,
http://sec.gov/Archives/edgar/data/908937/000095012307005526/y30604se425.htm,
and
http://sec.gov/Archives/edgar/data/908937/000095012307005525/y30604re425.htm. |
20