a la Carte Cable Pricing
a la Carte Cable should not be on the government's regulatory
menu.
Both the FCC and members of Congress have been
erroneously looking to an "a la carte" cable pricing mandate for the
industry as a solution to rising cable prices, lack of consumer choice,
and the need for improved parental control. In addition,
regulatory bodies are wanting to use a la carte as a “carrot and
stick” to carriers wanting to enter the cable market.
Why are they looking at a la
Carte?
Over the past decade, cable prices have risen
much faster than the rate of inflation. To combat this, the
government is focusing on a theory that an a la carte cable pricing
option would lower monthly bills by allow consumers to pick and choose
the cable TV channels that they desire and then pay on a per channel
basis. Data reflects that most households watch on average about
17 TV channels regularly (11 cable and 6 local broadcast) even though
there are approximately 100 channels available to them. The main
but potentially flawed premise is that the amount paid for the 17
channels via a la carte would be lower than the price for the existing
bundled offering.
Also, given the fact that the average household
regularly watches only 17% of the TV channels offered to them, a la
carte would give the consumer more choice in selecting the channels they
desire. More so, parents could utilize a la carte to create a
line-up that is more family oriented and safer for children to
watch.
Why is a la Carte wrong?
Higher per channel price - While an a la carte
cable offering may or may not lower a household’s cable bill, it
will certainly raise the current price per channel that a consumer
pays. More times than not, when a consumer buys in bulk or bundles
services, they receive a lower per unit price than if they were to
purchase them individually. Further more, it could be expected
that a la carte would increase the marketing expenses of program
networks since they would have to more actively advertise in order to
have consumers select their channels. Licensing fees would also
possibly increase in order to offset certain revenue losses, which would
then in turn increase the channel price.
Less programming choices - A direct result from
these increases in expenses and lost revenue would be the eventual
failure of certain program networks, primarily the smaller networks that
serve niche interests due to the limited/marginal demand associated with
them (revenue from the limited demand would not be high enough to cover
expenses). This would clearly reduce the choices in programming
offered to consumers. For example, how many people would pay for
CSPAN, Lifetime, DIY network, the Golf Channel, etc. individually?
In addition, a la carte may prohibit the opportunity for new programming
to be created because demand would have to be developed immediately
and in many cases “sight unseen.”
Ineffective parental control - Finally,
there has been the discussion that a la carte cable will improve
parental control. It will allow families to create line-ups that
are more favorable to family viewing. Well, maybe not. A
recent report by the Parents Television Council analyzed 443.5 hours of
children's programming from ABC, Fox, NBC, WB, ABC Family, Cartoon
Network, Disney Channel and Nickelodeon and found that there were 3488
instances of violence, which is an average of 8 violent incidents per
hour. So there are many shows on family-related channels and even
news programs that are inappropriate for children to watch.
Further more, there is already a mechanism in
place to provide such control; the V-chip. However, a 2004 Kaiser
Family Foundation report cited that only 15% of all parents utilize
it. Also, cable operators have been proactive in providing
customers controls to block programming/channels and even hide titles
from being viewed on the screen. So parents need to be better
educated about what means exist to effectively regulate family
viewing.
How did a la Carte come
about?
The FCC's “Further Report” on a la
carte cable (released in February '06), which is what both members
of Congress and the Commission itself are using to validate their
pursuing of this potential directive, was based on a Booz Allen Hamilton
report (for the NCTA) released in July 2004. The FCC modified, for
a second time, certain assumptions and variables of the Booz Allen
report and then detailed the results derived from those changes.
Many of the conclusions from the Further Report
conflicted with not only the Booz Allen Report but the FCC's first
assessment, the “Initial Report,” which was published in
November '04. Booz Allen’s report noted that there was
significant “uncertainty” in developing an economic model
for a la carte cable. There was also a noteworthy lack of
empirical data for the report, so the firm had to change the methodology
it utilized.
Inconclusive Reports?
But the FCC's Initial Report concluded that
consumers would see their monthly bill increase between 14% and
30%. Subsequently, the Further Report revised those figures to a
price change ranging from a 13% decrease to a 4% increase. For the
record, the initial Booz Allen report predicted that consumers would see
their bill increase 7% to 15%.
How does this translate into actual
dollars? Kagan Research estimates, for 2006, the average
monthly price for expanded basic programming is $41.17. A 13%
decrease would result in a savings of approx. $5.35, bringing the
monthly bill to $35.82. On the other end, a 30% increase
would mean $13.35 more a month, resulting in a $53.52 bill.
That is an extreme - the median would be around a $6 increase,
meaning a $47 monthly charge.
These figures are all over the board! It is
clear as day, given the significant uncertainties with the reports
themselves and a la carte’s possible wide-ranging affect on cable
prices that the risks are too great for Congress or the FCC to gamble by
enacting regulation; two out of three reports establish that.
What is the Solution?
If a la carte is not the right path to pursue,
what is? Well, it is a very simple answer…
competition. Congress and the FCC should not look to further
regulate a sector but must promote healthy competition in it. Time
and time again, we have seen competition to bring lower prices, more
innovation, and more choice to the consumer.
Competition and innovation such as digital TV,
Video on Demand, Internet video, and podcasting will also bring new
business models that may make it more economically feasible to better
cater to consumer demand and develop additional pricing schemes.
Also, if cable operators want to explore a la carte as a cable pricing
option, they certainly should have that choice but it shouldn’t be
ordered so by the government.
In addition to competition, as mentioned earlier,
education is a critical component of the solution to address certain
concerns. Parents need to be more active and responsible in
regards to the viewing habits of their children and making sure that the
existing methods for parental control are better utilized.
Conclusion
Congress, the FCC, and the states need to remove
the archaic barriers to entry that currently exist in the cable markets
so that new entrants can more quickly offer competitive products and
services as an alternative to incumbent cable. Competition
provides a natural market dynamic that is essential to the health of an
industry and promotion of fair pricing and more choices to
consumers much more so than the artificial economic influence from
regulation under an "a la Carte" banner.
While a la carte cable sounds exciting and
flashy, it is just the opposite. It will ultimately leave a bitter
taste in the mouth of the consumer and the industry for it is not an
appropriate substitute to what is really needed.