In the longer term, differentiated
QoS can have much larger implications
by affecting the balance of power between ISPs, their users, and content providers (including also service providers
such as Google or application providers
such as Skype). ISPs are under pressure
to deliver ever faster connections to
users and content providers, yet Internet access is becoming a commodity,
with the price of subscriptions falling
steadily. The trend can be reversed by
turning the ISP network into a “
platform,” that is, offering specific QoS and
performance levels to users and content providers alike, thereby making
the ISP attractive to deal with (“the best
video delivery,” “the best gaming experience”), as opposed to just one of many
alternatives on the market.
In addition, by positioning itself as
a distinctive “platform,” an ISP should
be able to maintain, if not expand, its
revenue stream; at a time when ISPs
must carry out considerable investment in upgrading their networks
(fixed and mobile alike), this could be a
welcome evolution. Yet this would also
imply a reshuffling of innovation pat-
terns. So far the Internet has been very
successfully driven through innovation
“at the edge,” outside of the networks
(consider Google, Amazon, Skype,
i Tunes, and all the Web 2.0 providers).
In the future, innovation could equally
be coming from the ISPs on their platforms. It is not clear for now whether
this will substitute for or complement
innovation at the edge, that is, whether
innovation at the edge will be reduced
(because innovative upstarts would be
shut out) or further spurred.
What is more, technically no one
knows yet how such differentiated QoS
offerings could be implemented across
the various networks that typically
make up the fabled Internet cloud.
This brings me to mention some significant differences between the EU
and the U.S. In the U.S., the provision
of broadband Internet access is concentrated in a few hands, namely those
of the remaining local exchange carriers providing ADSL (AT&T, Verizon,
Qwest) and the large cable TV providers. The official FCC policy is to bank
on competition between the relatively
few providers of these infrastructure
platforms (ADSL, cable, mobile). The
Internet cloud would then give way
to a limited number of single-firm
platforms, each controlled by one
of these providers, with two or more
platforms being present at any given
location in the U.S.
In the EU, the prospects for infrastructure competition are dimmer,
since only a few areas (Benelux, parts
of France, Germany, and the U.K.) are
now served by competing broadband
infrastructures (cable and ADSL).
In most of the EU, it is thought that
the rollout of competing broadband
networks—effectively from scratch—
cannot be achieved without some form
of access to incumbent networks, at
least in a starting phase. This means
the ISP landscape in Europe looks different than in the U.S. and is likely to
remain so in the foreseeable future:
fewer competing infrastructures, but
more market players, many of which
rely on access to the incumbent’s network. Furthermore, that landscape is
structured along national lines. In the
end, it is difficult to conceive how differentiated QoS could be successfully