Testimony and Filings

Comments filed with the Federal Communications Commission in the Matter of Expanding Consumers’ Video Navigation Choices; Commercial Availability of Navigation Devices

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The FCC’s Notice of Proposed Rulemaking (NPRM) should explain why the Commission believes the video delivery and/or the set-top box markets are not competitive and, if not, why regulatory intervention is necessary. Unfortunately, the NPRM provides no economic model of the marketplace, no evidence of consumer harm, and no evidence that consumers would be better off under its proposed rules.

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