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Document 52014DC0536
REPORT FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT AND THE COUNCIL on the Radio Spectrum Inventory
REPORT FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT AND THE COUNCIL on the Radio Spectrum Inventory
REPORT FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT AND THE COUNCIL on the Radio Spectrum Inventory
/* COM/2014/0536 final */
REPORT FROM THE COMMISSION TO THE EUROPEAN PARLIAMENT AND THE COUNCIL on the Radio Spectrum Inventory /* COM/2014/0536 final */
1.
Introduction
The
EU spectrum inventory was created as part of the radio spectrum policy programme[1] (RSPP)
in order to give effect to the principle that spectrum should be used and
managed efficiently. The objectives of the inventory are to allow identification
of frequency bands where efficiency of existing spectrum use could be improved
in order to accommodate spectrum demand in support of Union policies, to
promote innovation and to enhance competition. In
April 2013 the Commission adopted an Implementing Decision[2]
defining practical arrangements, uniform formats,
and a methodology in relation to the spectrum inventory (the inventory
decision). Article
9(4) of the RSPP requires the Commission to report to the European Parliament
and the Council on the inventory, in particular on its analysis of technology
trends, future needs and demand for spectrum. Article 6(5) of the RSPP requires
the Commission to report by 1 January 2015 on whether there is a need for additional
frequency bands to be harmonised for wireless broadband. This
report fulfils those two obligations. It highlights the progress made and
difficulties encountered in implementing the spectrum inventory; the analysis
the Commission was able to carry out based on the available data; and the conclusions
which can be drawn at this stage.
2.
State of Play of the Spectrum Inventory
The
spectrum inventory relies on different sources of spectrum information which is
available through studies, data provided by Member States to the analysis tool
or as part of the implementation of the RSPP and from the work of the RSPG: ·
The Commission's analysis tool based on
data provided: o by
Member States to the European Communications Office (ECO) for the Frequency
Information System (EFIS) database pursuant to the
EFIS Decision[3], o by
Member States directly to the Commission pursuant to Decision 2013/195/EU. ·
Radio Spectrum Policy Group (RSPG)
deliverables: o ‘Opinion
on Strategic Challenges facing Europe in addressing the Growing Spectrum Demand
for Wireless Broadband’[4]
(‘WBB Opinion’), o ‘Report
on wireless broadband and broadcasting in the frequency range 400 MHz-6GHz’,[5] o ‘Report
on Strategic Sectorial Spectrum Needs’.[6] ·
European Commission Mandates to the Conference
of Postal and Telecommunications Administrations (CEPT). ·
Studies procured by the Commission over
the last two years directly related to spectrum demand and supply: o ‘Inventory
and review of spectrum use: Assessment of the EU potential for improving
spectrum efficiency’ – WIK Study,[7] o ‘Analysis
of technology trends, future needs and demand for spectrum in line with Art. 9
of the RSPP’ – AM Study.[8] ·
Other relevant publications, consultations
and data.
2.1.1. Collection
of data from Member States
Given
the concerns of the Member States with regard to the potential administrative
burden if the practical arrangements were too stringent and detailed, the provisions
for the collection of data established by the inventory decision were limited
to data already available to Member States in
April 2013 that shall be provided to the Commission in any machine-readable
format and to the gradual provision of additional data that can be made
available by the end of 2015. In
order to collect the available data from the Member States in machine-readable
format, the Commission developed a data analysis tool and agreed[9] with the
Member States that data would be provided to the Commission by 30 October 2013.
In setting up the data analysis tool, the Commission, again in response to Member
States' concerns, pointed out that data could be sent in the format used at
national level. The data analysis tool collects data from EFIS and from the
Member States directly, and the Commission has been making a considerable
effort to translate multiple data formats into a
single database. Difficulties
have been encountered in collecting the data
due to diverse data formats, multiple transfer means, confidentiality claims
and questions about privacy protection.
So far, the data from 24 Member States[10] has
been imported into the tool developed by the Joint Research Centre (JRC), but some
difficulties remain in terms of the data quantity and quality in a number of
frequency bands covered by the inventory. Member
States and the Commission are jointly
endeavouring to increase the level of available and transferred data, starting
with data related to bands relevant to the immediate objectives set by the RSPP.
Data about all frequency bands in the range 400 MHz-6 GHz should be collected
and provided by Member States in a step-by-step approach by 31 December 2015. However,
a number of Member States have stated that they consider it impossible to
increase data availability due to national circumstances as provided by the
inventory decision in Article 2, point (3). The
Commission services and Member States have engaged in discussions in the Radio
Spectrum Committee (RSC) in order to clarify issues relating to the protection
of personal data as well as the security of data. Member
States were recommended to provide the Commission with a ‘dump’ of their
database. Around 20 Member States have a spectrum database but only four have
followed the recommended approach. Instead many Member States provide a data
spread sheet format, which constitutes minimum fulfilment of the requirement for
a machine-readable format. As
a result, the data collected from the Member States using the data analysis
tool developed by the Commission gives only a partial picture of spectrum use
in the range 400 MHz to 6 GHz. The data analysis tool alone does not allow the
Commission to draw comprehensive conclusions on the existing EU-wide use of
spectrum in the entire target range 400 MHz-6 GHz. Therefore, other sources are
equally important for implementation of the inventory process.
3.
Results of the inventory analysis
3.1.
Spectrum supply
Notwithstanding
the limitations arising from the data collection process, explained above, the
initial inventory analysis has provided significant insights into the situation
with regard to spectrum availability and use in the EU. These preliminary
results are detailed below. A
number of frequency bands which are currently not used or are substantially under-utilised
in most Member States have been identified in Table 1 using the sources indicated
above, though there may be variations across Member States. Some frequency
bands that were identified in studies have not been reflected below because
they are quite narrow (5 MHz) which limits their utility for other services. Table
1
– Underutilised or unused bands Frequency band || Comment 870-876 MHz paired with 915-921 MHz || These frequencies are not used in at least eight Member States. On the other hand, six Member States use them for military services, although operations are limited in time and geography. 1452-1492 MHz || These frequencies are allocated to Digital Audio Broadcasting (DAB). However, they remain unused in 21 Member States. Only one Member State reported use for DAB. Two others indicate partial use for wireless cameras. 1785-1805 MHz || This band is available for wireless microphones in many Member States but has remained unused due to lack of appropriate equipment. Two Member States use this band for military services and two others issued licences for wireless broadband networks. 1980-2010 MHz paired with 2170-2200 MHz || These frequencies were designated for mobile satellite services (MSS) across the EU. There is currently only one satellite operating in these frequencies, with serious operational limitations. Some Member States have introduced enforcement measures that include a roadmap leading to the operation of MSS by December 2016. [11] 1900-1920 MHz and 2010-2025 MHz || Although rights of use have been issued for wireless broadband services, these relatively narrow unpaired bands remain unused due to lack of equipment and the potential risk of interference with the adjacent 3G bands. 2700-2900 MHz || Preliminary results show that this band is often used at specific geographical locations for radars thus providing an opportunity for potential geographical sharing with other services. 3400-3800 MHz || See Figure 1 5000-5150 MHz || These frequencies are unused in several Member States. At least four Member States use them for military services. An important satellite feeder link for Galileo is located in the band 5000-5010 MHz.
3.2.
Spectrum demand
The
analysis of technology trends, future needs and demand for spectrum suggests that
many of the different types of applications, categorised in 14 application
groupings as indicated in Table
2 are and will be in need of more spectrum. Table
2 provides for each application grouping a
qualitative overview of the demand and technology trends, as well as a
quantitative assessment of the short, medium and long-term growth in demand
that can be expected for each grouping. The frequency bands in which this type
of equipment is typically used are indicative and may
not necessarily be used by an application grouping in each Member State. Table 2
-Demand trends Legend ST=Short-term
period: 2012-2014, MT=Medium-term period: 2012-2017, LT=Long-term period:
2012-2022. ++
stands for more than a 50% increase, + for up to a 50%
increase, = for
limited impact, - for
up to a 50% reduction, - - for more than a 50% reduction. Application grouping - bands currently used across EU-28 (MHz) || Key factors driving demand for access to spectrum || Demand for future spectrum usage || || ST || MT || LT AMCRN[12] 960-1350 2700-3100 4200-4400 5030-5150 || · high-speed broadband and live-TV in-flight services · integration of RPAS into the civilian airspace · advances in radiolocation services || = || =/+ || + Broadcasting 470-790 || · implementation and adoption of HDTV and UHDTV · technology migration path || + || +/++ || +/++ Mobile || || · development and adoption of more sophisticated devices · extent of traffic being offloaded onto Wi-Fi networks (by both consumers and operators) · launch of 3.5G/4G (LTE/LTE-Advanced) technologies || + || +/++ || +/++ 790-862 880-915 925-960 1710-1785 1805-1880 1900-1980 || 2010-2025 2110-2170 2500-2690 3400-3600 3600-3800 Defence || · growth in the number of connected devices and in the amount of information exchanged · development and take-up of unmanned aeronautical systems · limited changes in positioning and navigation technologies || = || + || ++ 406-410 430-433 435-446 446-450 870-876 915-921 1300-1350 || 1518-1525 1700-1710 2025-2110 2200-2400 3100-3410 4400-5000 5250-5460 Fixed links || || · degree of substitution by fibre networks · migration of fixed links to higher frequencies || =/– || – || – – 1350-1400 1427-1452 1492-1525 2025-2110 || 2200-2290 3800-4200 5925-6425 ITS[13] 5795-5815 5855-5875 5875-5925 || · development and take-up of new ITS applications || = || + || ++ Meteorology 401-406 1675-1710 5350-5725 || · maintain current spectrum designations for meteorology due to their specific physical properties || = || = || = PMR/PAMR[14] || · introduction and take-up of smart grid and smart metering applications || =/+ || + || + 406-433 435-470 || 870-880 915-925 PMSE[15] || · type and number of events · type of equipment · increase in the amount of equipment per event · adoption of HD and 3D cameras || + || + || + 470-790 1785-1800 2025-2110 || 2200-2400 PPDR[16] || · increasing demand for data-rich applications · potential for PPDR services to make use of commercial services and networks || = || + || ++ 3100-3400 4800-4990 || 5150-5250 Science || · maintain current spectrum designations for meteorology due to their specific physical properties || = || = || = 1400-1427 1610-1614 1661-1675 || 2290-2300 2690-2700 4940-5000 Satellite || · increase in backhaul services within the C-band as well as the surge in demand for the S-band || =/+ || + || + 1164-1215 1525-1610 1614-1661 1980-2110 2170-2290 || 2484-2500 3600-4200 5000-5030 5850-6425 Short range devices (SRDs) || · growth of RFID devices and growth in different applications || + || + || + 433-435 863-870 || 1785-1800 1880-1900 WLAN[17] || || · continued growth in Wi-Fi network reach and user adoption || + || + || + 2400-2484 5150-5350 || 5470-5875 Sources:
Final Study report of Analysys Mason; European Table of Frequency Allocations
and Applications (ECA); RSPG Report on Sectoral Needs.
4.
Key findings
On
the basis of the preliminary results detailed above, some initial conclusions
can be drawn. Unused spectrum in the 400 MHz-6GHz range is rare but there are
examples. On the demand side, future spectrum usage is
expected to increase significantly for many applications over the next 10
years. This situation makes re-assignment[18]
increasingly difficult and costly. The Commission considers that a sustainable
way to satisfy spectrum demand in the medium and long term is to invest more time and resources in identifying and developing
more sophisticated spectrum sharing concepts as detailed below, subject
to the protection of effective competition.
Licensed Shared Access (LSA)
assignment;
Geographical spectrum
sharing with devices linked to geo-location databases (once available);
and
Making more effective use of
existing networks and spectrum assignments through densification, increase
in spectrum re-use, and spectrum sharing between operators.
In
its Opinion on LSA the RSPG defines the concept as ‘A
regulatory approach aiming to facilitate the introduction of radiocommunication
systems operated by a limited number of licensees under an individual licensing
regime in a frequency band already assigned or expected to be assigned to one
or more incumbent users. Under the Licensed Shared Access (LSA) approach, the
additional users are authorised to use the spectrum (or part of the spectrum)
in accordance with sharing rules included in their rights of use of spectrum,
thereby allowing all the authorised users, including incumbents, to provide a
certain Quality of Service’
and recommends that Member
States should actively promote discussions and define the possibilities for
LSA. Geo-location
databases will allow more efficient use of spectrum by assigning specific
channels at specific locations to secondary users in such a way that the
primary user of the band does not experience interference. Under a mandate from
the Commission, ETSI is currently working on common formats for data exchange
between devices and geo-location databases. The deployment of such databases is
not limited to any specific frequency band but requires in-depth knowledge of
the exact location and protection criteria of the primary user. Making
more effective use of existing assignments and networks is also supported by
the RSPG, which considered, in its report on sectoral demand, the possibility of
using harmonised bands already available for a given sector, commercial networks
or existing infrastructures. The RSPG also considers that many of the future
spectrum needs may be met by allowing the widest possible spectrum usage
conditions to enable new applications while respecting existing use. Based
on the inventory analysis performed by the Commission and more detailed supply
and demand information, the following aspects are worth singling out as inventory
output.
4.1.
Wireless broadband spectrum
The
RSPP sets a target of 1200 MHz for wireless broadband and also required the
Commission to report by 1 January 2015 on whether there is a need for additional
bands to be harmonised for wireless broadband. The Commission notes the work
performed by the RSPG in this context, which recommends inter alia that
the Commission considers adopting measures related to the frequency bands
1452-1492 MHz and 2300-2400 MHz. Furthermore, it has invited the Commission to
develop a strategic plan, which includes future use of the UHF band (470-790
MHz). The
Commission's analysis indicates that pressure will grow on the UHF band since
all users have increasing estimated needs. The Commission has launched several
activities in preparation for a political decision on the UHF band and World Radiocommunications
Conference 2015 :
Mandate
to CEPT to develop technical conditions for wireless broadband in the
694-790 MHz (700 MHz) band, potentially applicable also to PPDR use,
Request
for Opinion to the RSPG on developing a long-term strategy for the UHF
band,
Study
on the challenges and opportunities for convergence of terrestrial
wireless platforms,
High
Level Group of industry representatives to provide strategic advice to the
Commission on future use of the UHF band.
Mandates
to the CEPT have also been issued in order to study the technical conditions
needed to allow sharing of the frequency bands 1452-1492 MHz (1.5 GHz band) and
2300-2400 MHz (2.4 GHz band) between wireless broadband and incumbent users. So
far around 1000 MHz of spectrum have been harmonised at EU level for wireless
broadband as shown in Figure 1. With
reference to Table 1, although assigned to mobile operators since 2000 the frequency
bands 1900-1920 MHz and 2010-2025 MHz are unused. The Commission has mandated
CEPT to study the technical conditions for possibly making these bands
available for alternative use. Among the options being examined is the
possibility of designating these bands for direct air-to-ground communications
(complementing Decision 2013/654/EU[19]
on mobile communications on board aircraft) in coexistence with cordless
cameras and short range devices. Additional
harmonised frequency bands for wireless broadband Based
on the analysis of spectrum supply and demand, the Commission believes there is
currently no need for additional spectrum harmonisation, beyond the 1200
MHz target, in the range 400 MHz-6 GHz for licensed wireless broadband. This
conclusion is supported by the following considerations:
The
level of under-utilised spectrum for mobile broadband is still significant
– approximately 30% (see Figure 1 below), mainly but not exclusively in
the 3.4-3.8 GHz range due to lack of demand[20]
and/or linked to usage difficulties.[21] In
2012 the Commission adopted a Decision[22]
harmonising use of the paired 2 GHz bands on the basis of technology
neutrality, thus opening this band for next-generation technologies such
as LTE. Both bands can cater for the deployment of denser cellular
networks with a high capacity;
Preliminary
results of research on next generation technologies indicate that very
large channels would be necessary for 5G networks. To meet this
requirement, at least in short-range scenarios, spectrum above 6 GHz would
be required in addition to the 1200 MHz already achieved for mobile
broadband. Linkage to the 5G PPP[23]
is important to ensure that the spectrum inventory takes into account
further technology trends as well as data available from the partnership regarding
specific bands;
The
deployment of small cells for mobile network densification (with licensed
spectrum use) or mobile traffic offloading[24]
(via WiFi with licence-exempt spectrum use) as well as the latest mobile
network technologies still carries a high potential for additional
wireless broadband capacity throughout the Union based on more
sophisticated spectrum re-use.
Figure
1 gives an overview of the frequency bands that have been harmonised at
European level for use by wireless broadband (ca. 1000 MHz in total). Where the
bars do not reach the 1000 MHz mark spectrum has not been fully assigned to
operators in that Member State. In some Member States there is lack of demand[25] but
this is related to higher frequency bands (primarily 2.6 GHz and 3.4-3.8 GHz).
There is no lack of demand below 1 GHz. Figure 1 – Spectrum assigned
to wireless broadband in EU harmonised bands
4.2.
Sharing of radar bands
Preliminary
results from the JRC analysis tool show that the 2700-2900 MHz band is often
used at specific geographical locations leaving unused areas for spectrum sharing.
Combined with information taken from studies there are 14 Member States
operating aeronautical radars at fewer than five sites in the entire country
(usually airports). With some exceptions most Member States have fewer than 20
national sites in operation for radar, and geographical sharing with other
services is possible in many parts of Europe. In response to a Commission mandate
on PMSE, CEPT Report 51 identified this band as a possible new band (among
others) for temporary use of cordless cameras with geographical constraints to
protect existing radar applications.
4.3.
Wireless microphones
Due
to more efficient use of spectrum by primary services, PMSE users are likely to
lose spectrum capacity in the UHF broadcasting band and will have to consider other
technologies and/or bands alongside their deployments in the UHF broadcasting
band. Technology trends show that more efficient use could be achieved through
more use of digital microphones[26].
Further studies will be necessary to evaluate the possibility of harmonising
spectrum around 1.5 GHz, as suggested by stakeholders, for audio PMSE. The
Commission is currently working on a draft Decision on audio PMSE which would
include a proposal to harmonise a ‘core’ band of 29 MHz in the 800 MHz and 1800
MHz bands (in the so-called duplex gaps), as well as providing for 30 MHz of
additional spectrum for audio PMSE users to satisfy the basic needs.
4.4.
Satellite communications
Inmarsat
Ventures Ltd and Solaris Mobile Ltd were selected in 2009 as operators of
pan-European systems providing mobile satellite services (MSS),[27] and were
required to start operating a portion of the 1980-2010 MHz and 2170-2200 MHz bands
within two years. Due to the limited use mentioned in Table 1, some Member States
have introduced enforcement measures pursuant to Decision 2011/667/EU[28]
which include a new roadmap leading to the operation of MSS by December 2016.
In response, both Solaris and Inmarsat have recently come forward with plans. Should
these enforcement activities not lead to timely use of the bands in compliance
with the common conditions, the bands could be considered for new uses such as
terrestrial wireless broadband, as suggested in the RSPG Opinion on wireless
broadband and in the WIK Study. The
so-called C-Band (3600-4200 MHz) is used for satellite communications in Europe. Decision 2008/411/EC[29]
harmonised the 3400-3800 MHz band for terrestrial systems but its use for
wireless broadband is currently low. As outlined in section 4.1 the probable
use for small cells makes capacity constraints for wireless broadband in this
range unlikely. On the other hand the analysis concluded that the increase in
satellite bandwidth required for backhaul and trunking services, professional
services, and the continuously increasing bitrates used for video distribution
will be the main trends pushing satellite spectrum demand upwards and that most
of those needs may be met by the C-band. This is a valuable band for satellite
use as it contains quite a large amount of spectrum at relatively low
frequencies which have superior propagation characteristics (allowing very wide
coverage) and are less susceptible to rainfall and humidity (enabling signal
resiliency) than higher satellite frequencies. There are over 180 satellites
providing C-band services and at least 50 of these cover Europe, where this
band is used mainly by professional services, due to the high cost associated
with the equipment required to operate in such a band. There are around 1400
ground sites in the EU communicating bi-directionally with C-band satellites. In
light of the above, the Commission considers that demands to allow terrestrial
wireless broadband services in the whole C-Band (i.e. in 3.8-4.2 GHz as well as
3.4-3.8 GHz) would not be justified. In order to safeguard growth of satellite
services in the C-Band and to support the densification of use by satellite in
the 3.8-4.2 GHz band the Commission intends to propose studies that could lead
to a harmonisation measure for satellite broadband/VSATs in the 3.8-4.2 GHz
band.
4.5.
Short range devices
These
applications have an important role to play in ensuring spectrum for smart
energy grids, smart meters and Internet of Things (IoT). They also include RFIDs, M2M communications and mesh networks. Sharing
with incumbent users (primarily military systems and GSM-R) in the 870-876 MHz
and 915-921 MHz bands was studied by the CEPT, which determined a set of minimum
parameters for such use and incorporated its findings into a recommendation[30]. The
sustained industry interest in these bands makes them an important target for
the next update of Commission Decision 2006/771/EC[31] on
harmonisation of the radio spectrum for use by short-range devices.
5.
Conclusions
While
the spectrum inventory can deliver results as outlined above, it is also
apparent that some of the data, collection of which was envisaged will remain
unavailable for the foreseeable future in some Member States which do not
themselves collect this data and which consider it impossible to increase their
data availability. With
the aim of using resources effectively, the Commission will continue to
cooperate with the Member States both in collecting data that are already
available at Member State level and in obtaining additional data on a targeted
basis. In particular frequency bands relevant to the implementation of the RSPP
will be targeted. In addition, the Commission will seek relevant data from
Member States that request derogations from harmonisation measures on the basis
of particular national situations. Such requests could be linked to the
provision of detailed usage-based data in machine-readable format, since it can
be assumed that such data must be available to substantiate derogations. Results
from the data analysis tool will be useful, in particular where geographical
sharing is shown to be feasible. While noting the challenges in the collection
of data as outlined above, the data analysis tool will be complemented through
other sources, e.g. through studies, inputs from RSPG or direct information
from spectrum users, which includes by collecting their views on the key
findings of this report. The
Commission will continue to build up the inventory with the aim of fulfilling
its main purpose – achieving more efficient use of spectrum. While this was
always perceived to be a task involving an incremental approach, building up
experience and trust in the inventory process, the importance of evidence-based
spectrum policy-making remains high on the agenda as demands for more spectrum
from many sectors have been documented in this report. The inventory is a vital
tool to help national and EU policy makers make decisions about more efficient
use of spectrum in the future. As such, discussions will continue with the
Radio Spectrum Committee members on how to pursue the collection of data for
the inventory. [1] Decision 243/2012/EU; OJ L 81, 21.3.2012,
p. 7–17 [2] Commission Decision 2013/195/EU; OJ L 113, 25.4.2013,
pp. 18-21 [3]
Commission
Decision 2007/344/EC OJ L 129, 17/05/2007, p. 67–70 [4] RSPG13-521 rev1 [5] RSPG13-522 [6] RSPG13-540 rev2 [7]
http://ec.europa.eu/digital-agenda/sites/digital-agenda/files/cion_spectrum_inventory_executive_summary_en.pdf [8]
http://ec.europa.eu/information_society/newsroom/cf/dae/document.cfm?doc_id=2881 [9] During the
RSC#44 meeting 9-10 July 2013 [10] Austria, Belgium,
Bulgaria, Croatia, Cyprus, Czech Republic, Denmark, Estonia, Finland, France, Germany,
Greece, Italy, Latvia, Lithuania, Luxembourg, Malta, the Netherlands, Poland,
Romania, Slovakia, Slovenia, Sweden, and the UK [11] Steps to date: Commission Decision 2007/98/EC on
technical harmonisation of the 2GHz band for MSS; EP and Council Decision 626/2008/EC
on coordinated selection and authorisation of MSS systems; selection of
operators in May 2009 by Commission Decision 2009/449/EC; Commission Decision
2011/667/EU of 10 December 2011 on modalities for coordinated application of
the rules on enforcement with regard to MSS pursuant to Article 9(3) of
Decision No 626/2008/EC of the EP and the Council, referred to as the
'Enforcement Decision'. [12] Aeronautical,
maritime and civil radiolocation and
navigation systems [13] Intelligent
transport systems [14] Private
mobile radio and public access mobile radio [15] Programme
making and special events [16] Public protection
and disaster relief [17] Wireless local
area network [18] Moving one user
(incumbent) out of the spectrum to the benefit of another user (newcomer) [19] OJ
L 303, 14.11.2013, p.48 [20] 'Lack
of demand' is the reason given by 21 Member States for not having assigned the
relevant spectrum. This information was collected from Member States as part of
the Commission’s efforts to implement
the RSPP, in particular Article 6. [21] Difficulties such
as cross-border coordination, in particular with third countries, and
difficulties related to equipment availability. In order to improve the latter,
the Commission has updated its implementing decision on 3.4-3.8 GHz introducing
a recommended channelling plan and conditions optimised for broadband
technologies, such as LTE. [22] Decision 2012/688/EU; OJ L 307, 7.11.2012, p.
84–88 [23] On 17 December
2013, Vice-President Kroes signed an agreement with the ‘5G Infrastructure
Partnership’. The Partnership is an industry association comprising
public-private partners [24] A
study funded by the Commission on traffic off-load observed, based on measured smart phone
and tablet usage patterns, that 71% of all wireless data traffic was delivered
over WiFi in 2012. The study estimates that this figure will grow to 78% by
2016 while cellular traffic is estimated to continue growing at a rate of 66%
per year until 2016. The socio-economic value of these bands can be compared to
the cost of providing the same amount of data capacity with cellular
technologies alone: the study estimated that delivering all the 2012 WiFi data
traffic in the EU via mobile networks would have required infrastructure
investments of € 35bn, and € 200bn would be necessary by 2016
to cope with the projected demand. [25] Lack
of demand has been confirmed by Member States to the Commission within a mutual
(pilot) procedure on the enforcement of Article 6, RSPP. It includes the
following cases: (i) a licence has been returned to the spectrum regulator,
(ii) spectrum on offer has remained unsold during an auction, (iii) there has
been no interest shown during a public consultation. [26] It
is recognised that not all audio PMSE equipment can migrate to digital
technology, in particular as long as there are issues related to processing
delays that cause noticeable delays for the human ear. [27] Decision 2009/449/EC; OJ L 149, 12.6.2009,
pp. 65–68 [28] OJ L 265, 11/10/2011, pp. 25–27 [29] OJ L 156,
14/06/2008, pp. 14–15 [30] ERC
Recommendation 70-03 [31] OJ L312,
11.11.2006, pp. 66-70