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The ACCC has the ability to collect information from industry through the record keeping rule to undertake its telecommunications regulatory functions.
The ACCC is required to report annually to the Minister for Communications on changes in the prices paid for telecommunications services in Australia. This report is a legislative requirement under s 151CM(1)(a) in Division 12 of Part XIB of the Competition and Consumer Act 2010 (the Act).
On 8 November 2021, TPG submitted a joint functional separation undertaking to the ACCC on behalf of itself and various subsidiaries in accordance with section 151C of the Telecommunications Act 1997.
The ACCC administers the access regime for the digital radio access service under section 118 of the Radiocommunications Act 1992 (Radiocommunications Act).
The Migration Plan sets out the steps that Telstra will take to progressively migrate voice and broadband services from its copper and Hybrid Fibre Coaxial networks to the NBN.
During the domestic mobile roaming declaration inquiry, the ACCC received submissions from many regional stakeholders regarding regional mobile issues, such as inadequate mobile coverage and coverage information. At the end of the inquiry, the ACCC released a separate paper.
Non-discrimination provisions were introduced into Part XIC of the Competition and Consumer Act 2010 (Cth) (CCA) as part of the National Broadband Network (NBN) reforms.
On 30 July 2021 the ACCC commenced a public inquiry, under Part 25 of the Telecommunications Act 1997, into the declared wholesale asymmetrical digital subscriber line (WADSL) service. The ACCC has released a Consultation and position paper to facilitate its inquiry.
On 18 June 2021, the ACCC hosted an industry roundtable to commence a process to consider the regulatory framework for the NBN.
On 14 October 2019, the ACCC commenced a public inquiry into the prices that NBN Co charges access seekers to use the National Broadband Network (NBN) for supplying residential grade broadband services. The ACCC is considering whether regulatory intervention is necessary in respect of these access products, particularly basic speed access products.