24 Feb DVTM Comments on draft recommendation on relevant markets
Comments on draft recommendation on relevant markets and explanatory note
The DVTM welcomes that the European Commission has published the draft recommendation on relevant markets and the accompanying explanatory note. In regard to the outstanding Workshop from BEREC we would like to express our sincere concerns about the proposed amendments.
We are very grateful having the opportunity to point out our viewpoints on the discussed amendments. For our association and our members Markets 1 and 2 have existential significance.
We do not agree with the Commissions position that Market 1 and Market 2 have no longer transitory entry barriers and having tendencies towards effective competition. Therefore we would like to emphasize the necessity maintaining Market 1 and Market 2 in the Relevant Market Recommendation or at least having a wholesale market that contains services like Carrier Selection (“CS”), Carrier Preselection (“CPS”) and Wholesale Line Rental (“WLR”)...
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