Price regulation in telecommunications sector and its implications.
Saleem, Muhammad
In this study, an analysis of different pricing methods have been
undertaken, i.e., marginal cost pricing, average cost pricing, Ramsey
pricing rule, rate of return regulation and price caps. This paper is an
attempt to address question of why do we need to regulate
telecommunication. Determining reasonable prices for monopoly public
service is one of the most important areas in telecom sector. The
different standards for judging the reasonableness of prices discussed
in this paper--equity, efficiency (rate of return) and improvement
performance (CPI-X)--are not substitutes for one another. They provide
standards for judgment from different perspectives. The scope of
efficiency improvement depends on different factors, which includes
i.e., the speed of technological change, the extent to which output
growth permits exploitation of economies of scale, the current extent of
inefficiency in the business.
INTRODUCTION
Telecommunication facility has been provided in most countries as a
user pay public service managed, typically, through the Post, Telegraph
and Telephone departments or by some government-owned monopoly. The
tradition has been to regard it as a natural monopoly to be supplied by
the public sector. (1) This perception has changed. Telecommunication is
now increasingly recognised as a prime mover of the modern day economy.
It is opening to participation by the private sector. The economic
benefits of telecommunications are enormous, both as a growth industry
in its own right and in terms of its impact on economic development. It
has a significant social role in transforming how people communicate,
become informed or do business. Additionally, it is also
environment-friendly because it disseminates information without
shifting goods or people.
The practice now in vogue is to establish a regulatory agency with
a high degree of independence from both operator and government. The
regulator's task is to implement government policy, ensure
performance accountability by the operators and other players in respect
of economic and social policy objectives, resolve disputes between
competitors, monitor changing industry conditions and advise government
on developments bearing on policy. The regulatory agency acts as a
buffer between telecom operators and government, helping to ensure the
separation of functions.
Of late governments have increasingly been pursuing the policy of
privatisation, liberalisation and de-regulation of telecommunication
services. Pakistan has also made an advance in this direction with the
promulgation of the Pakistan Telecommunications (Reorganisation) Act
1996. The main objectives are the promotion of rapid development,
modernisation and diversification of telecommunication services and
protection of consumer interest.
In this paper an attempt has been made to answer the question as to
why there is need to regulate telecommunication. Determining reasonable
prices for a monopoly public service is an important area in telecom
sector.
The paper is divided into three sections. We begin by examining why
telecom sector requires regulation. Section II provides standards for
judging reasonableness of prices in telecommunication industry. Price
regulations, different methods of price determination and their
implications are analysed in Section III.
I. WHY REGULATE TELECOMMUNICATION INDUSTRY
Governments regulate industries in a variety of ways to achieve
certain objectives. Some industries have been selected for special
treatment because of their unique importance to society.
Telecommunications has always been considered an industry of special
interest. Telegraph and telephone facilities have traditionally been
viewed as important to security and defence while being regarded as a
natural extension of governments' social service traditions.
The basic objectives of regulating telecommunication are both
economic and social. From an economic perspective the services should
satisfy the full range of consumer demand and be supplied under
conditions of optimal efficiency. From a social perspective, the
services should be made available to everyone on reasonable terms,
whether or not it is profitable to do so. The telecom network should be
extended not just to the limits of economic efficiency, but to the
limits of social need.
In an ideal, perfectly competitive market economy, firms and
households are the price takers and the price is determined in the open
market. In such a perfectly competitive market economy, resources are
employed efficiently. But the competitive model is not an accurate
description of the way a real world market for telecommunication
industry works. Throughout the world, telecommunication industry
exhibits characteristics of "natural monopoly".
An important example of natural monopoly is the local telephone
distribution. The cost of sending wires into every home and gathering
the wires in a local telephone exchange is very high and it would not be
profitable to have more than one firm providing such local telephone
service. There is a natural monopoly therefore.
According to the theory of natural monopoly, an industry is a
natural monopoly if the entire market demand can be served at a lower
cost by a single firm than by two or more firms and natural monopolists
enjoy enormous monopoly profits and in face of price inelastic demand,
can jack up prices sharply, and create major economic inefficiencies.
(2) To see this consider Figure 1.
An unregulated monopolist sells [Q.sub.m] output at a price of
[P.sub.m] in order to maximise profit. The output is less than what the
society desires and the price is also higher. Efficient allocation of
resources occurs at F, where marginal cost intersects the demand curve
(the marginal cost of producing [Q.sub.c] output corresponds to the
price consumers are willing to pay). However, if the regulatory
commission sets the price at [P.sub.c], the firm will not produce in the
long-run as the price is less than the long-run average costs. To ensure
long-run production by limiting the firm to normal profit, the
regulatory commission may choose to equate price with a long-run average
cost E. Confronted with a price of Pr, the firm will produce [Q.sub.r]
output.
[FIGURE 1 OMITTED]
Given that natural monopolies will earn enormous profit if
unchecked by the government, or they will not produce if they are forced
to charge marginal cost pricing, what options are available to the
government to provide services to its consumers?
(i) One alternative is to subsidise natural monopolies. This
entails imposition of taxes to fund the subsidy. Such taxes would almost
certainly have non-neutral distribution impact.
(ii) The other alternative is public ownership of telecommunication
industry which has been prevalent in Pakistan.
As operator and owner of the telecommunication sector, the Pakistan
government has been drawn into day-to-day interventions in its
operations. The Pakistan Telecommunication Company Ltd., being the
monopoly provider of basic telephony service in Pakistan with
exclusivity until end of 2002, it was felt that some form of regulatory
body be set up, as part of a broader governmental effort, to redefine
the respective roles of the government, telecommunication industry and
consumers. This implied a shift away from the monolithic type of
governmental management towards a decentralised and market-based system
with the government retaining responsibility for setting objectives,
making overall policies and planning and coordinating development.
Towards this end the Pakistan Telecommunication Authority (PTA) was
established under the Pakistan Telecommunication (Reorganisation) Act of
1996. It would regulate telecommunication licensing, decide tariffs,
approve equipment type, make interconnection arrangements etc. (3)
The challenge here is not specifying the policy and regulatory
objectives in the new environment, but implementing them effectively.
These objectives are not static objectives to be achieved once, but must
be maintained in a very dynamic environment. The structure of
government/industry relations may be the most important factor
influencing future success, and that will depend significantly on the
effectiveness of the model of regulation that is adopted. But regulatory
approaches need to establish an appropriate balance between protection
of public interest and the need for enterprise autonomy.
II. STANDARDS FOR JUDGING REASONABLENESS OF PRICES
Both historically and currently, the topic that has attracted the
greatest attention in the field of regulated industries has been the
reasonableness of prices. As a monopoly, or a dominant firm with
significant market ownership, the regulated firm has a market incentive
to charge monopolistic prices for a public necessity service. One
important task of regulation has been to ensure that the prices charged
to consumers are reasonable. This has led to a search for standards by
which the reasonableness of prices can be judged.
Regulators have attempted to judge the reasonableness of prices in
telecom industries by evaluating "reasonableness" from four
different perspectives or levels of analysis: (4)
(i) Specific individual prices, e.g. the line charges for a
telephone;
(ii) Relations between specific prices, e.g., a telephone line
compared to an ISDN line. This raises issues of appropriate rate
relations, the design of the rate structure and price discrimination;
(iii) The revenue level of a specific class of service involving
several specific services, prices and rate structures, e.g. local
telephone services; and
(iv) The overall revenue level of the company for all of its
regulated services.
Recognising the inherent imperfections of all real world
assessments, reasonableness is sometimes viewed as encompassing a range
of possible prices, with maximum prices for monopoly services being
judged as the top of the range of reasonableness. As competition becomes
more significant, claims are sometimes made that the monopoly operators
are charging prices for special services subject to competition that are
too low. In this circumstance regulation and competition authorities are
sometimes required to make judgments about minimum reasonable prices.
Reasonableness of prices is based on the following.
(i) Equity
If basic telecom services are considered to be a public necessity
everyone should have reasonable access to, then a standard of
reasonableness must satisfy that primary objective. To cover the poor
and the disabled the standard of reasonableness used is based on equity
considerations such as "need" and "ability to pay"
to determine the maximum price for a limited number of specific services
such as network access and minimum levels of usage. This normally covers
a few of the total number of services and prices offered by any
operator.
(ii) Efficiency
The economic standard of cost is derived from the theory of
efficient resource allocation, in particular the standard of optimal
efficiency in theoretical terms in perfectly competitive markets.
Clearly if prices are set below cost, there will be no incentive to
supply those services in private markets. Either people would be denied
services they were willing to pay for, or there would have to be a
transfer of economic resources from other important areas so as to
subsidise their supply.
Cost is not an easy standard to define or implement. The cost of
production of one firm may be a lot higher than another's for
producing the same service. Clearly society is better off if the service
is supplied by a firm that can do it best. Competitive markets provide a
powerful incentive for firms to be efficient and to seek ways of
improving their efficiency. If a firm is the most efficient competitor,
it may earn extra profit for a while until its competitors catch up with
it.
(iii) Improving Performance
The primary objective is to get these national operators to improve
their performance dramatically in a sustained manner over an extended
period. The effort is not only to reduce costs to an efficient level,
but also to stimulate investment in network upgrading, improved customer
service and new service development. Competition is seen as a stimulus,
but competition can hardly be expected to cover the entire market, or to
provide residential basic subscribers with competitive market options
for a long time. The objective is to drastically reduce the operator
monopoly power while at the same time turning it into an efficient and
effective competitor.
III. PRICING METHODOLOGIES AND ITS IMPLICATIONS
Regulators can determine prices and profits constraints on the
regulated firms in a variety of ways. Prices are based either on costs
or on demand. Often the cost concepts are considered for cost-based
pricing including rate of return and markup. Some notable methods are:
* Marginal Cost Pricing.
* Average Cost Pricing.
* Ramsey Pricing Rule.
* Rate of Return Regulation.
* Price Caps.
(i) Marginal Cost Pricing
In theory, marginal costs are the costs that are associated with an
increase or decrease of one unit of output, such as an additional call
minute or a new access line. Mathematically, both long-run marginal cost
and short-run marginal cost can be expressed in the same way. The
marginal cost (MC) (whether long-run or short-run) is the first
derivative of the total cost function. Denoting total cost by C and
output by X, we have:
MC= [partial derivative]C / [partial derivative]X
In a competitive market, firms set prices equal to marginal costs,
as this implies that output prices reflect the underlying supply costs
of producing that output. For the national economy as a whole, marginal
cost pricing means that scarce resources are being used in the most
productive way possible, as no alternative use of these resources would
yield higher benefits, resulting in the maximum possible contribution to
the national economy.
Although marginal cost pricing appears to offer benefits to all
stakeholders, there are a number of practical problems associated with
the use of marginal cost pricing for the PTCL. Telecommunication
companies, such as PTCL does not have an adequate cost data to calculate
marginal costs reasonably. Like any other telecommunication firm, PTCL
makes investment for capacity in blocks and not in units (investment is
lumpy) and elements of its cost structure are common in a number of
outputs. For instance, local exchange switching equipment is used by
local, long distance and international calls, and is typically bought in
block capacity.
(ii) Average Cost Pricing
The basic characteristic of average cost pricing is the postulate that price is set according to the average cost principal. Symbolically:
P = A VC + GPM = AC
Where P = price, A VC = average variable cost, GPM = gross profit
margin, AC = average cost.
Given that most of the telecommunication firms are decreasing cost
firms and their costs are largely fixed according to service consumed,
it implies that setting prices equal to marginal costs will incur
chronic losses. In view of these losses, regulators have traditionally
relied on average cost pricing for the regulated firms. For example, a
telephone company would take all its cost (fixed as well as variable)
and distribute them to each product sold (say local calls and long
distance calls). Then each class of customers would be charged the fully
distributed average cost of that type of service.
Besides the problems of measuring and unbundling costs, the average
cost pricing method has been criticised on the following grounds:
(a) Unlike the marginal cost pricing, average cost pricing is not
considered the first-best pricing method.
(b) Since price is based on the costs of the firms, the average
cost pricing method may lead to discarding demand for telecommunications
subscribers.
(c) Under the average cost pricing method, the prices charged to
consumers will be higher than the prices charged under marginal cost
pricing method. This is because average cost pricing is based on
budgeted output which implies use of exchanges (on the average) is below
100 percent capacity. This further implies under utilisation of
exchanges.
(iii) Ramsey Pricing Rule
A widely acknowledged rule for determining a markup to minimise
deviation form efficiency is the Ramsey Rule. This rule states that the
markup of price over marginal cost should be in inverse proportion to
the elasticity of demand for the products. It states that to meet a
given revenue requirement, while minimising the loss of net benefit from
consumption, the deviation of price from marginal cost should vary
inversely proportional to the own price elasticity of demand.
This can be stated as follows:
(P-MC) / P = ([lambda] -1) / e
Where P = price, MC= marginal cost, e= price elasticity of demand,
[lambda] = Constant associated with profit constraint.
The Ramsey pricing approach requires extensive data on consumer
demand for services and particularly the responsiveness of demand to
price changes. While PTCL does not have an adequate data on the
responsiveness of demand to price changes, a pragmatic solution would be
to use whatever data is available to understand the implications of this
approach that might show the general direction in which tariffs could be
adjusted. For instance, our analysis shows that trunk calls in Pakistan
have a relatively high elasticity and monthly rentals have low
elasticity. Ramsey pricing would suggest a proportionately lower mark up
on trunk calls relative to monthly rentals.
Regulators around the globe have been slow to approve the Ramsey
pricing technique due to the following reasons:
* Ramsey pricing rule could lead to unfair price discrimination.
* Lack of sophistication in billing systems.
* Lack of adequate data on the responsiveness of demand to price
changes.
(iv) Rate of Return Regulation
Under the rate-of-return regulation, telecommunication prices are
set to reflect the embedded or historical costs of providing services to
each set of customers. Rate increases are based on a telecommunication
utility's revenue requirements--this is, to provide a reasonable
return on equity. The revenue requirement can be expressed as:
RR = E + d + T + (V-D) R
Where:
RR = revenue Requirement;
E = operating Expenses;
d. = annual Depreciation Expenses;
T = taxes, including Income Tax;
V = gross Valuation of the Property Serving the Public;
D = accrued Depreciation;
R = percentage Rate of Return;
V-D = net Value of Rate Base (includes the physical assets such as
land, buildings, and transmission facilities in use); and
(V-D)R = rate of Return Permitted on Rate Base.
The rate-of-return regulation has been used extensively in the
United States, where until recently it has been applied to
investor-owned public utilities, including telecommunications.
Typically, it has involved the establishment of a maximum permissible
percentage ceiling on a company's rate of return on equity, after
taxation and interest charges. The companies are then obliged to set
their prices for various services at levels which result in overall
earnings which are at or below the permissible rate of return. The rate
of return ceiling may be applied at various levels of aggregation, from
an individual service to the full range of a company's regulated
activities.
The main disadvantage of the rate-of-return regulation is that it
provides no incentive to control costs: higher costs can simply be
passed on to the consumer in the form of higher prices. Rate-of-return
controls can provide an incentive for management to
"gold-plate" its investment process which can lead to an undue
regulatory influence on management's commercial decisions.
(v) Price Caps
Price cap is a very flexible pricing methodology, and can be
adjusted to take account of a variety of objectives related to telecom
tariffs. (5) An important reason for adopting price caps has been to
facilitate the process of tariff restructuring, i.e. change the
prevailing pattern of cross-subsidisation among services. Most OECD countries use some form of price cap for regulating telecom tariffs.
The basic idea in the price cap methodology is to consider two
elements. One is an estimate of inflation of the costs of producing a
specified basket of telecom services. The other is the likely increase
in the operator's productivity for that basket of services. The
former is approximated by the rate of inflation in the economy (or CPI)
and the latter is characterised by a factor X. The price cap formula
normally specifies that for a particular basket of telecom services, the
average price cannot increase beyond a factor CPI minus X; (CPI-X). For
example, if the maximum annual price increase was "CPI-5" and
the CPI rose by 17 percent over the year, prices would be allowed to
rise by 12 percent. Prices charged by the operator for the Basket
Services shall be set so as to satisfy the criteria in the following:
1 + [[summation].sub.I] ([W.sub.i]/W) x[ ([P.sup.t.sub.i] -
[P.sup.t-1.sub.i])/[P.sup.t-1.sub.i]] [less than or equal to]
[CP[I.sup.t-1]/CP[I.sup.t-2]] - [X.sup.t]/100
Where:
CPI = the consumer price index;
CP[I.sup.t-1] = the consumer price index t-1 period;
P [i.sup.t-1] = the geometric average price of basket service i in
the period (t-1);
P [i.sup.t] = the geometric average price of basket service i for
the current price (t);
[W.sub.i] = the revenues of basket service i in the latest
financial year;
W = the total revenues of all basket services in the latest
financial year; and
[X.sup.t] = the 'X' factor is designed to encourage cost
saving and efficiency improvements.
In the telecommunications sector, price caps have been applied to
dominant carriers in the UK, Australia and the US (AT&T and the
Regional Bell operating companies), as well as an increasing number of
developing countries such as Argentina. In our view, the price cap
method would also be the most appropriate approach to adopt in Pakistan.
This is primarily because:
* it eliminates the need to obtain political approval for
individual price increases and, by taking price policy out of the
political control, it provides an element of certainty for management
and investors that should facilitate rational planning and help to
create a climate which encourages private sector participation in the
sector; and
* it provides an incentive to improve efficiency, as cost
reductions will be reflected directly in higher profits.
The main disadvantage of the price cap approach is that unexpected
changes in costs can give rise to profits which are unacceptably high or
inadequately low. Price caps are therefore inappropriate in industries
which are prone to unexpected fluctuations in the level of costs.
Fortunately, the telecommunications industry is not generally prone to
such fluctuations, although the costs of imported equipment can be
affected by a volatile exchange rate.
CONCLUSION
Telecom prices are a crucial component of any policy initiative to
foster growth, enhance efficiency and impart dynamism to the sector.
Prices affect economic decisions of investors, producers, buyers and
sellers in any market, and reflect important information about the
prevailing and expected market situation. Moreover, if there is a
competitive pressure on prices, producers are likely to be more alert
about improving their performance and taking account of dynamic
developments. All these aspects provide a basis for linking prices with
the achievement of various socio-economic objectives.
The different standards for judging the reasonableness of prices
discussed in this paper--equity, efficiency (rate of return) and
improvement performance (CPI-X)--are not substitutes for one another.
They provide standards for judgement from different perspectives.
Ideally, reasonable rates should satisfy all standards. However, they
sometimes conflict. The priorities placed upon application of the
different standards depend very much on the particular circumstances in
which they are being applied, and these priorities can be expected to
change with obtaining circumstances.
The challenge for the future will be to build on experience and
fashion the most appropriate standards for judging the reasonableness of
telecom prices after the PTO transformation, in highly imperfect,
partially competitive markets. Neither the rate of return nor the CPI-X
methods have been demonstrated to be effective in preventing
cross-subsidy, i.e., in providing a consistent basis for simultaneous
judgements about reasonable maximum prices for monopoly services and
reasonable minimum prices for competitive services. Neither method will
be very helpful in resolving the future debate about whether information
services should be priced primarily as access charges or usage charges.
Moreover, some evidence points to the possibility that many dominat PTOs
may not rank the potential to earn extra profit nearly as high as
preserving their market share and establishing outposts of competition
to restrict entry by new competitors. In the new environment regulators
will have to take more intensive and detailed examinations of PTO cost
structures as a foundation for their rate structures.
Comments
The central theme of the paper by Muhammad Saleem is related to the
question as to why do we need to regulate telecommunication and,
particularly, what should be considered as reasonable price for any
telecommunication service. Apart from furnishing the theoretical
economic basis for determination of this level, he has attempted to
justify the need for an effective agency independent of Government
interference in its day to day business to regulate the
telecommunication industry by establishing an appropriate balance
between the two conflicting objectives i.e. protection of
consumers' interests and the need for enterprise economy. Obviously
this is a very challenging job and needs to be carded out with utmost
professional competence and dynamism. It was in this context that the
Government of Pakistan established the Pakistan Telecommunication
Authority (PTA) in accordance with the Pakistan Telecommunication
(Re-organisation) Act, 1996 to regulate telecommunication industry to
promote the availability of a wide range of high quality, efficient,
cost effective and competitive telecommunication services throughout
Pakistan. The Authority has recruited the necessary professional staff.
Procedures and regulations have been framed to ensure a transparent
regulatory regime. The Authority is thus fully functional to discharge
the regulatory responsibilities.
The subject matter of this paper is of great interest to all of us
because telecommunication has been recognised as an integral part of
both economic and social development throughout the world. This is the
largest global industry representing nearly 20 percent of world trade.
This sector has seen unprecedented growth in recent years and future
growth rates are expected to be much higher. The telecom system is
rapidly becoming the electronic infrastructure for transmission of all
kinds of information--voice, data, graphics, video, and music. The
telecom networks and services provide the foundation for national
"information society" programmes as well as a fast growing
information economy.
At present, there is much discussion going on about the most
effective role telecommunication regulators can play in resolving the
complex regulatory issues facing this sector and more importantly within
the framework of emerging market structures and regulatory reforms in
the public utilities. The requirements of WTO regime make the position
further challenging. In the circumstances, it will not be advisable to
adopt any specific regulatory model to national structures unless its
suitability has thoroughly been examined. PTA as a telecom regulator is,
therefore, carefully reviewing the whole position. For this purpose it
has arranged open forum discussions and public debates on important
regulatory issues including tariffs.
On the pricing regulation, different models are available which
have been applied in different countries. However, controversy still
exists as to what is the reasonable price of a telecom service. Economic
theory on the issue has been clear for a long time that reasonableness
is judged with reference to costs. Prices should be set to cover all
economic costs in order to attract the necessary resources. Prices in
excess of economic costs simply result in monopoly profits. This
economic theory has however failed at the implementation stage
particularly when it can create powerful incentives for in-efficient and
anti-competitive behaviour. The application of Price Cap regulation has
also shown some major theoretical and measurement weaknesses in the
United Kingdom although this method has enabled some informed regulators
to negotiate a share of benefits in favour of consumers accruing from
the efficiency gains through major restructuring of national Public
Telecom Operators (PTOs). In the final analysis, therefore, national
telecom regulators will have to resolve the issues themselves in the
light of local conditions and international experience. PTA has already
established a strong base for public consultation on such regulatory
issues. The Advisory Committees have been appointed at the Headquarters
level as well at the Regional Offices. A study was recently carried out
in collaboration with the World Bank on demand and tariff for
telecommunication services in Pakistan. This is the first Study of its
kind for Pakistan. Furthermore, research is being carried out within PTA
on salient features of this Study. A number of open public hearings were
held in PTA on regulatory awareness and tariff issues. Opinion on
different regulatory matters is also being solicited through the PTA web
site. PTA finalised its draft policy on Universal Service Obligations
through this process of consultation. We are hopeful that the Pakistan
Society of Development Economists and PIDE will continue to provide
their professional guidance to PTA to facilitate the solution of
intricate regulatory issues and thus promote economic regulation in
Pakistan.
Abdul Khaliq Awan
Pakistan Telecommunication Authority, Islamabad.
REFERENCES
Dnes, A. (1995) Post Privatisation Performance--Regulating
Telecommunication in the UK; Testing for Regulatory Capture. (The World
Bank Note/Viewpoint No. 60.)
Melody, W. H. (1997) Interconnection: Cornerstons of Competition.
In W. H. Melody (ed.) Telecom Reform; Principles, Policies, and
Regulatory Practices. Lyngby: Technocal University of Denmark.
Pakistan Telecommunication Authority (1997) Annual Report.
Islamabad.
Rohlfs, J. H. (1996) Regulating Telecommunication; Lessons from
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Smith, Peter (1995) Subscribing to Monopoly; The Telecom
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53.)
(1) Dnes, A. (1995) Post Privatisation Performance--Regulating
Telecommunication in the UK: Testing for Regulatory Capture, The World
Bank Note/Viewpoint No. 60.
(2) Smith, Peter (1995) Subscribing to Monopoly: The Telecom
Monopolist's Lexicon--Revisited, The World Bank Note/Viewpoint No.
53.
(3) Pakistan Telecommunication Authority (1997) Annual Report,
Islamabad.
(4) Melody, W. H. (1997) "Interconnection: Cornerstones of
Competition" in Telecom Reform; Principles, Policies, and
Regulatory Practices, edited by the same author, Technocal University of
Denmark. Lyngby.
(5) Rohlfs, J. H. (1996) Regulating Telecommunication: Lessons from
U.S. Price Cap Experience, The World Bank Note/Viewpoint No. 65.
Muhammad Saleem is Director (Economics), Pakistan Telecommunication
Authority, Islamabad.