On November 26, the FCC issued an order that granted low-earth orbit (LEO) satellite broadband provider Starlink authorization to provide Supplemental Coverage from Space (SCS) and operate on certain spectrum bands for direct-to-cellular (direct-to-cell) operations, under certain conditions. Direct-to-cell, sometimes called direct-to-device (D2D), is the technological capability of connecting satellite broadband networks to standard terrestrial mobile cellular wireless smartphones. Starlink reportedly has an agreement with nationwide mobile wireless network provider T-Mobile, under which it will provide mobile Internet connectivity in the US exclusively to T-Mobile for one year.
Additionally, AT&T and Verizon reportedly have entered into commercial agreements with LEO satellite network provider AST SpaceMobile. AST SpaceMobile will be using spectrum in the 850 MHz band licensed by AT&T and Verizon, whereby AST SpaceMobile will provide direct-to-cell capability and thus enable mobile wireless broadband coverage to 100% of the geography of North America.
As I wrote in a December 2023 blog post, smartphone access to satellite broadband networks is a stellar example of the broadband market's dynamism. Near-future commercial availability of direct-to-cell capability by competing mobile wireless broadband providers in partnership with LEO satellite network operators is innovative, enhances competition, and doubtless will improve access to broadband for Americans.
Indeed, the important potential improvement in broadband access enabled by direct-to-cell innovation should factor into the FCC's forthcoming Section 706 Report as well as its forthcoming Communications Marketplace Competition Report. In assessing progress in deploying advanced capabilities in a reasonable and timely fashion to all Americans and in analyzing market competition for broadband services, the Commission should take a forward-looking analysis rather than rely on static snapshots in time from the past.
For the Commission, direct-to-cell capability ought to serve as a reminder that private market investment and innovation drive the improvement and expansion of broadband networks far more than slow-moving subsidy programs such as the Broadband Equity, Access, and Deployment (BEAD) program that draw from the public treasury – and ultimately from US taxpayers. During the next Trump Administration, the FCC should return its focus to promoting private network investment and innovation and to eliminating rate regulation and other burdensome, costly restrictions that harm market competitiveness and fail to meaningfully benefit consumers.
This year, the Free State Foundation filed public comments and reply comments with the FCC in its current Section 706 report proceeding. FSF also filed public comments and reply comments in the Commission's current Marketplace Competition Report proceeding.