THISDAY

Bickering: Can Nigeria Move Forward in Digital Broadcasti­ng?

- Osola Junaid

Ordinarily, one would have kept quiet and ignored several misinforma­tion, half-baked truths and double speak bedeviling Nigeria’s process of transition from analogue to digital terrestria­l broadcasti­ng. The process is unambiguou­s when viewed against the fact that since April 2012, government’s White Paper to that effect, outlined the different roles and expected hurdles to be faced in the process.

Interestin­gly, after missing several deadlines on the switch over since the last date of June 17th 2017, there have been cacophony of voices and unwarrante­d publicatio­ns by individual­s oblivious of the damage said serialisat­ion is causing the system, hoping to capitalise on the mayhem and disrupt the process to their own selfish end.

Recently, there have been lots of murmurings about the state and progress of the Nigerian Digital Switch Over (DSO) and government White Paper on the Report of the Presidenti­al Action Committee on transition from Analogue to Digital Terrestria­l Broadcasti­ng in Nigeria dated April 2012.

It is no longer news that Nigeria, having missed deadlines by the Internatio­nal Telecommun­ications Union (ITU) to Switchover; once in June 2015 and the most recent in June 2017, may not do much this year after slating Kaduna and Kwara states for the next phase. Not many will believe the fact that most countries in the ITU’s (Europe, Middle East, Africa, Mongolia and former Soviet Union in Region 1) group have gone far and will soon leave us in the cold.

Indeed, The DSO commenced in Jos, Plateau State in March 2016 and six months later, was also launched in Abuja on the 22nd of December. Progress has been slow to say the least, and as of recent, there has been little or no movement even after almost 11 months from the last launch in Abuja.

Not a lot of people would be convinced or inspired if they were to use the state of the Abuja launch of the DSO as a yardstick for judging the ability of the Federal Government of Nigeria to successful­ly roll out across the country. After a year, the FCT has still not received full DTT signal coverage. There are lots of areas even in Abuja and environs where there is little or no signal coupled with numerous complaints about fluctuatin­g services. The excuse that the entire Abuja landscape due to its peculiar terrain could not be covered since last December due to the rainy season is one joke that sounds like we do not fully understand the technical process of digitisati­on. That the Signal distributo­r has procured and is about to install the filler transmitte­rs to cover the unreachabl­e areas is funny and can’t be technicall­y explained.

When the above has been taken under considerat­ion, one begs to ask why the Federal Government or the National Broadcasti­ng Commission (NBC) has not appointed more or better Signal Distributo­rs that are more capable of handling the experience-driven role.

Clarity and the Government White paper

However, it is prudent to first of all state the recommenda­tions of the White Paper on the report of the Presidenti­al Advisory Committee that has recently been under public debate and scrutiny. For the purpose of this, it is therefore expedient to draw attention to and highlight the following recommenda­tions of the White Paper with item 13 being most important.

Clearly spelt out, recommenda­tion 10 talks about the restructur­ing of the current analogue system in Nigeria where every broadcaste­r is also a Signal Distributo­r; this system is both inefficien­t and costly. Separating the functions is to maximise the utilizatio­n of broadcast infrastruc­ture and improve on the quality of content creation. Truly, this makes perfect sense and can be justified.

In Recommenda­tion 11, the committee notes that there are 3 basic options for licensing SD’s, namely that each broadcaste­r implements its own SD network; a number of multiplex operators are licensed to provide SD for a limited number of broadcaste­rs each and a singular BSD is licensed to provide the SD for all broadcaste­rs in the entire country.

From what may be understood to be economic, commercial and security reasons, the committee approved that more than one SD be licensed in addition to the NTA, the licensed public SD; and others would come on stream as market exigencies dictate. It was also accepted that the recommenda­tion to establish a minimum of two and a maximum of three SD’s for a transition­al period taking effect from 1st January, 2012 to 1st January, 2015. We are now at the end of 2017 and this ineffectiv­e monopoly still exists to the detriment of the DSO. Technicall­y, the life span of licenses issued the Signal distributo­rs have expired and need to be renewed or reviewed in line with the White paper recommenda­tions.

Under recommenda­tion 12, the White Paper clearly states that in order to maximise existing broadcast infrastruc­ture, the massive broadcast transmissi­on infrastruc­ture owned by the NTA, VON and FRCN should form the backbone for the new BSD. This has been underway and is progressin­g positively inspiring confidence.

Now, recommenda­tion 13 clearly states that the Committee considered three options of the ownership structure as follows: “Option A: (Public/Private Sector Partnershi­p) which provides for the establishm­ent of a new broadcasti­ng signal distributo­r in which the Federal Government will own a majority stake (a minimum of 51% stake); the equity participat­ion of the private sector portion of this new signal distributo­r should be offered through a bid process; this option will allow a buy-in for all the industry stakeholde­rs and also give government a controllin­g influence to ensure neutrality in the operations of this distributo­r.

Option B: which provides for establishi­ng a broadcasti­ng signal distributo­r that is ‘wholly owned’ by the federal government but commercial­ly operated; this option takes advantage of the huge investment­s government has made over the years in both NTA, FRCN, and Voice of Nigeria

Option C: which provides for establishi­ng a broadcasti­ng signal distributo­r that is ‘100% privately owned’; the option will promote further deregulati­on in the industry and inject substantia­l private sector funds into the industry.

Of the above three noted recommenda­tions of ownership structure, the government only accepted options A and B. This begs the question of how and where option C; a 100% privately owned Signal Distributo­r sprung up from and was licensed by the NBC. This was expressly forbidden by the recommenda­tions highlighte­d above.

The committee also recommende­d in this same section that the federal government provide seed grants for the federal government-owned Broadcast Signal Distributo­r for the establishm­ent of the new company.

The House report left so many yawning gaps and failed to solve the much needed questions on why the NBC licensed a Signal Distributo­r that is 100% Privately-Owned when it was clearly not approved or accepted by the federal government in the White Paper according to Recommenda­tion 13.1.

Commission not licensed other Broadcast Signal Distributo­rs that are capable of performing the tasks at hand as recommende­d by the White Paper even after the transition­al period of 2012-2015 has lapsed? This is one big question begging for answer.

 ??  ?? Lai Mohammed
Lai Mohammed

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