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Public Policy and Efficiency: Some Lessons from the Reform of the Australian Gas Industry

Public Policy and Efficiency: Some Lessons from the Reform of the Australian Gas Industry. Kevin Davis Colonial Professor of Finance Department of Accounting and Finance The University of Melbourne. Objectives of the Paper. Outline reform process

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Public Policy and Efficiency: Some Lessons from the Reform of the Australian Gas Industry

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  1. Public Policy and Efficiency:Some Lessons from the Reform of the Australian Gas Industry Kevin Davis Colonial Professor of Finance Department of Accounting and Finance The University of Melbourne

  2. Objectives of the Paper • Outline reform process • rationale based in perceived efficiency gains • Illustrate critical importance of (unknown) cost of capital • Demonstrate how structure of reform process may lead to the use of a biased cost of capital estimate • May offset operating efficiency gains • Suggest that privatization sale prices for Victorian gas businesses are indicative of such an effect • Indicate need for care in structure of reform processes

  3. Background • Historically, gas transmission, distribution, retailing undertaken by a public monopoly • Divided (1996) into transmission co., 3 distribution cos., 3 retailers • Access prices for transmission & distribution to be determined (for 5 year horizon) by regulatory bodies (1998) • Businesses privatized (1998-99) • transmission business sold separately • distribution businesses “stapled” to retailer with 50 per cent geographical overlap • Regulated prices for retailers (reflecting gas purchase cost, transmission and distribution costs) apply only to “franchise” (non contestable) customers for next few years

  4. Background (continued) • Access prices should mimic a (hypothetical) competitive outcome • Market value of business should be close to replacement value of assets • Privatization sale prices were over twice the replacement value of assets • Cannot be explained by potential operating efficiency gains or synergy • Unlikely to be largely due to “winner’s curse” • Unlikely to be due to underestimation of asset replacement value • Indicative of use of excessively high cost of capital in regulatory determination

  5. Hypothesis • Reform process adopted resembles a two stage game • Stage 1: Regulators attempt to determine (unknown) cost of capital for gas businesses, based on (potentially biased) information received from government (as seller), potential buyers, and customers. • Stage 2: Gas businesses are sold by tender to bidder with lowest cost of capital (cet par.) • Result: • seller and potential buyers have incentives to provide upwardly biased estimates of the cost of capital in stage 1. • customers lack “financial authority” • Regulatory determination may not fully offset those biases.

  6. The Regulatory Model • Determine target revenue stream for 5 year horizon, based on • Projections of volume • Revenue to cover (efficient) operating costs, return on capital, return of capital (depreciation) • Initial price determined from year 1 target revenue and volume projections • Subsequent prices for 5 year horizon set using CPI – X rule, where X set to give Present Value of resulting revenue stream equal to that of target revenue stream • Note: approximately 50% of target revenue is return on capital

  7. The Regulatory Model • A net revenue stream which equals the required rate of return on written down book value plus depreciation each period means that the initial investment is zero NPV • Initial book value of assets established as DORC value • Depreciated Optimised Replacement Cost

  8. Target Revenue Model Total Revenue=Operating Costs+ Return of Capital + Return on Capital CapitalBase=InitialCapitalBase (indexed) – Depreciation (indexed) + new facilities investment(indexed)– redundant capital. Ignoring new investment we have TRt = OCt + Dt* + r Kt-1 (1+pt) TRt = target revenue in year t OCt = operating costs in year t Dt* = CCA depreciation in year t Kt-1 = capital at start of year t pt = forecast inflation rate in year t r = real pre tax WACC

  9. Potential Efficiency Gains from Reform Process • Better incentive structure (including incentive regulation) following privatization • Lower operating costs • Better investment decisions • “Competitive pricing” (via regulatory determination) • Financing efficiencies

  10. Possible Impediments to Efficiency • Incorrect cost of capital estimate used in access price determination • “incorrect” market prices • “incorrect” investment incentives • Outcome in Victoria • Sale price/asset value multiple difficult to explain other than by use of upwardly biased cost of capital estimate • Despite regulators lowering initially proposed (real pre tax WACC) figure from 10% to 7.75% • Use of an excessively high cost of capital • Increases revenue stream of business • Increases gas transportation prices

  11. Misinformation Incentives • Seller (government) • short term gain via higher sale price • higher gas prices over longer term horizon • political incentives towards short term • Gas users • Prefer lower price, but are not authoritative providers of information about cost of capital for business. • Potential buyers • NPV of “prize”( from winning tender) increased • if cost of capital implied by winning bid above actual cost of capital (required rate of return).

  12. The Regulatory Problem • Cost of capital “built up” from component parts • many “unknowns” • CAPM parameters, tax issues, leverage & debt costs • real, pre tax WACC figure required (not well understood) • “cherry picking” of parameter estimates by participants in process • bias towards overstatement of WACC by participants

  13. The Regulatory Problem • Regulators need to determine appropriate “discount” to apply to cost of capital proposed by vested interests • absence of prior market in transmission and distribution facilities means no “price check” on validity of implications of proposed cost of capital possible • “Stapled” sales of distribution business and retailers, mean that “excessive cost” of distribution services can be fully passed on to customers when retailers fully deregulated • “stapling” prevents overpricing of distribution business leading to equivalent under-pricing of retailers • advantageous to seller

  14. Some Tentative Lessons • Process should enable “price check” against prior market prices of validity of regulatory cost of capital • no prior market in distribution / transmission services • Process should ensure that incorrect pricing of one component of the activity being sold will have offsetting implications for the sale price of another component • Incentives for revelation of “true” cost of capital required • Regulatory models used should be based on commonly accepted concepts

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