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Inquiry reports

1988


Gas
A report on the matter of the existence or possible existence of a monopoly situation in relation to the supply in Great Britain of gas through pipes to persons other than tariff customers.

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Summary



On 25 November 1987 the Director General of Fair Trading referred to the Commission (see Appendix 1.1) the supply of gas through pipes to non-tariff customers. These are customers, mainly in the industrial and commercial sectors, who use more than 25,000 therms of gas per annum. The reference was made following complaints about the pricing policy of British Gas (BG). Our inquiry confirmed considerable dissatisfaction with BG amongst its contract customers.

In Great Britain BG is the only authorised gas supplier, and accounts for virtually all gas supplied through pipes. Gas forms part of the wider energy market and some users can switch relatively easily to other fuels, but many others have no immediate or realistic alternative to gas, neither do they have at present an alternative gas supplier. In a substantial part of the market BG is subject to only limited competition from other fuel suppliers.

We have found extensive discrimination by BG in the pricing and supply of gas to contract customers. We believe that this is attributable to the existence of the monopoly situation and operates or may be expected to operate against the public interest in a number of respects. First, BG's policy of price discrimination imposes higher costs on customers less well placed to use alternative fuels or to obtain such fuels on favourable terms, which in turn places an arbitrary, cost
disadvantage on these customers, and distorts competition in the markets in which they operate. Secondly, BG's policy of relating prices to those of the alternatives available to each customer places it in a position selectively to undercut potential competing gas suppliers. This may be expected to deter new entrants and to inhibit the development of competition in this market. Thirdly, the lack of transparency in pricing creates uncertainty in the minds of customers about future gas prices and renders more risky the business environment in which they operate. Furthermore, BG's refusal to supply interruptible gas to some customers imposes additional
costs on those users; its prices for gas used in Combined Heat and Power schemes have inhibited the implementation of some such schemes; and its insistence on particular contract terms has imposed additional costs on users!

We have also concluded that BG's failure to provide adequate information on the costs of common carriage, its ability to use information obtained when negotiating common carriage terms to identify potential customers of competing suppliers and the potential source of gas, and its position as a dominant purchaser of gas, may all be expected to operate against the public interest by deterring new entry into the market.

During our inquiry, BG itself put forward a number of proposals for changing its pricing policy and other terms of supply and we have taken these into account in reaching our conclusions. In our view these proposals would produce some benefits but they would retain discrimination in pricing and supply and leave intact BG's position as a monopoly supplier and dominant purchaser of gas.

We have therefore made a number of recommendations which we believe go to the heart of the matter both by encouraging competition in the supply of gas and by restraining BG's discriminatory policy on pricing and supply of gas until such competition is effective. Our main recommendations are that BG should be required:

(a) to publish a schedule of prices at which it is prepared to supply firm and interruptible gas to contract customers and not to discriminate in pricing or supply;

(b) not to refuse to supply interruptible gas on the basis of the use made of the gas or the alternative fuel available;

(c) to publish further information on common carriage terms in sufficient detail to put a potential customer in a position to make a reasonable estimate of the charge that would be sought by BG;

and

(d) to contract initially for no more than 90 per cent of any new gas field.

1.7. We recognise that, to the extent that BG's profits on contract gas have relied on discrimination, its profitability is likely to suffer in the short term as a result of our recommendations. We also recognise that among BG's customers some will lose and some will gain. We believe, however, that the gains will be more significant than the losses and that our proposals will contribute towards the emergence of effective competition in gas supply. It is only through such
competition that a long-term solution can be found to the adverse effects we have identified in our inquiry.

It would be wrong to conclude this summary without mentioning the high degree of co-operation which we received from BG. Although we have found certain policies to operate against the public interest, we have formed a high opinion of BG's professionalism, and would like to pay tribute to their unfailing courtesy and speed of response throughout an inquiry which imposed
considerable burdens on them.








Full text



Contents

Chapters

 
Chapter 1 Summary
Chapter 2 General background
Chapter 3 The demand for and supply of contract gas in the United Kingdom
Chapter 4 BG: profits, costs and margins in gas supply
Chapter 5 The pricing of contract gas
Chapter 6 The views of the parties
Chapter 7 The views of BG
Chapter 8 Conclusions
  List of signatories
Glossary  
Appendices  
 



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