a- a a+
- News
- Latest News
- Press Releases
- Publications
- Multimedia
-
Press Contacts
- Events
- All Events
Upcoming events
05-06.12.2024
61st BEREC ordinary meetings
11.12.2024
Public debriefing on the outcomes of the 61st BEREC ordinary meetings
05.03.2025
Four-lateral BEREC, EaPeReg, REGULATEL and EMERG Summit
- Documents
- All Documents
- Documents Search
- Request a Document
- Practical Information
- Practical Information
- Documents Help
- Public Consultations
- Public Consultation Procedure
Ongoing Public Consultations & Calls for Inputs
Public consultation on the Draft BEREC Report on the evolution of the private and public 5G networks in Europe
See More
- BEREC's Work
- All Topics
- PROMOTING FULL CONNECTIVITY
- Very High Capacity Networks
- Very High Capacity Networks
- Introduction to Very High Capacity Networks
- What are Very High Capacity Networks?
- Co-investments in new Very High Capacity Network elements
- Evolution of Wireless Networks
- Evolution of Wireless Networks
- Introduction to Evolution of Wireless Networks
- Evolution of physical network components
- Evolution of wireless radio technology
- Evolution of services and deployment
- Impact on markets
- Impact on consumers
- SUPPORTING SUSTAINABLE AND OPEN DIGITAL MARKETS
- Open Internet
- Open Internet
- Introduction to Open Internet
- Scope
- 5G
- Pricing
- Traffic Management
- Specialised Services
- Transparency
- Regulators' Tasks
- Digital Markets
- Digital Markets
- Introduction to Digital Markets
- NI-ICS interoperability
- DMA High-Level Group
- Roaming
- Roaming
- Introduction to Roaming
- Intra-EU Communications
- Sustainability
- Sustainability
- Introduction to Sustainability
- Indicators on environmental sustainability
- BEREC raising awareness of End Users
- Regulators working on environmental issues
- EMPOWERING END USERS
- End User Protection
- End User Protection
- Introduction to End User Protection
- Universal Service
- Transparency and Simplicity
- Switching Providers
- Quality of Service
- Termination of Contracts
- Accessibility
- Penalties and Redress
- About Us
- BEREC
- WHAT IS BEREC
- Tasks
- Tasks
- European Electronic Communications Code
- Electromagnetic Fields
- Article 32/33 (Formerly Article 7/7a)
- Tools
- Tools
- General Authorization Database
- Information Sharing Portal
- Numbering Database for extra territorial use
- Premium Number Ranges
- Value Added Services Database
- Access to Emergency Services Database
- Public Warning Systems Database
- Annual Work Programme
- ORGANISATION
- BEREC Chairmanship
- Board of Regulators
- Contact Network
- Working Groups
- BEREC Members
- Organisational Charts
- External Cooperation
- BEREC Office
- WHAT IS BEREC OFFICE
- Mission
- Tasks
- Headquarters
- Programming Documents
- ORGANISATION
- Director
- Management Board
- Organisational Charts
- PUBLIC PROCUREMENT
- Procurement Procedures
- Closed Procedures
- Procurement Plan
- Public Procurement at the BEREC Office
- CAREERS
- Vacancies
- Reserve Lists
- Working with the BEREC Office
- Traineeships
- BEREC
- Contacts
What is zero-rating?
‘Zero-rating’ is when an ISP applies a price of zero to the data traffic associated with a particular application or class of applications (and the data does not count towards any data cap in place on the internet access service). For example, if an internet access service does not charge a user for the data used to access a specific music streaming application or all music streaming applications, then the ISPs is zero-rating those applications. In implementing the Regulation, the BEREC Guidelines consider zero-rating as one of the commercial practices mentioned in Article 3(2) of the Regulation.
Is zero-rating allowed under the Regulation?
It depends. There are different types of zero-rating practices, some of which are more problematic than others. BEREC’s Guidelines look at different examples and provide guidance on the extent to which they could be considered permissible under the Regulation.
The BEREC guidelines explain that some practices are clearly prohibited – those where all applications are blocked or slowed down once the data cap is reached except for the zero-rated application(s). Others are less clear-cut and will be need to be assessed by NRAs against a number of criteria set out in the Guidelines.
How will regulators assess whether cases of zero-rating are permitted?
Criteria that NRAs should take into account when assessing zero-rating and other commercial practices include:
- whether the practices circumvent the general aims of the Regulation (to “safeguard equal and non-discriminatory treatment of traffic” and to “guarantee the continued functioning of the internet ecosystem as an engine of innovation”);
- the market positions of the ISPs and CAPs involved;
- any effects on end-user rights of consumer and business end-users, e.g. reductions in the range of applications available, incentives for end-users to use certain applications, or whether there is a material reduction in end-user choice;
- any effects on end-user rights of Content and Application Providers (CAP), e.g. whether there is an effect on the range of content and applications which CAPs can provide, or whether they are materially discouraged from entering the market;
- the scale of the practice (e.g. the number of end-users subscribing to such an offer) and the extent to which end-users have access to alternative offers and / or other ISPs.
Public Consultations
Public consultation on the Draft BEREC Report on the evolution of the private and public 5G networks in Europe
See all
Careers
Call for expression of interest for Seconded National Experts
Privacy Statement for BEREC Office vacancy notices
See all
Public Procurement
Provision of indoor plant care services - BEREC/2024/LVP/0008
Open Procurement Procedure for the ICT services
Invitation to interested entities to offer to BEREC Office staff services at preferential conditions
See all