As the peak body for rural and remote health in Australia, the National Rural Health Alliance has been a vocal supporter of telehealth and the many benefits that it can bring, especially for those outside of metropolitan areas.


In the wake of COVID-19, we spoke to Dr Gabrielle O’Kane, CEO of the National Rural Health Alliance to hear about how people in regional, rural and remote Australia were adapting to telehealth and what the future may hold for this technology-driven approach to healthcare.

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The Telecommunications Industry Ombudsman (TIO) is the external dispute resolution body for telecommunications consumers and small businesses who are unable to resolve complaints directly with their telco service providers. The TIO has consulted on changes to its Terms of Reference to allow for evolving technologies, changing consumer need and growth of smart devices.

ACCAN’s submission welcomed the proposed changes to the TIO’s remit and Terms of Reference including:

  • an increase in the amount of compensation available to consumers;

  • extending the jurisdiction for complaints and dispute resolution to include smart devices provided by TIO members;

  • allowing more than one service provider to be dealt with in the same complaint to make resolution easier;

  • compensating consumers for non-financial loss; and

  • aligning the TIO’s definition of small business with that in the Australian Consumer Law.

ACCAN recently made a submission relating to the draft AS/CA S042.1:2020 Requirements for connection to an air interface of a Telecommunications Network— Part 1: General. The aim of this Standard is to provide requirements and test methodology for customer equipment used in connection with a Public Mobile Telecommunications Service (PMTS) or Satellite Service.

In our submission ACCAN argued that there is a need for improved consumer education around making emergency calls from different types of customer equipment.

New research from the National Youth Commission of Australia (NYC) highlights the need to urgently address internet affordability, according to the Australian Communications Consumer Action Network (ACCAN).

The NYC’s Inquiry into Youth Employment and Transitions Interim Findings Report shows that limited access to technology, insufficient digital literacy and a lack of affordable internet services are limiting opportunities for the nation’s young people.

“The National Youth Commission’s research points to case study after case study that demonstrates the real-life impacts that not being online can have,” said ACCAN CEO, Teresa Corbin.

“Without access to the internet and the digital literacy skills to navigate online, young people are simply unable to engage with government services to get the help they need.”

Ms Corbin said that the COVID-19 pandemic had shone a light on the digital divide.

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Notice is hereby given that the Annual General Meeting of the ACCAN will be held via virtual meeting, on Thursday 24th September 2020 from 4.00pm.

ACCAN AGM

Date: Thursday 24th September 2020

Time: 4:00pm (AEST)

Venue: Virtual Meeting via Zoom – Please register from here by 22nd September 2020.

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ACCAN recently made a submission to Communications Alliance in response to a call for public comments about the Emergency Call Service Requirements Industry Code DR C536 2020 (the Code). The Code places obligations on Carriers, Carriage Service Providers (CSPs) and Emergency Call Persons (ECPs). Carriers, CSPs and ECPs are required to ensure customers have access to the emergency call service, and also have access to information about the emergency call service.

ACCAN has recently endorsed the Communications Alliance draft DR C564:2020 Mobile Phone Base Station Deployment Industry Code. The draft Code updates the previous version to bring it in line with the ‘temporary facilities’ requirements in the Telecommunications (Low-impact Facilities) Determination 2018.

ACCAN was a participating member of the Communications Alliance working group reviewing this Code.

The ACCC consulted on the NBN Services in Operation (SIO) Record Keeping Rules (RKR). The rules require NBN to share information on a quarterly basis with the ACCC regarding the number of services in operation, network capacity acquired, technology type and attributes as well as geographical distribution of services. This information is then shared as part of the NBN wholesale market indicators report. The rules are due to expire on 30 September 2020, the ACCC sought consultation on whether they should be extended or amended.

ACCAN supports the ACCC’s preference for extending the rules for another five years and believes that the rules provide a comprehensive view of the NBN wholesale market. We therefore provided no suggestions for revision.

Up until recently, superfast fixed line broadband networks serving residential customers had to operate on a structurally separated basis – which means a strict separation between wholesale and retail arms of the business. Recent amendments to the Telecommunications Act allow networks to functionally separate, which is a less costly way of achieving similar outcomes. The ACCC role is:

  • to develop an optional standard functional separation undertaking for networks, as an alternative to networks developing their own;

  • to make determinations exempting small network operators from separating wholesale and retail parts of their business.

The ACCC’s consultation is about proposed requirements for functional separation, and criteria for granting exemptions.

ACCAN has responded to the draft report published by the ACCC on the public inquiry on the access determination for the domestic mobile terminating access service (MTAS). The purpose of the inquiry was to set an appropriate price that mobile network operators can charge for calls terminating on their mobile networks.

The ACCC carried out a benchmarking exercise which sought to estimate the current cost of providing MTAS in Australia by comparing the cost of providing the service in various countries and applying it to an Australian context. ACCAN supports the methodology used in the benchmarking exercise which produced a range for the estimated cost of supplying MTAS in Australia, but questions aspects of the approach taken by the ACCC.

ACCAN submitted to the ACCC’s review on Division 12 and Internet Activity Record Keeping Rule where there were several proposals regarding the information the ACCC seeks from service providers.

ACCAN has made two submissions to the Royal Commission into Violence, Abuse, Neglect and Exploitation of People with Disability (Disability Royal Commission). In these submissions we highlighted the importance of communications accessibility for consumers with disability.