Dynamic & Adaptive Approach in Spectrum Management
Dynamic & Adaptive Approach in Spectrum Management
1. Overview
Enabling existing spectrum users to grow and innovate while allowing new services to emerge is an
important objective for Ofcom. Our Spectrum Management Strategy emphasised the importance of
sharing spectrum, and supporting different users – ranging from consumer mobile services to
specialised industrial applications – by enabling greater flexibility in spectrum use.
In this document we explore the opportunities and challenges associated with applying flexible,
increasingly time-based spectrum management approaches in the UK. Such approaches are
generally referred to as forms of Dynamic Spectrum Access (DSA) and promise gains in the efficiency
of spectrum use, by allowing users to share the same spectrum by managing the times and places at
which they transmit.
• More automation and better data can deliver significant gains. Ofcom is already taking action to
automate more of our licensing process and collect better usage data. This can lay a foundation
for more advanced sharing, providing the means to quickly adjust user assignments where usage
gaps are identified. More standardised usage data across vendor equipment could increase the
opportunities these processes can support.
• Dynamic access may best meet user needs where enabled as a ‘top-up’ to more guaranteed
capacity. Predictable spectrum access is important for users seeking to meet quality of service
requirements. Consequently, dynamic sharing, where spectrum supply comes and goes, may be
most beneficial where the user has access to other spectrum, so that access ‘adapts’ over time,
and/or the dynamic sharing is associated with a level of ‘guarantee’ for the times and
bandwidths available.
• The equipment ecosystem needs to support greater flexibility. While significant progress has
been made developing the technical foundations for more dynamic sharing, further steps are
required to increase the availability and reduce the costs (including upfront investment and
operational costs) of more frequency agile and flexible equipment, which could bridge the gap
from costly and bespoke solutions to something with broader application.
• A blueprint for more open interfaces between devices and spectrum management databases
could open new opportunities. There may be benefits to enabling a more standardised form of
access between an intelligent spectrum controller or database, and certain equipment. This
would allow future spectrum management decisions to be informed by actual usage and flexed
over time, without imposing bespoke band-by-band burdens on users and regulators.
• There is potential for such dynamic and ‘adaptive’ approaches to play a part in addressing
future spectrum management challenges, including spectrum access for wireless broadband
evolution to 6G, and supporting a range of users with growing spectrum demands. We will look
to our Spectrum Sandbox programme as an opportunity to further explore this with industry and
academia over the coming months.
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2. Introduction
Why Ofcom is undertaking this work
2.1 Wireless communication plays an ever more significant role across many sectors of the
economy, delivering our news, connecting us to friends and family, automating industrial
processes, supporting public services and monitoring the natural environment. Radio
spectrum (the ‘airwaves’ that enable wireless technology) is a limited resource crucial to
delivering these services, and Ofcom has the job of ensuring it is used in the best interests
of all in the UK.
2.2 Ofcom’s principal duty with regards to spectrum management is to ensure that spectrum is
being managed in the most efficient way. As demand for spectrum continues to increase,
Ofcom is committed to exploring options that would enable greater sharing of this scarce
resource, which we identified as an area of increased focus in our 2021 Spectrum
Management Strategy.
2.3 More flexible and dynamic equipment is increasingly being incorporated across devices
and networks, from more adaptable radios and antennas to the adoption of Dynamic
Spectrum Sharing (DSS) between 4G and 5G technologies within mobile networks. 1
Consequently, the last decade has seen a variety of different regulatory solutions
developed to take advantage of this, highlighting the potential power of combining new
technologies with flexible spectrum management tools.
2.4 The TV White Spaces framework launched in the UK and across several other countries,
and the opening up of the CBRS band in the United States, have already demonstrated the
potential of more dynamic approaches, targeted at specific problems in particular bands. 2
2.5 Ofcom recognises the potential of flexible and dynamic access to spectrum to enable
innovation and growth, and is keen to help shape the ongoing debate over whether similar
approaches can be applied more broadly, by working with industry and academia on how
this might be brought to benefit UK citizens and consumers.
2.6 We are already working on the automation of our licensing processes, to provide a better
user experience and significantly reduce the time taken to access spectrum. We are keen
to stimulate the development of spectrum sandboxes, working collaboratively with
stakeholders, to collect more information on spectrum usage to inform our policies.
Additionally, having looked at the current dynamic solutions being deployed to respond to
specific situations, we want to highlight to industry the potential benefits that could flow
from more band-agnostic and open solutions, which could reduce complexity, cost and
1 DSS seeks to ensure the best balance of spectrum resource blocks available for each technology at a given moment in
time, based on user needs.
2 Ofcom’s TV White Spaces (TVWS) programme coordinated a secondary user’s (PMSE) spectrum access around a primary
user (Digital Terrestrial TV), and enabled access for other parties where both these users were absent. The USA adopted a
tiered and dynamic approach in the 3550-3700 MHz band (the Citizens Broadband Radio Service, or CBRS) to enable
mobile broadband and other uses alongside incumbent military systems and civilian satellite earth stations.
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implementation time. This should, over time, facilitate greater adoption of more dynamic
solutions that could help meet growing demand for spectrum.
3 Side information includes knowledge of the primary users’ codebooks and uses advanced coding and signal processing to
mitigate interference, potentially including the training of transmission slots based on machine learning between users.
4 Collaborative solutions outside of individual networks remain largely a question of research – we provide some further
access spectrum capable of supporting mobile technology. Details of our approach, and how to apply, can be found in our
Shared Access licence guidance document.
6 The channel may be quiet either because it is not being used in the vicinity or because the use is sufficiently far away and
at a low enough signal level that any interference between the different devices should not significantly affect them.
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2.11 Such dynamic approaches usually rely on an analysis of information on the radio
environment (e.g., how, where and when the spectrum is being used) to allow additional
users to access gaps in existing users’ activity; and solutions for moving users in the event
of clashes. 7 We use the term Dynamic Spectrum Access, or ‘DSA’, as an umbrella for these
types of approach. 8
2.12 The benefits of these approaches depend on whether and how the demands of users can
be separated in time and/or geography without unduly affecting the quality of those users’
services. To date, such approaches have often involved relatively bespoke solutions to the
specific problems faced. Regulatory solutions therefore need to account for the potential
additional costs involved in deploying more intelligent solutions, and any resulting impacts
on spectrum usage.
2.13 In this document we explore the opportunities associated with the application of a DSA-
style framework, as follows:
a) We begin Section 3 by introducing some of the different dynamic spectrum
management options, highlighting the different problems they seek to solve, and how
these options can impact users.
b) We then consider the kinds of spectrum demand that might be met by such solutions,
and how technology could best support and enable that demand in the years ahead.
c) We illustrate these opportunities through two case studies where ‘top-up’ access to
additional spectrum could be facilitated by better data and more flexible equipment,
while also recognising scenarios where greater certainty of access is required.
d) We conclude in Section 4 by highlighting the benefits of ongoing work on automation
and improved data capture, pointing to the potential gains from a more flexible, band-
agnostic user equipment ecosystem, and the opportunity our ‘Spectrum Sandboxes’
project provides to explore this in the coming months.
7 These gaps can cover minutes, hours, or days, but tend to be less predictable under a fully DSA regime than slower and
more predictable variations that also constitute time-based sharing, but can be managed in other ways.
8 In addition to the TVWS programme and CBRS, other examples include Dynamic Frequency Selection in certain types of
licence exempt equipment, and proposals (considered by the USA and Canada among others) for an Automated Frequency
Coordination (AFC) regime to manage coexistence between Wi-Fi users and existing fixed links in the 6 GHz band, and so
enable Wi-Fi to operate at higher powers where this will not have an interference impact.
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7
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Figure 3.1: Illustrative schema of variations in dynamism and automation in existing systems
DFS CBRS
(See Annex A1 (See Annex A1
for details) for details)
TVWS
(See Annex A1
for details)
Wi-Fi (listen-
before-talk)
Rules-based sharing
e.g., certain hours allocated to
Dynamism
Traditional, manual
Automated version of
block-assigned or site-
traditional licensing (LPE)
by-site licensing
Automation
Database-assisted
Device/user-led
Administratively defined
Source: Ofcom
3.5 There is a broad consensus, from industry stakeholders, that more automated licensing
processes would be of great benefit to users, and Ofcom is taking steps to address this. We
are currently updating our spectrum licensing software to a unified single system. This
Licensing Platform Evolution (LPE) programme aims to provide a much greater degree of
automation in the licensing process. This work is being delivered in phases, with some of
our non-coordinated and Shared Access licences moving to the new platform in early
2024. 9
3.6 The further development of these licensing tools in the coming years has the potential to
provide a platform for, and act as a springboard to, more dynamic spectrum management
solutions. The greater the capability embedded in these tools to automate usage data
collection and enact rapid changes in user assignments (including through direct device
communication) the more they can support and enable new dynamic sharing solutions in
the future, as more device-level data becomes available.
9 We set out these plans, and potential benefits for Shared Access in more detail in our Shared Access update publication.
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Source: Ofcom
3.9 The result can be a greater efficiency in spectrum use as more users are able to make the
most of this scarce resource. However, especially for the most dynamic regimes – where
the ‘gaps’ in usage may change quite regularly and sometimes at short notice – this can
increase the chance of clashes between services, or short notice changes in access to the
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spectrum, with potential knock-on effects for the overall quality of service (QoS) levels a
user would retain.
3.10 These knock-on effects typically fall into one of the four categories below:
a) a user could see the quality of their access reduced incrementally, for example if it
was necessary to accept interference from another sharer in the band;
b) a user could see a reduction in available bandwidth, and may be required to adjust
operational frequencies as additional users appear;
c) a user could completely lose their spectrum access if a user who is deemed more
important emerges in their area; or
d) a user might temporarily lose access to some of their spectrum, but retain more
guaranteed access elsewhere (such access would be a ‘top-up’ to pre-existing or more
guaranteed capacity).
3.11 While none of these outcomes are necessarily desirable on their own terms, they may be
justified where they are solving a particular problem or addressing an access challenge that
cannot otherwise be easily overcome (e.g., an existing user is unable to move). 10
3.12 Accessing more information on spectrum usage, and the radio environment of an
operating system, can help manage the impact of these knock-on effects, by establishing
the scale of opportunity in a given band or location, and so increasing certainty for users. In
the most advanced concepts of dynamic sharing, it is often proposed that this information
could be accessed and acted on at the device level in real time. However, while narrow
implementations of device-level sensing do exist, there remain barriers to the
development of more independent ‘Cognitive Radio’ devices (which we describe further in
Annex A2) and a database is often required to store and analyse such usage information.
10 In theory, dynamic access could also enable a more certain outcome for users, where the specific frequencies offered to
the user change but the total bandwidth available is dynamically maintained across a jigsaw of different bands and time
slots, which could be described as ‘multi-band guaranteed access’. We are not aware of any practical application of this
approach today, but note that this could open up new opportunities for sharing, and mitigate challenges for users, if
technical developments supported it in the future.
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number of users, or the types of user device, has been limited in some way) or where it is
considered reasonable to tolerate the risk of interference and/or potential deterioration in
service quality/capacity offered.
3.15 We provide a brief overview below of some of these different approaches, implemented
over the last decade, to highlight how they have enabled access for new users with
differing elements of dynamism and automation, often with new or bespoke requirements.
We provide more detail on currently active examples in Annex A1.
a) Dynamic Frequency Selection (DFS): This is a ‘device-led’ approach found in Wi-Fi and
other systems, where individual devices make independent spectrum access decisions
(within a narrow framework) to protect existing users.
As noted above, Wi-Fi is an example of existing time-based sharing that works on a
relatively dynamic basis by using a listen-before-talk politeness protocol to avoid
channels occupied by nearby users. In certain bands and environments (e.g., outdoor
use), this has been supplemented with the additional requirement for Dynamic
Frequency Selection (DFS). Here the user equipment (often a Wi-Fi router) performs an
additional check for the presence of any radar system on the same channel. If a radar is
detected, the Wi-Fi router must seek a new channel elsewhere (which can take some
time), and so experiences a reduction in available bandwidth. However, the precise
performance of this test can vary with different firmware upgrades and can sometimes
act as a ‘false trigger’, meaning that while the existing radar user is detected, the
mechanism does not always secure the most efficient spectrum use.
b) TV White Spaces (TVWS): This is a priority-based (hierarchical) approach, with
automated dynamic access controlled via databases operating across the range of
470-694 MHz.
A database (or databases) approved by Ofcom protects Digital Terrestrial TV (DTT)
broadcast reception and Programme-Making and Special Events (PMSE) assignments as
first-tier and second-tier users respectively. PMSE users already operate in the
channels not used by DTT, and must give way to changes in DTT use (DTT network
reconfigurations do occur but are typically infrequent). White Space Devices (WSDs) on
the third tier may access channels that the database calculates are unused by either
DTT or PMSE. However, if DTT or PMSE services require those previously clear
channels, WSDs must give way by finding another unused channel, or if none can be
found, by ceasing transmission (effectively losing spectrum access).
c) Citizens Broadband Radio Service (CBRS): This is another priority-based (hierarchical)
approach, with multiple databases controlling access, informed by a network of
sensors.
The USA’s Citizens Broadband Radio Service (CBRS) operates in the 3550-3700 MHz
range, using a network of sensors and database controllers to facilitate the coexistence
of mobile and other wireless systems alongside incumbent naval radar systems and
civilian satellite earth stations. Pre-existing users are protected as top tier users. Tier 2
is made up of Priority Access Licences (PALs) awarded at auction, whose users can
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expect limited interruptions to service from the top tier user. Tier 3 is available for
General Authorised Access (GAA), where users can connect to a CBRS database to
secure access quickly, but without a licence and without formal protection levels. This
means that the QoS of GAA users is at risk of being reduced incrementally if other
users move in over time.
d) Automatic Frequency Coordination (AFC): This approach protects existing users by
requiring devices to register with a database before operating at higher powers.
In 2020, the US Federal Communications Commission (FCC) indicated that it would
make available parts of the 6 GHz band for low power, indoor use for Wi-Fi type
applications. It also indicated that a higher operating power could be enabled for
devices under the control of an Automated Frequency Coordination (AFC) system. This
system would perform regular checks against a database of assignments from existing
users (in this case point-to-point links) to ensure higher powers would not cause
interference. Should a link be detected, the quality of the Wi-Fi routers’ access would
reduce incrementally, as operations would have to remain at low power. AFC
databases have now been developed by a number of manufacturers, and capabilities
are being added to chipsets of many Wi-Fi routers to facilitate this interaction.
3.16 As can be seen, some of these examples place more weight on ‘device-led’ decision
making, and some rely more on databases. In some cases, this can be managed by a single
database system (e.g., TVWS in its current form), whereas others (e.g., CBRS) make use of
multiple competing databases. All approaches feature different levels of automation, as
illustrated above in Figure 3.1. However, all examples involve aspects of time-based
sharing that can be subject to variation and change, and consequently have potential
impacts on the certainty of user access, or the QoS levels a user can expect.
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3.19 For some existing users, these changes may be quite distinct and predictable. For example,
radioastronomy is a QoS-sensitive user that can require significant protection from
interference, but only around the frequencies that the radio telescope is monitoring at a
given time. Because different frequency bands will be monitored at different times (and
with different focuses sometimes lasting for weeks or months at a time), these protections
might not be needed all the time, potentially allowing new users to operate in the time
gaps.
3.20 Other existing users may have more complex changes in use, that are more difficult to
predict and manage. One such scenario might be military users, who require access to
significant amounts of spectrum but often only use it in certain locations at certain points
in time (as we discuss further from paragraph 3.39 below). In both such cases, it is likely
that clear agreements would be required on the access rights of new users, and what
would happen in the event of a clash between services, to ensure access levels of existing
users were protected.
3.21 At first glance, one might consider that the greatest opportunities for these kinds of
sporadic users to dynamically share with other users would be to share with those whose
spectrum needs are also sporadic or time-limited. Examples of this could include PMSE,
temporary connectivity to support pop-up e-health interventions, or spectrum access to
support localised emergency service activity. It could also include users who are ‘in motion’
(e.g., drones or trains) and whose spectrum requirements in any particular location would
be time-limited, even if their usage as a whole was more ongoing.
3.22 We recognise the potential for growth in such use cases that could benefit from
sporadically accessing gaps in spectrum use for limited periods of time. However, we also
recognise many of these types of use may themselves need some guarantee of quality of
service at the point of need, which may make dynamic sharing more challenging if there is
a chance of another user being present at the same time and location.
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11We note that while these opportunities have the potential to grow, it may be possible to accommodate some of them
within existing frameworks. For instance, much of this IoT-type traffic may continue to be carried over mobile networks
and (via Wi-Fi) the fixed network, and fitted around quieter network times.
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Source: Ofcom
3.31 We have identified three potentially important areas where we would like to see change
to help reduce long-run costs for users and make such new opportunities easier for all
parties to implement:
a) Equipment flexibility: The increasing prevalence of Software Defined Radios (SDRs) and
performance improvements in their selectivity, sensitivity and the bandwidth spanned
may begin to lower cost barriers for more dynamic solutions across a range of
spectrum bands. Adaptive antennas also promise potential improvements in systems’
abilities to filter out unwanted signals, and to operate in a busier sharing environment.
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complexities that are not useful. We set out a practical example of this opportunity in
more detail from paragraph 3.45 below.
3.32 Economies of scale are likely to be important and may be reliant on large vendors
recognising that such technologies can be beneficial both for their existing customers’
efficiencies and also for the potential these tools have to support additional customer
demand in the future. 14
14 We note that even from this point, there is likely to be a lag in adoption across a full ecosystem, and legacy users may
pose a barrier to fully exploiting such capabilities within a regulatory regime for the medium term.
15 For example, better data is fundamental to facilitating more dynamic sharing, but could also support new opportunities
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(which can take longer and lead to more unpredictable outcomes outside of a single
network, and may expose commercially sensitive data). We explore this opportunity and
associated challenges further in Annex A2.
17We note that the UK Ministry of Defence (MOD) has expressed interest in enabling further civil access to spectrum it
uses by means of dynamic and database-driven solutions.
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made up from different chunks within a band, or across multiple bands), which might
support a ‘flexible guarantee’ approach, as illustrated in Figure 3.4 below.
Figure 3.4: Illustration of database provisioned flexible guarantee, combined with additional
opportunistic spectrum supply
This diagram provides a simplified illustration of how a database might manage differences in
military spectrum use in different locations to safeguard a ‘guarantee’ of 20 MHz for a new civil user,
even as this alternates across different frequency blocks. Additional bandwidth is then provided
where it is available, while ensuring military access continues where it is needed.
Source: Ofcom
3.42 As sharing becomes more complex and granular, it becomes important that the existing
user has robust and regular processes for providing updated information to the database
on its usage patterns. 18 We consider that in this scenario, the most likely mechanisms for
this would still involve a degree of pre-planned assumptions, informed by desk-based
calculations, which could be updated at intervals (e.g., weekly or monthly). 19
3.43 Given that it is in the nature of military uses that they change over time, there may be
limits to how robust and enduring this ‘top up’ access and any associated ‘flexible
guarantee’ could be. Any regime would need to establish the clearest ground rules possible
on the terms of access and any potential for change over time, to provide certainty for
both existing and new users. One option we think could merit further exploration is for this
access to be associated with a confidence level, for example a commitment that the
minimum availability will be maintained for 90% of the time and 90% of locations.
3.44 Today, progress towards unlocking such opportunities largely rests on the willingness of
potential incomers to invest in operating in such an ecosystem on a fairly bespoke basis
18 For example, new systems could be developed that must operate in the shared frequencies. Similarly, existing military
systems could have to move to a specific area at short notice in an emergency, or operate more often and with more
bandwidth.
19 Other approaches, such as more device-led sensing, are possible, but may significantly increase operating costs.
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(alongside willingness from the existing user(s) to provide the necessary data). We are
keen to understand whether there is increasing interest from users in such a scenario, and
invite interested parties to highlight opportunities to us, including through our Spectrum
Sandbox work. We also anticipate that where more flexible equipment was available as
standard, this could support further interest over time. The military is currently present in
a number of bands which the global mobile vendor community is expressing an interest in
for 6G, and such approaches might be considered among the range of options to meet 6G
spectrum needs. This opportunity is likely to be most viable, and most readily realised,
where more flexible and adaptive radio equipment is more common in civil networks.
prove burdensome for users and administrators today, but in principle could provide
benefits for a number of future spectrum management decisions.
3.49 For example, a regime might begin by specifying that in urban locations, service 1 could be
offered access to c70% of the available time slots, and service B offered c30% of time slots,
with the level of access between the two services reversed in rural areas (based on
expected differences in user demands). Under this regime, the database would require
that connected devices provided feedback on spectrum use and traffic carried during an
initial operational period. Based on analysis of this evidence, the most appropriate local
balance of resources could be recalculated by the database. Such reviews and adaptations
could be a one-off exercise, or repeated on a regular basis. 21
Figure 3.5: Illustration of localised sharing facilitated by open interfaces between devices and
database
In this scenario, we start with the majority of time slots allocated to Service 1 in Urban Areas, and for
Service 2 in Rural Areas. Because data on usage is provided to the database scheduler, it can identify
a better balance of spectrum resource, and after a ‘demand assessment’ subsequently provides an
additional slot to Service 2 in urban areas, and to Service 1 in rural areas.
Source: Ofcom
3.50 It should be noted that such an ASA regime would not necessarily allow two services to
fully coexist together, rather that the available time-based resource is divided in a
transparent and flexible way. The benefit of this would depend on how far the two
21This schema is intended to be purely indicative of how such a system might work. Its deliverability will depend on
demonstrating the most appropriate technical solutions to support this flexible outcome, and for these to then be
deployable at scale, though research already exists on the underlying principles.
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competing systems could deliver envisaged services and benefits on such a contended
basis. We therefore anticipate that such an approach would ideally work best in the first
instance as part of a collaborative effort between the different services and industry
parties, and we stand ready to explore this in a Spectrum Sandbox environment with
willing collaborators.
3.51 A simpler stepping-stone towards this kind of approach might be the integration of
additional usage data into the new Automatic Frequency Coordination (AFC) mechanisms
being considered to enable better user outcomes in certain bands. 22 Under current
proposals, the existing user assignments which AFC-enabled Wi-Fi devices would query are
expected to be characterised as ‘always on’ and in continuous use. Yet it is quite plausible
that these users (typically fixed links) are not continuously operational, for example where
they are providing additional resilience rather than acting as a primary carrier. In such a
scenario, additional benefits could be enabled if the links were able to report planned
operational rhythms to the database, perhaps on a daily basis. 23
Dynamic and adaptive access will not be the solution for all
scenarios
3.52 Some stakeholders have suggested that including a provision for opportunistic dynamic
access as a generic condition in our licensing approach for existing users would maximise
opportunities for new users, and secure efficient use. However, we believe there are many
circumstances where this will not be the right thing, either for existing users, or new users.
This belief reflects the potential for dynamic access regimes to bring additional cost and
complexity for users, and the potential impacts on certainty of access which will not be
suitable for all use cases.
• For existing users: Users with demanding service requirements – especially where
these might include safety functions – may find dynamic sharing does not provide the
certainty they need, particularly where they do not have access to sufficient other
spectrum. While we recognise that hierarchies can be established to protect them, the
measures this involves (whether via sensing, databases, or both) are far from cost free,
and some residual risk may remain (for example, if a sharing device fails to shut down,
or appears without warning). In these cases, other sharing approaches may add a
greater benefit.
• For new sharers: Particularly where users are accessing spectrum for the first time and
on which their business may depend, it is often best to provide a good amount of
certainty on the level of spectrum access they can expect (and consequently the QoS
their business can support). In these cases, more opportunistic access may entail extra
costs and create significant challenges should that access be taken away.
22 N.B. that here we are not commenting on the specific policy decisions relating to the upper 6 GHz band, or its future
management, which we have provided an update on separately.
23 Note that in this scenario, it would not be the case that both uses could operate ‘at the same time’, but rather greater
3.53 We have considered whether the opportunities we have identified as potentially flowing
from more dynamic sharing might unlock new opportunities within our existing Shared
Access Framework. Our current view is that for many Shared Access licensees this might
not be appropriate, given this may be the only spectrum they are able to use to support
their business. This judgement reflects the importance users have told us they place on
certainty, and the nature of many of the services being supported in this band, such as
private networks, which are predicated on very high QoS levels.
3.54 However, such users with high QoS requirements can still share with other users, (e.g.,
where impacts of sharing on QoS remain within a manageable threshold), and we will
continue to explore other means of increasing sharing opportunities as we review our
Shared Access approach. As part of this, and as highlighted above, we are prioritising an
increasingly automated approach to our Shared Access licensing process from 2024, which
we believe should deliver immediate benefits for users in the form of faster application
turnarounds. Where this can be aligned with better data on spectrum usage and further
flexibility in the licensing platform, new opportunities may come into view. We set out our
further reasoning on this approach to Shared Access and more detail on our plans to begin
a review of our Shared Access framework here.
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existing capacity. 24 The value of this ‘top up’ is likely to be greatest where it can be
associated with some form of confidence level or ‘flexible guarantee’ in the extent of that
additional access.
4.6 Such models have the potential to play a role in enabling growth across a variety of
sectors, including growing demand from mobile broadband and emerging 6G
requirements. We will therefore consider how such models might be used to enable
hybrid solutions as we consider spectrum requirements for new and growing services in
the future.
4.7 Alongside this, we want to highlight changes within user equipment ecosystems that could
enable additional and speedier implementations, and in the end deliver more efficient use
of the spectrum. These opportunities include greater equipment flexibility, the
standardisation of key usage KPIs and potentially the development of a blueprint for more
band and service agnostic interfaces between user equipment and spectrum management
databases. Such a framework might allow for simpler, less bespoke spectrum management
solutions, yet still allow tailored, band-specific decision-making informed by their uses and
propagation characteristics. We encourage industry to consider how this framework
could be developed, including the potential approach to securing cooperation across
standards bodies, and where regulators could assist with this.
4.8 We recognise that there may be a range of challenges and costs to such a standardisation
approach, but consider that long-run benefits in the form of extra access for additional
users may bring benefits for people and businesses, equipment manufacturers and
regulators.
4.9 We are developing a collaborative programme of work with industry to establish
‘Spectrum Sandboxes’, which can provide a test ground to further explore the scope of
some of these potential opportunities and the benefits afforded for spectrum users. We
will consider available outputs from any such collaborations as part of our review of our
Shared Access licence, as well as their broader application to our Spectrum Management
Strategy in the years to come.
24As noted in Section 3, this model could also be applied within a single new spectrum allocation, where part of the band is
provided as a more guaranteed ‘anchor’ and the remainder is made available more dynamically.
25