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Taxi! Reinvigorating
Competition in the Taxi Market
by Jason Soon
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Anecdotal evidence
suggests that there is room for improvement in the state of
taxi services in NSW. This is backed up by a survey conducted
in March 1998 by the NSW Transport Department. While the survey
found mostly positive comments relating to driver appearance,
car cleanliness and driver politeness, performance lagged
with respect to waiting times, the driverÕs knowledge of locations
and English proficiency.
As of March
1999, there were 5683 taxi operators licensed in NSW; 4473
of these operate in the Sydney Metropolitan area. By issuing
new licenses recently, the State Government acknowledged that
there was an undersupply of taxi services. From August 1998,
100 additional Ôpeak availabilityÕ taxi licenses, with restricted
operating conditions were issued to address the shortage of
taxis in peak hours. An extra 400 wheelchair-accessible licenses
were also released at a rate of 20 per month. The new licenses
were issued at $36,000, well below the then market rate of
$270,000 (The Daily Telegraph, 6 November 1998, p.
17). Arguably, more fundamental reforms are needed to prepare
for the Olympics and service the growing population of NSW.
Taxi Regulation
in NSW
Though
the details of taxi regulations vary from one jurisdiction
to another, they all take the same form. They involve regulation
of entry, that is, the number of taxis; quality controls;
and control of fares and/or fare setting procedures.
In NSW, taxi
operators must pass background checks to ensure they are of
good character and are fit and proper persons before they
are licensed. They must meet government standards on financial
viability, safety of passengers and the public, and vehicle
maintenance. Operators must also ensure that taxis under their
control are affiliated with an authorised Taxi Service Radio
Communication Network, and are available for hire at all times
as required by the Network.
Background
checks also apply to taxi drivers. They must pass a medical
fitness test and checks on their driving record. Legislative
provisions regulate appropriate behaviour towards passengers,
presentation of the taxicab and Network Service Requirements.
A new taxi driver curriculum drawing on standards from the
hospitality industry and requiring comprehensive knowledge
of the road network recently received state accreditation
in NSW.
All States
and Territories regulate taxi fares. In NSW, the Director
General of the Transport Department has the discretion to
determine fares and charges for the taxi and hire car industries.
The taxi industry makes a submission to the Department annually
for a fare increase. The Department then analyses the proposal
and reaches a decision based on industry and customer needs.
Approved increases are broadly in line with changes in inflation.
Some quality
control regulations are arguably justified to facilitate a
properly functioning transit market and protect consumer interests.
These include checks on the backgrounds of drivers, health
checks on drivers and safety checks on taxi vehicles.
Some regulations
are claimed to prevent abuse of the market power conferred
on taxi industry incumbents by the above regulations. This
is true of the requirement for taxis to belong to an authorised
Radio Communication Network, the regulation of maximum taxi
fares and the prescription of rigorous safety and driver knowledge
standards. With more open entry, some of these regulations
would be unnecessary. Taxi companies of different sorts would
enter the market and serve market niches with varied requirements,
advertising their expertise accordingly.
Fare regulation
is a particularly complicated issue. As long as restrictions
on the number of taxis remain, the setting of maximum fares
is needed to prevent abuse of market power. At the same time,
fare regulation is subject to the same problems as price fixing
in any other industry. It frustrates the ability of prices
to properly reflect information about costs, demand and supply,
which may be particular to each segment of the market. For
example, rural taxi operators have argued that the standard
fare for the average three kilometre trip endorsed by the
NSW Taxi Council fails to reflect their costs (Business
Sydney, 14 August 1998, p.16).
Regulation
and its Effects on the Taxi Market in Australia
Table 1 shows
the number of taxis per 10,000 people in each State and Territory
in 1991 and 1995.
Table
1: Number of Taxis per 10,000 People
Table
2. Cost of Taxi Licenses in Each State
Table
3. 1993-94 Taxi fare expenditure as percentage of average
weekly household incomes
The low ratio
of taxis to the population in all Australian States and Territories
is evident from Table 1. Figures for 1999 supplied by the
Victorian Taxi Directorate and the NSW Transport Department
reveal that there are 9.62 taxis per 10,000 people in NSW
and 8.36 in Victoria. These compare poorly with New Zealand,
where, for example, in Wellington, there are 24.3 taxis per
10,000 people.
This undersupply
has manifested itself in many ways. South Australia has had
a recurring problem of keeping up with demands during the
Christmas holiday period. In Victoria, the Victorian Taxi
Association claimed that the number of new taxi drivers per
month had decreased to 200 and that this fell short of demand
(Herald Sun, 29 July 1997, p.2).
The general
upward trend in taxi license plate values in most jurisdictions
shown by Table 2, after adjusting for inflation, suggests
that taxi operators have been successful in increasing barriers
to entry. Increased barriers to entry mean each entrant into
the market needs to charge a higher fare in order to recoup
her investment and it also means the supply of taxis is likely
to fall short of demand. Thus, high license values are prima
facie evidence that fares are higher than would prevail in
a freer market. A 1997 report by Access Economics found that
a Sydney taxi license plate was the third best investment
to make, after thoroughbred horses and wine (The Australian,
17 September 1997, p.3).
The effect
of taxi regulations in inflating fares would fall disproportionately
heavily, as do most other regulations, on the poorest in the
community (see Table 3). This is because many low-income people
cannot afford cars and may have to use taxis as a substitute,
particularly during emergency situations.
Taxi regulations
also have less tangible but equally important effects in stifling
incentives for innovation to serve particular markets. For
example in 1996, the Victorian Taxi Directorate rejected an
application for a taxi license by women who wanted to establish
a women-only driver service, despite submissions by womenÕs
groups that such a service would help to alleviate safety
fears of female passengers (The Age, 10 September 1996,
p.5).
How to Deregulate:
Regulation versus Certification
Concerns addressed
by quality controls can be tackled by government certification.
That is, rather than requiring taxis to abide by certain standards,
taxis operators who demonstrate compliance with desirable
standards (such as those currently enforced by regulations)
would earn the right to place a distinctive mark of government
certification on their vehicles. Such a policy would alleviate
information deficiencies alleged to be the cause of market
failures.
A government-certified
taxi system could coexist with a totally unregulated market
for as many forms of passenger servicing vehicles as there
are entrepreneurial possibilities. Consumers could decide
whether to go for the safer option of taxis with certification
or take their chances with unregulated taxis. The resulting
choices would reflect consumer preferences for different combinations
of price and quality.
The assumption
that the resulting unregulated part of the market is likely
to be a Ôfly-by-nightÕ and hence Ôno goÕ area is open to question.
In the absence of regulation, the market could, over time,
evolve information devices that reduce the cost to consumers
of monitoring quality and price if the adequate profit opportunities
are there to be seized. These could take the form of private
certification and brand identification through advertising.
By contrast,
the costs of restricting taxi numbers are clear. Like any
other supply restriction, controls reduce the availability
of taxis and lead to higher fares being charged than would
be sustainable in a freer market.
The capacity
to charge above-market fares is then reflected by increments
in the market value of taxi licenses. The perversity of this
situation is that these windfall capital gains only go to
the original owner of the license plate. New owners, if they
buy a license at the current market price, receive only a
competitive rate of return from investments in taxi plates
since they have to meet a high interest rate (actual or notional)
to pay the inflated price for the plates. Furthermore, new
owners now have a vested interest in raising barriers to entry
to ensure a high rate of return from the investment. Owners
also have a vested interest in keeping entry barriers high
even where their plates were allocated below market rates
because protection against new entrants will further increase
their returns.
Competition
in the Taxi Market
It has been
argued that the taxi market differs significantly from other
markets because it does not permit operators to sell to consumers
at fixed locations. Thus, price comparisons are difficult
(Schreiber 1975). It is argued that consumers tend to get
the first vacant cab that passes.
On the sellerÕs
side, it is argued that any operators who cut their price
may end up with lower revenues because of the low probability
of a repeat purchase by people who predominantly hail for
cabs.
It is also
argued that the incentives for customers to search actively
for a lower fare will decrease as the fare rises. Thus fare
increases will tend to be self-perpetuating. This will draw
more taxis into the market and cause greater road congestion.
Thus a deregulated taxi market might lead to too many taxis
and fares which are too high.
These arguments
make many questionable assumptions. = Firstly, assuming that
competition usually works as described above, the conclusion
that fares are likely to be too high says nothing about whether
fares are in fact higher than in cases where the number of
taxis are limited.
The conclusion
that maximum fares should be set should also be resisted because
this tends to hinder the entrepreneurial process by discouraging
experimentation with different fare structures. In the absence
of price regulations, some taxi owners might opt to service
a luxury market by offering higher quality in return for price.
Secondly, how
many taxis is Ôtoo manyÕ taxis? The benefits of having Ôtoo
manyÕ taxisÕ, such as greater availability and hence lower
waiting time and greater convenience in bad weather has not
been considered. If too many taxis lead to greater congestion,
so do too many cars. Furthermore, the use of cars in congested
areas may be discouraged if more taxis were available. Thus,
the total number of vehicles used may decrease if there were
more taxis.
Thirdly and
most importantly, these arguments ignore many of the institutional
devices which may be used to convey price information and
feedback more efficiently between potential customers and
sellers (Williams 1980a).
While many
taxis are flagged down on the street, taxis also ply for business
at taxi ranks and by phone orders. Taxi industry structures
are likely to differ between States and it is difficult to
predict how they would turn out in a deregulated market.
Taxi Ranks
Taxi ranks
are usually located where there is high and consistent demand
for taxis such as near airports and hotels. The consumer can
choose whether to wait to hail down a taxi or walk to a taxi
rank where he will find a taxi faster (Williams 1980a). This
is likely to make price comparisons easier.
Three objections
could be raised against the argument that taxi ranks enhance
price competition.
The first is
the prevalence of the convention of taking the first cab off
the rank. But there is nothing inevitable about such a convention.
Williams (1980a) reports that the first taxi ranks in Melbourne
were known to have been places of eager bidding. Such bidding
routinely takes place in Asian cities.
The second
objection is that such conventions are desirable in order
to avoid the escalation of bidding wars into physical fights
over customers. If this concern is a valid one, there may
be a case for enforcing this convention in the case of open
ranks designated by the government.
However, a
taxi company or a group of taxi companies could agree to set
up ranks exclusive to their members. The space for such ranks
could be set aside and sold by governments and made transferable.
The members of the exclusive ranks could come to their own
agreements as to what rules would maximise the return from
their investments in these ranks.
There could
then be competition between neighbouring ranks owned by different
taxi companies. Participating companies could advertise their
prices at these ranks. The effects of competition could then
trickle down to the Ôflagged downÕ market.
Phone Booking
Price competition
can also be facilitated through the phone booking market.
This is because the phone booking taxi operator has a fixed
selling location and is likely to have a clientele consisting
of repeat purchasers who care about price. Sometimes a taxi
operator may operate in both the phone booking market and
the Ôflagged downÕ market. In this case price competition
in the former is likely to spill over into the latter so that
even occasional users of taxis will benefit.
The significance
of competitive pressures introduced by phone booking is powerfully
confirmed by complaints made by the taxi industry as a whole
against the hire car industry.
Even if customers
in the Ôflagged downÕ market care little about price, they
are still likely to benefit from the greater availability
of cabs and reduced waiting times that would come from deregulation.
Theory and
Reality: Consequences of Deregulation in Other Countries
Critics of
deregulation usually cite the counterintuitive results of
taxi deregulation researched by Teal and Berglund (1987) as
evidence that theory fails to match reality. Teal and Berglund
studied the impact of taxi deregulation in six American cities.
They found that the size of the taxi market increased by at
least 18 per cent in all the cities but taxi fares rose in
real terms.
However, the
reasons suggested by Teal and Berglund for the failure of
deregulation to bring greater benefits are either inapplicable
to Australia or have been superceded by technological developments
(Gaunt and Black 1994).
For instance,
they argued that high entry costs into the phone order market
may have hindered price competition. Entry costs into the
phone order market are less relevant today because of advances
in mobile communications. The benefits of deregulation should
thus be stronger today than when Teal and Berglund conducted
their research. For instance, mobile phones have made taxi
drivers less reliant on radio networks and many owners now
work in small, informal networks. Findlay and Round (1994)
estimate that between 10 and 20 per cent of major metropolitan
areas taxis now have either fixed or handheld phones.
Teal and Berglund
also argued that driversÕ wages in the cities studied were
already among the lowest in the labour force, so that even
with deregulation there would have been little scope for cost
reduction. However this may not be the case in Australia.
In 1993, the then Industry Commission found that licensing
added about 25 per cent to fares. Gaunt and Black (1996) calculated
that regulation of the Brisbane taxi industry added an average
of $1.47 per taxi ride.
The Effects
of Taxi Deregulation in New Zealand
New Zealand
deregulated its taxi industry with the passing of the Transport
Services Licensing Act 1989, effective from 1 November 1989.
The legislation
removed quantitative controls on entry and fares. Taxis and
limousines were defined as Small Passenger Vehicles and the
owners of such vehicles were required to have a passenger
service license. The holders of these licenses could operate
any number of vehicles they wanted.
Fares were
to be set by individual taxi organisations with the maximum
fare registered with the Transport Department, calibrated
on the taximeter, and displayed both inside and outside the
taxi.
All those
holding a license on 1 November 1989 were automatically issued
with a passenger service license. Issue of licenses for new
applicants was conditional on passing a Ôfit and proper personÕ
test and obtaining a Certificate of Knowledge after successful
completion of a test of knowledge and understanding of laws
and safety requirements. License holders were still required
to belong to an approved taxi organisation, one which provides
a 24 hour, seven days a week service with a radio booking
and communications system.
Drivers also
have to be licensed and are subject to checks on their criminal
and driving record, passing a map reading test, first aid
certificate test and an annual medical exam.
A recent study
found that of the 28 taxi companies operating in the largest
taxi market in New Zealand (Auckland) on May 1994, only nine
existed before October 1989 (Morrison 1997). The number of
taxi vehicles in the Wellington regional market increased
from 454 in October 1989 to 932 in November 1994.
The growth
in the number of taxi licenses has outpaced population growth
in Wellington, leading to the numbers of cabs per 10,000 increasing
from 14.9 to 24.3.
The Wellington
market also showed evidence of service innovation. Many new
specialised taxi type services sprung up, including taxi vans
and executive cabs. There is also a new taxi charge credit
system and more advertising on cabs. Some taxi companies have
also begun tendering for public bus routes.
Anecdotal
evidence suggests that the taxi market has been able to sustain
growth that outpaces population growth because the greater
availability of taxis and improved ease of payment has expanded
the use of taxis. Customers have benefited from the expanded
market through reduced waiting times and the increased range
of services available.
The New Zealand
Transport Department found that taxi fares for the majority
of companies decreased by as much as 10 per cent from 1989
to 1995. In the major metropolitan areas of Auckland, Wellington,
Christchurch and Dunedin, 71 per cent of taxi companies reduced
their flagfall and 77 per cent reduced other fares.
The behavioural
changes following deregulation were also significant. It was
found that after deregulation, most empty taxis waited at
taxi stands (Morrison 1997). Taxi stands are more likely to
facilitate comparison of prices and information gathering,
at least for future use. There was also evidence of voluntary
industry standard-setting and differentiation. The New Zealand
Taxi Federation, representing about 50 per cent of the taxi
industry, set higher standards for its members (New Zealand
Ministry of Transport 1999).
Morrison also
highlights an often-neglected benefit of taxi deregulation
ø it opened up new employment opportunities for those without
formal qualifications.
The New Zealand
experience suggests that there is little cause for alarm on
safety grounds. Between 1991 and 1993, 11 drivers were disqualified
for sexual and/or violent offences, but nine of these were
in the industry prior to deregulation (New Zealand Ministry
of Transport 1999).
Compensating
for Deregulation?
The issue
of compensation invariably follows the call to deregulate
taxi licensing. It is clear that the scarcity value of licenses
held by incumbents will fall with the removal of quantity
restrictions on taxi licensing.
The compensation
issue is both a moral and practical one.
Morally it
is argued that in the interests of equity and fairness, license
holders should be compensated for the loss of their scarcity
rents because government policy has disproportionately disadvantaged
them as a group. Alternatively it is argued that the licenseholders
obtained their taxi license plates in the legitimate expectation
that current arrangements would continue, otherwise they would
have invested elsewhere and possibly made better returns.
The moral case
for compensation is fraught with difficulties. It could be
argued that the high return licenseholders get for taxi licenses
already compensate for high risk, the major risk being that
of deregulation. Consequently there is then no justification
for compensation. The practical case for compensation is a
bit harder to avoid. Reform is less likely to be disruptive
if affected interests can be Ôbought offÕ. Though New Zealand
succeeded in deregulating its taxi industry without any compensation,
it did so in an extraordinary period when many other reforms
took place.
However, full
compensation may not be a desirable option given that taxi
license values reflect the present value of future excess
profits. This means that full compensation would entail the
benefits of deregulation being offset by payments presumably
funded by taxpayers, not all of whom would be taxi users.
This means that some taxpayers would be worse off than before.
An Alternative
to Full Deregulation
If the route
to full deregulation is too difficult for governments to take,
the next best option is to introduce a competitor to the taxi
system in the form of a Ômini-cabÕ system such as operates
in the United Kingdom. ÔMini-cabsÕ and their drivers are certified
to ensure safety. They may be any size. They cannot ply for
trade on the street, being restricted to the phone-order business.
In NSW, the lead-up to the Sydney Olympics indicates that
there is an urgent need for improved transport options such
as may be provided by this proposal.
The conditions
for certifying a Ômini-cabÕ could be significantly less strict
than those for current taxis. They could be restricted to
minimum necessary safety and quality control regulations such
as driver checks, and checks on the condition of the motor
vehicles, and fare-setting procedures such as a requirement
that the fare be posted outside the mini-cab. Currently operating
taxis would have the sole right to pick up fares off the street.
ÔMini-cabsÕ would only be allowed to compete in the phone
order market.
The parallel
system of Ôblack cabsÕ and a Ômini-cabÕ system has worked
well in the United Kingdom. There are no licensing restrictions
on LondonÕs black cabs. Drivers are required to pass rigorous
knowledge tests which form substantial entry barriers. The
Ômini-cabÕ system has played a significant role as a competitor
despite the restriction that they cannot pick up fares off
the street.
ÔMini-cabsÕ
could be added gradually to avoid substantial compensation
costs, but an especially large allocation of licenses could
be made to service upcoming demands of the Sydney Olympics.
They could be required to have clearly distinguishable marks
to delineate their status as certified Ômini-cabsÕ. The governmentÕs
main role after certification of Ômini-cabÕ company operators
and drivers would be to remind consumers of the distinctiveness
of this service.
Pursuing such
a strategy of deregulation would reduce the calls for compensation
of current taxi licenseholders. Taxi operators would be likely
to complain that the scarcity rents of their licenses would
be diminished by increased competition, but the rent decline
would be gradual.
Conclusion
Without drastic
improvements, taxi services will not be able to service the
Olympic Games. The best policy would be to allow the market
to determine the number of taxis in operation, subject only
to government certification of driving ability, knowledge
of services required and character references for drivers
and safety checks for cars. Registration and fare structure
would have to be clearly displayed on the outside of a taxi.
This would lead to an expansion of the types of taxis on offer.
The principal
cost of complete deregulation would be loss of the value of
existing license plates which would no doubt prompt calls
for compensation by the taxi industry lobby.
Partial deregulation
may be the most expedient option if improvements are to be
made before the Olympics. This could be facilitated by a parallel
system of Ômini-cabsÕ which compete alongside the taxi market.
These Ômini cabsÕ would operate through phone bookings, as
is done in the United Kingdom.
References
Australian
Bureau of Statistics, Consumer Price Index Australia, 6401.0.
Australian
Bureau of Statistics 1996, Detailed Expenditure Items, 1993-94
Household Expenditure Survey Australia, 6535.0.= Australian
Bureau of Statistics 1997, Motor Vehicles in Australia, 9311.0.
Australian
Taxi Industry Association 1999, Fax Communication.
Findlay, C.C.
and D.K. Round 1995, ÔOpen Streets or Taken for a Ride? Reforming
AustraliaÕs Taxi MarketsÕ, Agenda 2(1): 63-72.
Gaunt, C.
1996, ÔTaxicab Deregulation in New ZealandÕ, Journal of Transport
Economics and Policy: 103-106.
Gaunt, C.
and T. Black 1994, ÔThe Unanticipated Effects of the Industry
CommissionÕs Recommendations on the Regulation of the Taxi
IndustryÕ, Economic Analysis and Policy 24(2): 151-170.
Gaunt, C.
and T. Black 1996, ÔThe Economic Cost of Taxicab Regulation:
The Case of Brisbane,Õ Economic Analysis and Policy 26(1):
151-170.
Industry Commission
1994, Urban Transport, AGPS, Melbourne.
Morrison,
P.S. 1997, ÔRestructuring effects of deregulation: the case
of the New Zealand taxi industryÕ, Environment and Planning
29: 913-928.
NSW Department
of Transport 1997, Taxi Operator Accreditation Interim Application
Package, August 1997.
NSW Department
of Transport 1998, Sydney Taxi Customer Survey, March 1998.
NSW Department
of Transport 1999, Communication.
New Zealand
Ministry of Transport 1999, various papers on taxi industry
issues, email communication.
Schreiber,
C. 1975, ÔThe Economic Reasons for Price and Entry Regulations
of TaxicabsÕ, Journal of Transport Economics and Policy 9(3):
268-279.
Swan, P.L.
1979, ÔOn Buying a Job: The Regulation of Taxi Cabs in Canberra,Õ
Policy Monographs 1, Centre for Independent Studies, Sydney.
Teal, R. and
M. Berglund 1987, ÔImpacts of Taxi Cab Deregulation in the
USAÕ, Journal of Transport Economics and Policy 21: 37-56.
Victorian
Taxi Directorate 1999, Communication.
Williams,
D.J. 1980a, ÔInformation and Price Determination in Taxi MarketsÕ,
Quarterly Review of Economics and Business 20(4): 36-43.
Williams D.J.
1980b, ÔThe Economic Reasons for Price and Entry Regulation
of Taxicabs: A CommentÕ, Journal of Transport Economics and
Policy 14(1): 105-112.
About the
Author
Jason Soon is Assistant Editor of Policy. This article
is an extract from an Issue Analysis of the same title recently
published by The Centre for Independent Studies
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