"...the following provisions shall apply for the achievement of the objectives set out in Article 14. The Council shall ... adopt the measures for the approximation of the provisions laid down by law, regulation or administrative action in Member States which have as their object the establishment and functioning of the internal market."
"... an area without internal frontiers in which the free movement of goods, persons, services and capital is ensured..."
"The high level of the prices payable by users of public mobile telephone networks, such as students, business travellers and tourists, when using their mobile telephones when travelling abroad within the Community is a matter of concern for national regulatory authorities, as well as for consumers and the Community institutions. The excessive retail charges are resulting from high wholesale charges levied by the foreign host network operator and also, in many cases, from high retail mark-ups charged by the customer's own network operator. Reductions in wholesale charges are often not passed on to the retail customer. Although some operators have recently introduced tariff schemes that offer customers more favourable conditions and lower prices, there is still evidence that the relationship between costs and prices is not such as would prevail in fully competitive markets." (3) The travaux preparatoires suggests that consumer protection was at the heart of the Commission proposal and the Roaming Regulation adopted. (4) The Roaming Regulation is inconsistent with the CRF. Preamble (4), which states the opposite, is a legal cloak which fails to conceal the true object. It reads: "
"The Commission, in its proposals envisaged in paragraph 1 concerning ... consumer protection, will take as a base a high level of protection, taking account in particular of any new development based on scientific facts. Within their respective powers, the European Parliament and the Council will also seek to achieve this objective." "
"97. As to review of proportionality, it should be recalled that the principle of proportionality, which is one of the general principles of Community law, requires that acts adopted by Community institutions do not exceed the limits of what is appropriate and necessary in order to attain the legitimate objectives pursued by the legislation in question; where there is a choice between several appropriate measures, recourse must be had to the least onerous, and the disadvantages caused must not be disproportionate to the aims pursued (Jippes, paragraph 81 and the case-law cited. 98. As regards judicial review of the implementation of that principle, bearing in mind the wide discretion enjoyed by the Community legislature where the common agricultural policy is concerned, the lawfulness of a measure adopted in that sphere can be affected only if the measure is manifestly inappropriate in terms of the objective which the competent institution is seeking to pursue (Jippes, paragraph 82 and the case-law cited). 99. What must be ascertained is therefore not whether the measure adopted by the legislature was the only one or the best one possible but whether it was manifestly inappropriate (see, to that effect, Jippes, paragraph 83)."
"The principles underlying the Framework lay down that retail regulation should be imposed only to the extent that wholesale remedies are ineffective. ERG believes that this principle should be respected in framing the proposed Regulation. Given well-designed wholesale regulation, market forces should be able to play a strong role in bringing down retail tariffs. Nevertheless, it recognises that this cannot be left to chance. This has informed the proposals set out in this paper."
"Consequently, while a safeguard level of retail price reduction might be implemented on a Europe-wide basis, in order to remove the risk of exorbitant prices for particular types of call, a measured and proportionate regulatory regime will need to respect national market differences."
"The extent to which further remedies at the retail level are considered necessary is dependent on the extent to which MNOs are prepared to respond positively to the measures advocated above, by voluntarily reducing (or committing to reduce) retail roaming prices alongside the wholesale reductions arising from the measures recommended above. For that reason, ERG believes that it would be preferable to delay implementation of any form of retail price control to allow the combination of the above measures and market forces to work. This should not need a long period."