Aurizon Network’s proposed Sample Clauses

Aurizon Network’s proposed post-regulatory rent objective does not provide certainty over rental cash flows following deregulation Aurizon Network does not support this position, as its proposed post-regulatory rent objective provides as much certainty as is possible to address an uncertain future environment. The reality is that certainty over rental cash flows following deregulation 2DD, section 4.5.1, item 4.1 in box, page 20 3DD, section 4.5.1, item 4.2 in box, page 20 4DD, section 4.5.3, page 21 5DD, section 4.5.3, page 22 6DD, section 4.5.3, page 22 cannot be documented now since the economic and commercial environment at the time when deregulation occurs will inevitably be different from today’s economic and commercial environment, or else deregulation would not have occurred. Aurizon Network considers that the inclusion in the SUFA documentation of a specified approach that would be applied in a post-regulatory environment to determine rental is the appropriate treatment of the risk of future deregulation. Neither the QCA nor any other stakeholder has proposed to Aurizon Network a post- regulatory rent objective that provides greater certainty.
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