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Petitions for Reconsideration Filed About FCC’s New Caps for Pending FM Translator Caps
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The FCC is accepting
comments on four petitions for reconsideration filed regarding the agency’s new
caps and application dismissal process for FM translator applications pending
from 2003.
The commission has
adopted a national cap of 50 applications per entity and a market-based cap of
one application per entity in the most “spectrum-limited markets.”
Educational Media
Foundation calls the caps “arbitrary,” and says the FCC should clarify some
points before any applicant must designate its Auction 83 applications for
dismissal. EMF has several hundred pending FM translator applications. EMF asks
the FCC to clarify what constitutes a radio market for the purposes of the
cap.
Conner Media has
several FM translator applications pending in the Greenville–New Bern–Jacksonville,
N.C. market and would be affected by an application dismissal. “Conner’s
purpose in filing multiple applications within the same market was a rational
means of providing meaningful service to the most heavily-populated portions of
the market that would derive the greatest benefit from such service. A single
translator could not possibly suffice to serve such a market,” writes Conner
attorney Peter Gutmann of Womble Carlyle.
Conner asks the
agency to reconsider its one-to-a-market cap, and, if used at all, to apply a
cap on a per community-of-license basis rather than on a per-market basis.
Kyle Magrill writes
when the commission previously discussed the caps, that was in the context of
making sure spectrum was available for LPFMs. The new caps “dramatically
expanded their use by applying them as an anti-trafficking measure.”
For nonspectrum
limited markets, Magrill proposes exceptions should be made for commercial
applicants with less than 50 applications nationally. Those markets that are no
longer spectrum-limited should be excused from the one-to-a-market cap.
We wrote about a
fourth petition for reconsideration, this one from Hope Christian Church of
Marlton, N.J., last week.
Oppositions to these
petitions must be filed within 15 days of Federal Register publication to
Docket 99-25.
Related:
FM Translator Operators Press FCC for Waivers
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