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Television Broadcasting Services; Freeport, Illinois

Federal Register: FCC (Broadcasting)
4 years ago
The Commission has before it a petition for rulemaking filed by Gray Television Licensee, LLC (Petitioner), requesting the allotment of channel 9 at Freeport, Illinois. The current version of the DTV Table, which reflects the pre-incentive auction allotments, allocates DTV Channel 41 to Freeport, Illinois, but the licensee submitted a winning bid to go off air in the broadcast television incentive auction and subsequently suspended operations. Thus, Petitioner is requesting the allotment of channel 9 at Freeport as that community's first local service in the DTV Table of Allotments, which will be amended later to reflect all the incentive auction channel assignments.
Federal Communications Commission

Broadcast Applications

FCC Media Bureau News Items
4 years ago
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Consent Decree, Milligan University

FCC Media Bureau News Items
4 years ago
The Bureau enters into a Consent Decree with Milligan University

FCC Releases Agenda for April 28 Tech and Communications Diversity Opportunity Symposium

FCC Media Bureau News Items
4 years ago
FCC Diversity Advisory Committee Agenda Released for April 28 Tech and Communications Opportunity Diversity Symposium and Virtual Fair

Amendment of Section 73.622(i), Post-Transition Table of DTV Allotments, Television Broadcast Stations (Redding, California)

FCC Media Bureau News Items
4 years ago
Petitioner requests the substitution of channel 15 for channel 7 at Redding, California in the DTV Table of Allotments.

Consent Decree, Black Media Works, Inc.

FCC Media Bureau News Items
4 years ago
The Bureau enters into a Consent Decree with Black Media Works, Inc.

Media Bureau Announces NCE FM New Station Application Filing Window

FCC Media Bureau News Items
4 years ago
The Media Bureau announces the dates of the 2021 filing window for applications for new noncommercial educational FM stations.

Amendment of Section 73.622(i), Post-Transition Table of DTV Allotments, Television Broadcast Stations (Missoula, Montana)

FCC Media Bureau News Items
4 years ago
Petitioner requests the substitution of channel 20 for channel 13 at Missoula, Montana in the DTV Table of Allotments.

Amendment of Section 73.622(i), Post-Transition Table of DTV Allotments, Television Broadcast Stations (New Orleans, Louisiana)

FCC Media Bureau News Items
4 years ago
Petitioner requests the substitution of channel *28 for channel *11 at New Orleans, Louisiana, in the DTV Table of Allotments.

Pleadings

FCC Media Bureau News Items
4 years ago
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Gray Television Licensee, LLC and Gray Media Group, Inc., Complainants, v. Citizens Telecom Services Company, LLC d/b/a Frontier Communications, Defendant

FCC Media Bureau News Items
4 years ago
Denies Gray's complaint against Frontier, which alleged violations of the good faith negotiation and customer notice requirements.

FCC Adopts 10-Application Limit for NCE FM New Stations in Upcoming 2021 Filing Window

FCC Media Bureau News Items
4 years ago
The Commission adopts a Public Notice to impose a limit of ten applications filed by any party in the 2021 filing window for new noncommercial educational FM stations.

Actions

FCC Media Bureau News Items
4 years ago
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Applications

FCC Media Bureau News Items
4 years ago
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Broadcast Actions

FCC Media Bureau News Items
4 years ago
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Alabama Expands EAS Satellite Network

Radio World
4 years ago
One of the newly installed satellite downlinks for the Alabama Emergency Alert system.

The author is the director of engineering services for the Alabama Broadcasters Association and chairman of the Alabama SECC. He can be reached at lwilkins@al-ba.com.

The Alabama State Emergency Communications Committee (SECC) is expanding the state’s EAS satellite network from 31 to 48 downlinks. These are strategically located at stations around the state to provide the widest distribution of alerts. There is no cost to the stations in the network.

The system, designed by Global Security Systems (GSS Net) and funded by the Alabama Broadcasters Association, was installed in 2011 to improve redundancy and reduce the amount of “daisy-chain” relay points in the state. The cost of the expansion is being shared by the ABA and the Alabama Emergency Management Agency.

[Read: Stakeholders Comment on Amendments to EAS]

“When an impending hazard is an immediate threat to Alabamians, a reliable alert and warning system is a critical component of state preparedness and mitigation,” said Alabama Emergency Management Agency Director Brian Hastings. “Each opportunity we have to improve warning time and reliability is an opportunity to save lives and property.”

Satellite receivers located at the 48 stations communicate with EAS units via a multicast protocol. Stations are still required to monitor two separate legacy sources. Those with a downlink have four sources to receive tests and alerts: the two legacy monitor sources, GSS Net and IPAWS. The chance of all four being down at the same time is unlikely. Maintenance of the satellite network is managed by the SECC and funded by the ABA. All the stations with downlinks are listed as LP-1.

The network is fully CAP-enabled and includes a secure portal for alert origination by approved agencies. It also is interfaced with the IPAWS network and WEA, which increases redundancy. When a state agency issues an alert, it goes to all downlinks within five seconds. Other features of the origination protocol include sending a test or alert to the entire state or to select counties. This is important for local area alerts and counties around the state’s two nuclear power plants. Recorded audio files can be attached to the alert, eliminating text to speech conversion. The receivers also include audio ports which were utilized during the last National Periodic Test (NPT), relaying the audio from a Sirius/XM receiver feeding the satellite audio channel.

The functionality of the network is constantly evaluated by the SECC which monitors over 150 EAS units around state. While the SECC’s monitoring of receivers does not take the place of the FCC requirements concerning station logs and chief operators, the SECC chairman works with local engineers when an error is observed in their EAS equipment.

ABA President Sharon Tinsley addressed the association’s role in the EAS distribution network, “We view this as one of the most important services we provide stations. In this way, we help equip them to provide alerts to their communities while remaining in compliance with FCC rules. By maintaining and monitoring the distribution network, we can assure operators that alerts will get to their stations.”

 

The post Alabama Expands EAS Satellite Network appeared first on Radio World.

Larry Wilkins

Stakeholders Comment on Amendments to EAS

Radio World
4 years ago

Congress is pushing the FCC for better emergency alerting in the United States and a review of public comments on the latest proposed improvements shows most stakeholders are focused on the ability of the system to repeat national alerts from the president or FEMA if necessary.

Changes are coming to EAS after the Reliable Emergency Alert Distribution Improvement (READI) Act passed Congress earlier this year and mandated emergency alerting reforms in this country.

[Read: Changes Coming in National Alerting]

Several EAS equipment manufacturers support the commission’s efforts to simplify how national level emergency messages are repeated if necessary. The FCC has acknowledged requiring each EAS participant’s EAS equipment to repeat an alert automatically could present technical complications. Such an upgrade would require firmware or software updates to EAS decoders, EAS experts say.

Sage Alerting Systems agrees with the FCC’s approach in the proposal to repeating alerts: “Reminding originators that they can repeat or update any alert they issue by simply reissuing it, and not making changes to the existing EAS implementation. This greatly reduces the cost to all stakeholders that changes of this level to EAS would cause, and leaves control of repeating information in the hands of originators.”

The EAS equipment maker wrote in its comments that even if protocols are modified and new implementations are pushed into the field, any “automatic system of repetitions could make the overall system more fragile.” Sage continued: “If an errant repeating alert is issued, and the originator can’t issue a cancel, what is the method for removing such an alert, especially if issued via legacy EAS?”

Digital Alert Systems is another manufacturer that supports the manual message repeat approach suggested by the FCC: “Wherein an alert originator may choose to repeat an alert by interactively creating a new alert message is likely the simplest course of action to meet the objectives of the legislation. No modification to existing rules would be necessary.”

However, the EAS equipment manufacturer believes the FCC’s recommended approach would still “require substantial orientation and training among alert originators, and potentially commercial alert origination system providers, so that they may fully understand the features and limitations of each dissemination system.”

A screenshot of a cell phone shows actual emergency messages on Jan. 13, 2018 in Honolulu, Hawaii. The background is a composite. (Screen image: Eugene Tanner AFP via Getty Images)

The only comments submitted by the National Association of Broadcasters are specifically aimed at the proposed mandate from Congress to allow repetition of EAS alerts for national security events.

“NAB appreciates the simplicity of [the FCC’s] approach. We recognize that the FCC could have proposed any number of more complex, prescriptive methods for implementing. However, the FCC has wisely struck upon an efficient proposal that fits within the existing regulatory scheme, leverages the current architecture of EAS, and is not expected to require costly upgrades to broadcasters’ existing EAS equipment and system,” the NAB wrote.

Another key facet of the NPRM is holding states more accountable for managing alerting infrastructure and how State Emergency Communications Committees (SECC) are structured. And whether those requirements should be adopted as part of the commission Part 11, EAS Rules. There are no current rules covering SECCs.

The Washington State SECC wrote on that topic: “It is true that the structure of SECCs is not uniform nationwide. It would be most helpful if this issue could be corrected. It also would be helpful if the commission’s rules clarified its scope of authority regarding enforcement of critical aspects of the state EAS Plans.”

In addition to more state oversight on emergency alerting, SECC committees would be required to meet at least once a year and submit an updated EAS plan annually, which would be accepted or rejected by the FCC. State plans, currently posted on the FCC website, would not be available to the public except for names and contact information for SECC chairs.

The FCC also invited comment on whether it should replace the WEA [Wireless Emergency Alert] system’s “Presidential Alert” with a “National Alert,” which is an alert mobile users cannot turn off.

REC Networks, a low-power FM advocate, pointed to the political divide in the United States as a good reason for the alert name change. “REC does support the name change of Presidential Alerts to National Alerts, as such a change would better represent the purpose of the alert as opposed to the originator of the alert,” the group wrote.

REC Networks continue: “Because we are now in a blue vs. red and us vs. them culture, the use of the term presidential can be seen as continuing to divide this nation, where the term national would remove any perceived political party influence out of the objective of such alerts, which is to inform and unite the nation. In this case, perception is important.”

Another proposed change would require jurisdictions to report false EAS or WEA alerts to the FCC Operations Center when they occur in order to help prevent future false alerts. One commenter expressed concern about potential backlash for doing so: “The FCC considers requiring FEMA administrators or state, tribal, local, or territorial entities report a false EAS activation or WEA alert when they become aware of such a message, whether or not they originated the message. However, there is no definition of what constitutes a false EAS activation or WEA alert,” wrote Adrienne Abbott, Nevada SECC chair.

Abbott cited several recent examples of false EAS activations in her state and concluded: “The FCC must also consider the impact of requiring an EAS participant to report a false activation to their regulatory agency and possibly running the risk of being fined for an action over which they have no control.”

 

The post Stakeholders Comment on Amendments to EAS appeared first on Radio World.

Randy J. Stine

Another Down Session For Audacy Stock

Radio+Television Business Report
4 years ago

Despite a late-session rally, Audacy shares declined for the second-straight session, putting new scrutiny on a glowing seal of approval on the company formerly known as Entercom from a key Wall Street investor blog.

BIG NEWS COMES FIRST WHEN YOU FOLLOW RBR+TVBR ON TWITTER!

On average volume, AUD finished Wednesday (4/21) at $4.63, down 5.1% from Monday, a day when shares also saw a significant dip in value.

The decline puts AUD at a place it’s not seen yet — technically.

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Adam Jacobson

Gray ‘Good Faith’ Complaint Denied By FCC

Radio+Television Business Report
4 years ago

LAKEWOOD RANCH, FLA. — In a blow to one of the nation’s biggest broadcast television companies, the FCC‘s Media Bureau on Wednesday (4/21) in a memorandum opinion and order denied a “Good Faith” complaint against Frontier Communications in response to the discontinued distribution of the ABC affiliate focused on Sarasota and Manatee Counties of Florida.

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Adam Jacobson

Five Things To Know About Millennial Shoppers

Radio+Television Business Report
4 years ago

Radio and TV C-Suiters are obsessed with millennials. They’ve been credited with upending entire industries, says an eMarketer analyst, and retail is hardly an exception.

He’s penned a piece on what retailers need to know about attracting and retaining consumers from this consumer group.

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