FCC Web Documents citing 11.52
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-24A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-24A1.pdf
- so that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. Section 11.61(a)(1) and (2) of the
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/FCC-07-109A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/FCC-07-109A1.pdf
- technology may be used to distribute state emergency messages. 47 C.F.R. 11.20. 47 C.F.R. 11.18(d). Upon activation of the national level EAS, NN sources are required to broadcast the EAS codes, Attention Signal, and the sign-off announcement in the EAS Operating Handbook, and then stop operating. All NN sources are required to comply with 47 C.F.R 11.51, 11.52 and 11.61. 47 C.F.R. 11.31. Under this protocol, an EAS alert uses a four-part message: (1) preamble and EAS header codes (these codes contain information regarding the identity of the sender, the type of emergency, its location and valid time period of the alert); (2) audio attention signal; (3) message; and (4) preamble and EAS end of message codes.
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/FCC-11-82A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/FCC-11-82A1.pdf
- cost and benefits associated with ensuring that CAP-formatted EAS messages are converted into SAME-compliant messages? How could any requirements we might consider be tailored to impose the least amount of burden on those affected? To the extent feasible, what explicit performance objectives should we specify to facilitate monitoring the success of any potential course of action? CAP-Related Monitoring Requirements Section 11.52 sets forth the basic monitoring requirements that EAS Participants must follow to facilitate receipt of EAS alert messages. This section requires EAS Participants to monitor two EAS sources, which are assigned in the State Area EAS Plan. While the Second Report and Order codified in section 11.56 the general obligation of EAS Participants to receive CAP-formatted EAS alerts, it did
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-00-2408A1_Erratum.doc
- Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook T & W Communications Corp., Columbus, MS. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 73.49 (AM Transmission System Fencing Requirements), 73.1820(Station Log), and 73.3526(Local Public Inspection File for Commercial Stations). New Orleans, LA District Office (9/5/00). Priority Communications, L.L.C., WYAM, Hoover, AL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 17.4(g) (Antenna Structure Registration Number Posting), 73.51 (Determining Operating Power), 73.58 (Indicating Instruments), 73.1230 (Posting of Station License), 73.1590 (Equipment Performance Measurements) 73.1820(Station Log), and 73.3526 (Local Public Inspection File of Commercial Stations). Atlanta, GA District Office (9/7/00). Tele Media Co. of Vermont, L.L.C., WKVT, Brattleboro, VT. Other violation: 47 C.F.R. 11.35
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- and 90.215 (Transmitter Measurements). Detroit, MI District Office (10/26/00). 47 C.F.R. 1.955 - Termination of Authorization Lyon Sand and Gravel Company, Wixom, MI. Detroit, MI District Office (10/26/00). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.11 - The Emergency Alert System (EAS) Dilip Viswanath (K44FO, Dallas, TX), East Elmhurst, NY. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 74.765 (Posting of Station and Operator Licenses), and 74.783 (Station Identification). Dallas, TX District Office (10/30/00). 47 C.F.R. 11.15 - EAS Operating Handbook Sheyenne Valley Broadcasting Inc. Lisbon ND. Other violations: 47 C. F. R. 11.35 (Equipment Operations Readiness), 11.61 (Tests of EAS Procedures), 17.4(g) (Antenna
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- Commercial Stations). Detroit, MI District Office (11/20/00). 47 C.F.R. Part 1 - Practice and Procedure 47 C.F.R. 1.903 - Authorization Required Whitemarsh Community Ambulance, Lafayette Hill, PA. Philadelphia, PA District Office (11/20/00). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook Discussion Radio, Inc., WDIS, Norfolk, MA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4 (Antenna Structure Registration), 17.50 (Cleaning and Repainting), 73.49 (AM Transmission System Fencing Requirements), 73.58 (Indicating Instruments), 73.1230 (Posting of Station Licenses)), 73.1590 (Equipment Performance Measurements), 73.1870 (Chief Operators) and 73.3526 (Local Public Inspection File for Commercial Stations). Boston, MA District Office (11/16/00). Fifth Avenue Broadcasting Co., Inc.,
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- WGUL-FM, Inc. an Official Notice of Violation ("NOV") citing the above noted violations of the Rules. On April 14, 1998, the Tampa Office received a written response to the NOV. On June 1, 1998, the District Director of the Tampa Office issued an NAL to WGUL-FM, Inc. in the amount of $10,000 for the willful and continuous violation of Sections 11.52(d), 11.61(a), 73.1590(a)(6), and 73.3526(c) of the Rules. 4. WGUL-FM, Inc. filed a Request for Remission or Reduction of Forfeiture. The Compliance and Information Bureau issued a Forfeiture Order for three of the violations and ruled that the forfeiture attributable to the Section 73.1590(a)(6) violation for equipment performance measurements should be eliminated. Therefore, the Forfeiture Order reduced the forfeiture amount to
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- CA. Other violations: 47 C.F.R. 90.203 (Certification Required) and 90.437 (Posting Station Licenses). Los Angeles, CA District Office (3/20/01). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook The Board of Education, West Bloomfield School District, Orchard Lake, MI, WBLD-FM (West Bloomfield, MI). Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 11.62 (Closed Circuit Tests of National Legal EAS Facilities), 73.1350 (Transmission System Operation), 73.1400 Transmission System Monitoring and Control), 73.1560 (Operating Power and Mode Tolerances), 73.1660 (Acceptability of Broadcast Transmitters), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator), and 73.3527 (Local Public Inspection File for
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- Measurements), 73. 1230 (Posting of Station License), 73.1350 (Transmission System Operation), 73.1545 (Carrier Frequency Departure Tolerances), 73.1560 (Operating Power and Mode Tolerances), 73.1590 (Equipment Performance Measurements), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations). San Diego, CA District Office (12/19/00). AT&T Broadband and Internet Services, Burien WA. Other violations: 47 C.F.R. 11.35 (Equipment Operations Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements)), 17.4(g) (Posting of Antenna Structure Registration Number), 76.305 (Records to be Maintained Locally by Cable System Operators for Public Inspection) and 76.605 (Technical Standards). Seattle, WA District Office (12/26/00). 47 C.F.R. 11.35 - Equipment Operations Readiness AT&T Broadband, Chico, CA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-1314A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-1314A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-1314A1.txt
- Lights and Associated Control Equipment), 17.57 (Report of Radio Transmitting Antenna Construction, Alteration and/or Removal), 73.49 (AM Transmission System Fencing Requirements), 73.1350 (Transmission System Operation), 73.1590 (Equipment Performance Measurements), 73.1820 (Station Log), 73.1870 (Chief Operator), and 73.2526 (Local Public Inspection File for Commercial Stations). Philadelphia, PA District Office (4/23/01). Four Him Enterprises, L.L.C., Potosi, MO. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 11.61 (Tests of EAS Procedures). Kansas City, MO District Office (4/17/01). Union Broadcasting, Inc. Anna, IL. 47 C.F.R. 73.267 (Determining Operating Power), 73.1125 (Station Main Studio Location), 73.1350 (Transmission System Operation), 73.1560 (Operating Power and Mode Tolerances), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Kansas City,
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- Procedures), 73.1225 (Station Inspections by FCC), 73.1226 (Availability to FCC of Station Logs and Records), 73.1230 (Posting of Station License), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Anchorage, AK Resident Agent Office (5/1/01). Lindsay Broadcasting, Garden Grove, CA. Other violations: 47 C.F.R. 11.35 (Equipment Operations Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.1125 (Station Main Studio Location), 73.1225 (Station Inspections by FCC), 73.1226 (Availability to FCC of Station Logs and Records), 73.1230 (Posting of Station License), 73.1560 (Operating Power and Mode Tolerances), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations). San Francisco, CA
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- - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook Edmission & Eubank Communications, Inc., WDKN(AM), Dickson, TN. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 73.51 (Determining Operating Power), 73.1230 (Posting of Station License), and 73.1400 (Transmission System Monitoring). Atlanta, GA District Office (6/18/01). Wilson Broadcasting Co., Inc., WAGF(AM), Dothan, AL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.1230 (Posting of Station License), 73.1350 (Transmission System Operations), 73.1400 (Transmission System Monitoring), 73.1690 (Modification of Transmission Systems), 73.1745 (Unauthorized Operation) and 73.1820 (Station Log). Atlanta, GA District Office (6/18/01). Christian Broadcasting Group, Ceiba, PR. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 73.1230 (Posting of Station License), 73.1800 (General Requirements
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- ID #1153). Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 17.4(a) (Antenna Structure Registration), 73.1125 (Station Main Studio Location), 73.1201 (Station Identification), 73.1400 (Transmission System Monitoring and Control), 73.1820 (Station Log) and 73.3526 (Local Public Inspection File for Commercial Stations). Denver, CO District Office (7/30/01). KJUL License, LLC, KJUL-FM, North Las Vegas, NV. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures) and 73.1870 (Chief Operator). Los Angeles, CA District Office (7/31/01). KJUL License, LLC, KKLZ-FM, Las Vegas, NV. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures) and 73.1870 (Chief Operator). Los Angeles, CA District Office (7/31/01). KJUL License, LLC,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-2273A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-2273A1.txt
- WPPH856, New York, NY. New York, NY District Office (8/22/01). 47 C.F.R. 1.923 - Content of Applications Ocean City Volunteer Fire Department, Inc., KXI892, Ocean City, MD. Columbia, MD District Office (8/1/01). 47 C.F.R. Part 11 Emergency Alert System 47 C.F.R. 11.15 EAS Operating Handbook Lifeline Radio Corporation, WANL, Albany, GA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.44 (AM Transmission System Emission Limitations), 73.1230 (Posting of Station License), 73.1350 (Transmission System Operation), 73.1590 (Equipment Performance Measurements), 73.1745 (Unauthorized Operation), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Atlanta, GA District Office (8/9/01). Bartow Broadcasting Co., Inc. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-2540A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-2540A1.txt
- (9/18/01). 47 C.F.R. Part 1 Practice and Procedure 47 C.F.R. 1.903 Authorization Required Town of Oyster Bay Public Works Department, KBL758, Svosset, NY. New York, NY District Office (9/20/01). 47 C.F.R. Part 11 Emergency Alert System 47 C.F.R. 11.15 EAS Operating Handbook Margate Communications, Atlantic City, NJ. Other violation: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements). Philadelphia, PA District Office (9/21/01). Creative Educational Media Corp., Inc., Branson, MO. Other violation: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements). Kansas City, MO District Office (9/24/01). Vera R. Baldwin, Inc., WDLW(AM), Fairfield, OH. Other violation: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements). Detroit, MI
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-2818A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-2818A1.txt
- Operator) and 73.3527 (Local Public Inspection File for Noncommercial Educational Stations). Kansas City, MO District Office (10/1/01). CB Radio, Inc., WBEJ, Elizabethton, TN. Other violations: 17.4(g) (Posting of Antenna Structure Registration Number), 73.51 (Determining Operating Power), and 73.1590 (Equipment Performance Measurements). Atlanta, GA District Office (10/4/01). Charter Communications, Dalton, GA. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures) and 73.1820 (Station Log). Atlanta, GA District Office (10/23/01). 47 C.F.R. 11.35 Equipment Operational Readiness 3 Gold Coast Broadcasting Company, KKZZ(AM), Santa Paula, CA. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures) and 73.1870 (Chief Operator). Los Angeles, CA District Office (10/1/01). Gold
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- Operator) and 73.3527 (Local Public Inspection File for Noncommercial Educational Stations). Kansas City, MO District Office (10/1/01). CB Radio, Inc., WBEJ, Elizabethton, TN. Other violations: 17.4(g) (Posting of Antenna Structure Registration Number), 73.51 (Determining Operating Power), and 73.1590 (Equipment Performance Measurements). Atlanta, GA District Office (10/4/01). Charter Communications, Dalton, GA. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures) and 73.1820 (Station Log). Atlanta, GA District Office (10/23/01). 47 C.F.R. 11.35 - Equipment Operational Readiness Gold Coast Broadcasting Company, KKZZ(AM), Santa Paula, CA. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures) and 73.1870 (Chief Operator). Los Angeles, CA District Office (10/1/01). Gold Coast Broadcasting
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-2948A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-01-2948A1.txt
- 47 C.F.R. 1.903 Authorization Required Amquip Corporation, Bensalem, PA. Philadelphia, PA District Office (11/7/01). Aeronautical Radio, Inc., WPC8, DFW International Airport, TX. Dallas, TX District Office (11/19/01). 47 C.F.R. Part 11 Emergency Alert System 47 C.F.R. 11.15 EAS Operating Handbook Beacon Broadcasting, Inc., Greenville, PA. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4(g) (Posting of Antenna Structure Registration Number), 17.23 (Specifications for Painting and Lighting of Antenna Structures), 17.48 (Notification of Extinguishment and Improper Functioning of Lights), 17.50 (Cleaning and Repainting), 73.58 (Indicating Instruments), 73.1201 (Station Identification), 73.1350 (Transmission System Operation), 73.1560 (Operating Power and Mode Tolerances), 73.1590 (Equipment Performance
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- unsuccessfully attempted to have its State EAS Coordinator change its two assigned EAS sources. Accordingly, Cherokee Broadcasting asks us to rescind or substantially reduce the proposed forfeiture. 5. We do not believe that rescission or reduction of the forfeiture is warranted because Cherokee Broadcasting allegedly could not get the State EAS Coordinator to change its two assigned EAS sources. Section 11.52(d)(1) of the Rules states as follows: If the required EAS sources cannot be received, alternative arrangements or a waiver may be obtained by written request to the FCC EAS office. In an emergency, a waiver may be issued over the telephone with a follow up letter to confirm temporary or permanent reassignment. Cherokee Broadcasting presents no evidence that it attempted
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- District Office (1/12/01). Saga Communications of Iowa, Inc., dba KRNT(AM), KXTK(AM), KIOA-FM and KSTZ(FM), Des Moines, IA, KAZR(FM), Pella, IA and KLTI(FM), Ames, IA. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 73.62 (Directional Antenna System Tolerances), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations). Kansas City, MO District Office (1/25/01). 47 C.F.R. 11.52 - EAS Code and Attention Signal Monitoring Requirements Clear Channel Broadcasting Licenses, Inc., Midland, TX. Other violation: 47 C.F.R. 11.61 (Tests of EAS Procedures). Dallas, TX District Office (1/12/01). 47 C.F.R. 11.61 -Tests of EAS Procedures Cumulus Licensing Corp., WLOV(AM)/WXKT(FM), Washington, GA. Other violations: 47 C.F.R. 17.4(g) (Posting of Antenna Structure Registration Number), 17.50 (Cleaning and Repainting),
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- EAS Procedures) and 73.1870 (Chief Operator). Columbia, MD District Office (2/16/01). Dabney-Adamson Broadcasting, Inc., WDAB(AM), Travelers Rest, SC. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 17.50 (Cleaning and Repainting), and 73.1230 (Posting of Station License). Atlanta, GA District Office (2/26/01). 47 C.F.R. 11.35 - Equipment Operational Readiness WADV Radio, Inc, Birdsboro, PA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4(g) (Posting of Antenna Structure Registration Numbers), 73.51 (Determining Operating Power), 73.1201 (Station Identification), 73.1350 Transmission System Operation), 73.1560 (Operating Power and Mode Tolerances), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations), Philadelphia, PA District Office (2/12/01). AT&T Broadband, Kalispell, Montana. Other violations: 47
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- or Citation must do so in accordance with the instructions and by the deadline set forth in the NAL, NOV or Citation. NOTICES OF APPARENT LIABILITY 47 C.F.R. Part 11 - Emergency Alert System (EAS) Rules 47 C.F.R. 11.35 - Equipment Operations Readiness WHYZ Radio L.P., Radio Station WCSZ(AM). $8,000 NAL. Atlanta, GA District Office (4/18/02). 47 C.F.R. 11.52 - EAS Code and Attention Signal Monitoring Requirements Sycamore Valley Broadcasting, Inc., WQSV, Ashland City, TN. $25,000 NAL. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 17.50 (Cleaning and Repainting), 73.1400 (Transmission System Monitoring and Control), and 73.1745 (Unauthorized Operation). Atlanta, GA District Office (4/30/02). 47 C.F.R. Part 17 - Antenna Structure Construction, Marking, and Lighting of Antenna
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- $12,000 NAL. Other violation: 47 C.F.R. 73.1745 (Unauthorized Operation). Atlanta, GA District Office (6/24/02). o KGGF-KUSN, Inc., Coffeyville, KS, Springfield, MO. $23,000 NAL. Other violations: 47 C.F.R. 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 17.50 (Cleaning and Repainting) and 73.49 (AM Transmission System Fencing Requirements). Kansas City, MO District Office (6/28/02). 47 C.F.R. 11.52 EAS Code and Attention Monitoring Requirements o Faith Mountain Communications, Inc., WRRL, Rainelle, WV. $8,000 NAL. Columbia, MD District Office (6/19/02). 47 C.F.R. 11.61 Tests of EAS Procedures o Reef Broadcasting, Inc., WRRA, WAXJ and WDHP, Christianstead, USVI. $2,000 NAL. San Juan, PR Resident Agent Office (6/18/02). o First National Broadcasting Corporation, KXOL(AM) and KSOS(AM) -
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- Violation Larry Birch DBA Birches Communications, Mays Landing, NJ. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration Number) and 17.21 (Painting and Lighting, When Required). Philadelphia, PA District Office (12/21/01). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook KM Radio of Merced, LLC, Merced, CA (KBKY(FM)). Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.267 (Determining Operating Power), 73.1125 (Station Main Studio Location), 73.1225 (Station Inspection by FCC), 73.1226 (Availability to FCC of Station Logs and Records), 73.1230 (Posting of Station Licenses) and 73.1870 (Chief Operator). San Francisco, CA District Office (12/17/01). 47 C.F.R. 11.35 - Equipment Operational Readiness King Broadcasting Company, Roswell, NM, KBIM(AM) (Facility
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- NAL/Acct. No. 200232480001 ) Ashland City, TN ) FRN 0003-7542-56 FORFEITURE ORDER Adopted: August 13, 2002 Released: August 15, 2002 By the Chief, Enforcement Bureau: I. INTRODUCTION In this Forfeiture Order (``Order''), we issue a monetary forfeiture in the amount of four thousand ($4,000) to Sycamore Valley Broadcasting, Inc. (``Sycamore''), Ashland City, Tennessee, for repeated and willful violation of Sections 11.52(d), 11.61(a), 17.50, 73.1400 and 73.1745(a) of the Commission's Rules (``Rules''), The noted violations involve Sycamore's failure: to monitor two Emergency Alert System (``EAS'') sources; to send and receive the required EAS tests; to repaint its antenna structure as often as necessary to maintain good visibility; to maintain sufficient transmission system monitoring and control; and to reduce transmitter power after sunset.
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- Enforcement Bureau: I. INTRODUCTION 1. In this Memorandum Opinion and Order (``Order''), we cancel the proposed monetary forfeiture in the amount of eight thousand dollars ($8,000) issued to Faith Mountain Communications, Inc. (``Faith Mountain''), licensee of radio station WRRL(AM), Rainelle, West Virginia for failure to install Emergency Alert System (``EAS'') equipment at station WRRL(AM) in apparent willful violation of Section 11.52(a) of the Commission's Rules. However, we conclude that Faith Mountain willfully violated Section 11.52(a) and admonish Faith Mountain for this violation. 2. On June 19, 2002, the Commission's Columbia, Maryland Field Office (``Columbia Office'') issued a Notice of Apparent Liability for Forfeiture (``NAL'') in the amount of eight thousand dollars ($8,000) to Faith Mountain. Faith Mountain filed a response on
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- (KSUH, Puyallup & KWYZ, Everett). Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 17.50 (Cleaning and Repainting), 73.1590 (Equipment Performance Measurements), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Seattle, WA District Office (1/22/02). 47 C.F.R. 11.52 - EAS Code and Attention Signal Monitoring Requirements Mega Communications, Silver Spring, MD. Other violation: 47 C.F.R. 11.61 (Tests of EAS Procedures). Philadelphia, PA District Office (1/22/02). 47 C.F.R. 11.61 - Tests of EAS Procedures Quality Broadcasting Corp., Delray Beach, FL. Tampa, FL District Office (1/16/02). Morgan State College, WEAA, Baltimore, MD. Other violations: 47 C.F.R. 73.1560
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- Works, Inc., Woodinville, WA. Philadelphia, PA District Office (2/14/02). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook CableVision, Lake Havasu City, AZ. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness) and 11.61 (Tests of EAS Procedures). San Diego, CA District Office (2/19/02). Adelphia Cable, Durven, PA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 11.61 (Tests of EAS Procedures). Philadelphia, PA District Office (2/14/02). Genesis Communications I, Inc, Atlanta, FL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 17.4(a) (Antenna Structure Registration). Tampa, FL District Office (2/28/02). 47 C.F.R. 11.35 - Equipment Operational Readiness Steven M. Greeley, Lake Havasu
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- Light Inspections in the Owner Record), 73.1125 (Station Main Studio Location), 73.1400 (Transmission System Monitoring and Control) and 73.1870 (Chief Operator). Los Angeles, CA District Office (3/12/02). NOTICES OF VIOLATION 47 C.F.R. Part 1 - Practice and Procedure 47 C.F.R. 1.903 - Authorization Required Fennessey Broadcasting Stations Corp., Scranton, PA. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 73.51 (Determining Operating Power), 73.58 (Indicating Instruments), 73.1225 (Station Inspections by FCC), 73.1350 (Transmission System Operations), 73.1560 (Operating Power and Mode Tolerances), 73.1590 (Equipment Performance Measurements), 73.1800 (General Requirements Related to the Station Log), 73.1840 (Retention of Logs), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for
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- we will continue to refer to the operator of the Huntington cable system as Adelphia. 47 C.F.R. 11.61(a). Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200232340003 (Enf. Bur., Columbia Office, released July 19, 2002). Broadcast stations and cable television stations are required to monitor two EAS sources, which are specified in the state EAS plan. 47 C.F.R. 11.52(d). The NAL noted that there is no base forfeiture amount specified in the rules for failure to conduct required EAS tests. However, the NAL found that failure to conduct required EAS tests is similar in both nature and severity to failure to make required measurements or conduct required monitoring, which has a base forfeiture amount of $2,000. See 47 C.F.R.
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- Operating Requirements) and 90.425 (Station Identification). San Diego, CA District Office (3/31/03). 47 C.F.R. Part 11 - Emergency Alert System (EAS) Rules 47 C.F.R. 11.35 - Equipment Operational Readiness Charles R. Meeker, KDPX-LP, Cathedral City, CA. $8,000 NAL. San Diego, CA District Office (1/31/03). M.J. Phillips Communications, Inc., WJJL, Niagara Falls, NY. $10,000 NAL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 17.4(a) (Antenna Structure Registration) and 73.1560 (Operating Power and Mode Tolerances). Buffalo, NY Resident Agent Office (1/28/03). Pittman Broadcasting Services, L.L.C., KAOK(AM), KAOK-FM, Covington, Louisiana. $15,000 NAL. Other violation: 47 C.F.R. 73.49 (AM Transmission Fencing Requirements). New Orleans, LA District Office (2/14/03). Victory & Power Ministries, Inc., WPFC, Baton Rouge, Louisiana. $25,000
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- on the day before the inspection. We find that Clarke's replacement of the Chief Operator prior to the inspection demonstrates good faith and warrants mitigation of the proposed monetary forfeiture to $6,000. No mitigation is warranted for a history of overall compliance. On August 2, 2001, the San Francisco Office issued an NOV to Clarke for violations of Sections 11.35(a), 11.52(d), 11.61(a) and 73.182(a)(1) of the Rules (radio stations KVLM and KZSQ, Sonora, California) and, on August 16, 2001, the San Francisco Office issued an NOV to Clarke for violations of Section 11.52(b) and 73.182(a)(1) of the Rules (radio station KKBN, Sonora, California). Clarke, therefore, has no history of overall compliance. Nor is mitigation warranted on the basis of Clarke's correction
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- NAL. Other violation: 47 C.F.R. 90.425 (Station Identification). Philadelphia, PA District Office (12/5/02). 47 C.F.R. Part 11 - Emergency Alert System (EAS) Rules 47 C.F.R. 11.35 - Equipment Operational Readiness Minority Business and Housing Development, Inc., WYGG, Uniondale, NY. $13,000 NAL. Other violation: 47 C.F.R. 73.1350 (Transmission System Operation). Philadelphia, PA District Office (12/30/02). 47 C.F.R. 11.52 -- EAS Code and Attention Signal Monitoring Requirements MRJ, Inc., Pineville, WV. $22,000 NAL. Other violations: 47 C.F.R. 17.4 (Antenna Structure Registration), 73.49 (AM Transmission Fencing Requirements) and 73.3526 (Local Public Inspection File for Commercial Stations). Columbia, MD District Office (12/26/02). 47 C.F.R. 11.61 - Tests of EAS Procedures Radio Station WWAM, Inc., WWAM(AM), Lakeland, FL. $2,000 NAL.
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- 523 miles away from Moberly. Thus, it is clearly not a local telephone number either. See KASA Radio Hogar, Inc., 17 FCC Rcd 6256 (2002) (quoting Emery Telephone, 13 FCC Rcd 23854, 23859-60 (1998), recon. denied, 15 FCC Rcd 7181 (1999)). On March 21, 2000, the Columbia Office issued an NOV to AFA for the following violations at WARN-FM: Sections 11.52(d) (failure to monitor two EAS sources), 11.61(b) (failure to log EAS tests received), 73.1560(b) (failure to maintain the transmitter output power between 90% and 105% of the authorized power), and 73.1870(c)(3) (failure to have the chief operator review the station logs at least once each week to determine if the required entries are made correctly). File No. EB-99-CF-035. In its
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- dollars ($22,000) issued to MRJ, Inc. (``MRJ''), the licensee of WWYO, Pineville, West Virginia. We find that MRJ failed to conduct weekly EAS tests of the EAS header and EOM codes, failed to register its antenna structure with the Commission and failed to enclose the AM antenna in an effective locked fence in apparent willful and repeated violation of Sections 11.52(a), 17.4, and 73.49 and failed to allow access to the public inspection file in apparent willful violation of 73.3256(c) of the Commission's Rules (``Rules''). While we cancel the forfeiture for a demonstrated inability to pay, we admonish MRJ for its willful and repeated violation of Sections 11.52(a), 17.4, 73.49 of the Rules and its willful violation of Section 73.3526(c) of
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- Chief, Enforcement Bureau: introduction In this Forfeiture Order (``Order''), we issue a monetary forfeiture in the amount of ten thousand dollars ($10,000) to M.J. Phillips Communications, Inc. (``M.J. Phillips''), licensee of AM Station WJJL, Niagara Falls, New York, for its willful and repeated violations of the power restriction, Emergency Alert System (``EAS'') and antenna structure requirements of Sections 73.1560(a)(1), 11.35(a), 11.52(d) and 17.4(a) of the Commission's Rules (``Rules''). background On September 17 and 18, 2002, the Commission's Buffalo, New York Office (``Buffalo Office'') conducted on-site inspections of Station WJJL. The inspections revealed that the station had been exceeding its authorized power limits by more than 105 percent, that its Emergency Alert System (``EAS'') equipment had not been fully operational, and had
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- shown sufficient economic hardship to warrant temporary waivers of section 11.11(a) of the Rules for the 153 cable systems listed in Appendix A, and grant Charter a waiver of these rules until October 1, 2005. Accordingly, IT IS ORDERED that, pursuant to Sections 0.111, 0.204(b) and 0.311 of the Rules, Charter Communications, Inc. IS GRANTED a waiver of Sections 11.11(a), 11.52(d) and 11.61 of the Rules as specified herein and the request for a declaratory ruling IS DISMISSED AS MOOT because it was withdrawn by Charter Communications, Inc. IT IS FURTHER ORDERED that Charter Communications, Inc. place a copy of this waiver in its system files. IT IS FURTHER ORDERED that a copy of this Order shall be sent by certified
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- Michigan, for willful violation of numerous sections of the Commission's Rules (``Rules''). The noted violations involve, respectively: 1) failure to maintain required records, in violation of Sections 73.1820(a)(1)(i), 73.1820(a)(1)(iii) and 73.1870(c)(3) of the Rules; 2) failure to make required measurements or conduct required monitoring regarding EAS monitoring sources, EAS tests, and observation of antenna structures' lights, in violation of Sections 11.52(d), 11.61(a)(2)(i)(A) and 17.47(a)(1); 3) failure to file required forms or information regarding the registration of two antenna structures, in violation of Section 17.4(a); and 4) failure to exhibit red obstruction lighting from sunset to sunrise, in violation of Section 17.51(a). II. BACKGROUND On September 23, 2002, the Commission's Detroit Office received information that the top flashing obstruction lights on each
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- control override. WPWC's EAS set-up is consistent with Section 11.51(m) of the Rules which permits automatic operation of the EAS system by broadcast stations that use remote control. Further, although the NAL appears to cite JMK for not monitoring its primary EAS source and having its EAS equipment improperly tuned to its secondary EAS source, no separate violation of Section 11.52(d) of the Rules was noted. We agree with JMK that there was no violation of Section 11.35(a) of the Rules. Therefore, we cancel the portion of the forfeiture assessed for violation of Section 11.35(a) of the Rules and reduce the forfeiture amount by $8,000. Section 73.1745(a) of the Rules states, in pertinent part, that no broadcast station shall operate with
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- state, and local level messaging. Need: These rules describe how a national, state, or local emergency is activated, and upon activation, provide guidelines for all participating entities to follow during national, state, and local-level emergencies. Legal Basis: 47 U.S.C. 151, 154 (i) and (o), 303(r), 544(g) and 606. Section Number and Title: 11.51 EAS code and Attention Signal Transmission requirements. 11.52 EAS code and Attention Signal Monitoring requirements. 11.53 Dissemination of Emergency Action Notification 11.54 EAS operation during a National Level emergency. 11.55 EAS operation during a State or Local Area emergency. SUBPART E -- TESTS Brief Description: These rules describe EAS testing protocols for all participating entities. Need: Regular testing of EAS equipment will ensure operational readiness in the event
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- Encoders, EAS Decoders and Attention Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation. Broadcast station licensees are also required to receive, interrupt normal program, and transmit certain EAS messages. When facilities are unattended, Sections 11.51 and 11.52 of the Rules require licensees to employ automatic systems to interrupt programming and transmit certain EAS messages. On March 1, 2005, the EAS unit for Station KNSX(FM) was installed at its unattended KNSX transmitter site and set in manual mode. The owner of Twenty-One Sound claimed to visit the site occasionally to transmit manually the required weekly and monthly EAS
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- (``Order''), we grant in part and deny in part the petition for reconsideration filed by M.J. Phillips Communications, Inc. (``M.J. Phillips''), licensee of AM Station WJJL, Niagara Falls, New York. M.J. Phillips seeks reconsideration of a Forfeiture Order issued on June 23, 2004, in the amount of ten thousand dollars ($10,000) for willful and repeated violations of Sections 73.1560(a)(1), 11.35(a), 11.52(d) and 17.4(a) of the Commission's Rules (``Rules''). The noted violations involve M.J. Phillips' use of excessive power; its failure to have fully operational Emergency Alert System (``EAS'') equipment; its failure to monitor, test and log the tests of its EAS equipment on a regular basis; and its failure to register its antenna structure. For the reasons discussed below, we reduce
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- 110 Stat. 56 (1996). See Implementation of Sections 204(a) and 204(c) of the Telecommunications Act of 1996 (Broadcast License Renewal Procedures), Order, 11 FCC Rcd 6363 (1996). 47 U.S.C. 309(k)(2), 309(k)(3). See M.J. Phillips Communications, Inc., 21 FCC Rcd at 346. Enforcement Bureau (``EB'') found that a forfeiture of $7,000 was appropriate for Licensee's violations of Sections 73.1560(a)(1); 11.35(a); 11.52(d); and 17.4(a) of the Rules. We also find that the forfeiture levied by EB was a sufficient sanction for the indicated violations. See 47 U.S.C. 309(k). Federal Communications Commission Washington, D.C. 20554 June 27, 2007 + 9 : ; = H Q R ^ h t `` '' hd hd
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- EconomicSurveyalsocontainsinformationaboutconcentrationratiosforvariousindustries. WereporttheseratiosinTable9. A.2TheNABOBData TheNationalAssociationofBlackOwnedBroadcasters(NABOB)collectsinformationon Radio(bothAMandFM)andTVstationsownedbyAfricanAmericans.Weweregiven historicaldatafortheyears1986,1991,1996,2001and2006.Thecountsfortheradioand TVstationsaresummarizedinTable10.Thecountsfortheearliestperiod1986areclearly incompleteandwechosetoomitthem.Itisreasonabletoassumethattheguresinthis tablearesubjectedtochangesinreportingandcoverage. ThenumberofstatesinwhichtherehasbeeneitheraradiooraTVstationownedby anAfricanAmericanis37.From1991to2006thenumberofFMradiostationsreportedto beownedbyAfricanAmericanshasalmostdoubled,increasingfrom74to138.Thetotal numberofAMradiostationshasuctuatedduringthatperiodandhadnocleartrend.By inlarge,boththeriseinFMstationsandtheuctuationsinAMstationhappenedmostly inanarrowsetofstates(GA,MS,OH,NCandTX).Acloserlookatthedatarevealsthat, 16 Table7:OwnershipbyGender(IncludingPublicFirms) NAICSName #rms FemaleMaleEqualPublic 22 Utilities 6,223 4.8534.72 6.28 54.15 23 Construction 729,842 7.0877.24 12.42 3.26 31-33 Manufacturing 310,821 12.8567.82 12.58 6.75 42 WholesaleTrade 347,319 12.0268.87 12.45 6.66 44-45 RetailTrade 745,872 19.5358.95 17.87 3.65 48-49 Transportation&Warehousing 167,865 11.6566.30 16.46 5.58 51 Information 76,443 14.1862.26 11.52 12.04 515112 RadioStations 3784 11.5463.33 7.50 17.63 515120 TVStations 1001 8.2847.97 4.33 39.42 511110 NewspaperPublishers 5935 19.2857.88 16.62 6.22 52 FinanceandInsurance 241,120 13.4868.04 7.91 10.57 53 RealEstate,Rental,Leasing 266,161 18.7557.93 14.31 9.01 54 Prof.,Scientic,Tech.Svcs. 727,893 18.3268.91 8.72 4.04 55 Mgmt.ofCompanies 28,351 7.4048.84 4.96 38.80 56 Admin.Support,Waste Mgmt.,RemediationService 305,462 19.8261.50 13.69 4.99 61 EducationalServices 65,251 24.3525.82 11.53 38.30 62 HealthCare&SocialAssist. 564,299 20.5759.33
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- authority pursuant to Section 0.283 of the Commission's rules. FEDERAL COMMUNICATIONS COMMISSION Steven A. Broeckaert Senior Deputy Chief, Policy Division, Media Bureau ATTACHMENT A CSR 7799-E COMMUNITIES SERVED BY TIME WARNER CABLE INC. 2000 Estimated Census DBS Time Warner Sum of Communities CUIDs CPR* Households Subscribers Subscribers Subscribers Allen OH0442 OH0912 33.14% 1260 417.58 456 873.58 Bairdstown OH2751 23.51% 49 11.52 27 38.52 Ballville OH2506 OH0184 23.36% 2545 594.47 1512 2106.47 Bellevue OH0030 OH2508 23.78% 3332 792.31 2502 3294.31 Bettsville OH1363 15.69% 298 46.76 154 200.76 Bloomdale OH2752 51.06% 256 130.71 102 232.71 Bloomville OH1318 40.41% 366 147.90 213 360.90 Bradner OH1454 32.09% 445 142.78 204 346.78 Burgoon OH2225 44.40% 68 30.19 33 63.19 Carey OH0511 36.20% 1543 558.56 754 1312.56
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- so that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. Section 11.61(a)(1) and (2) of the
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- 17904.81 19284.68 15439.5915903.2116162.5017434.84 15.20 14.34 17915.65 18388.93 16944.2716801.9717919.2418412.87 15.97 15.21 11713.70 12340.42 11575.9211738.6012085.9412802.59 16.28 16.08 14366.57 14960.48 10757.1911128.7011433.8012025.14 15.79 16.44 17277.23 17956.83 10639.2910768.7011298.2111816.03 16.51 17.43 15970.06 16771.76 11325.9611491.2711875.4212531.20 16.34 16.87 10639.00 11311.49 33747.7034926.5735019.7636301.31 30.77 32.06 175315.33 193371.24 36434.2738577.7941146.1144382.76 32299.98 34655.37 25243.2026360.8228330.8329708.85 25.47 24.97 143015.44 158715.87 40509.2143037.8345828.0049747.95 31.48 32.80 1739784.251840069.62 27411.1828144.0429517.1430990.49 14.69 15.38 141497.08 148963.91 30312.2531031.4232548.2734033.33 11.89 12.62 4281.59 4454.05 32444.5533169.6434417.9535518.72 11.52 12.17 47852.76 51473.09 27929.3328658.6729740.6931992.72 17.17 16.87 365714.70 387481.24 36133.3136954.9238454.5940388.29 13.75 14.45 18717.20 19782.49 35850.9736292.0638576.2540306.62 10.27 10.98 17346.22 18641.23 32307.4832762.6134362.5636537.10 11.63 13.63 165149.32 175031.09 32499.8933231.6734725.1536442.79 11.53 12.77 40003.70 42533.79 30083.1031279.7633049.9934941.09 13.61 14.57 152956.36 162900.01 33558.2334309.0136371.4238333.92 14.34 14.64 117110.09 123606.00 29946.9230668.9032270.6233794.29 13.64 14.95 24090.42 25514.06 25831.0126101.1327677.4129036.14 15.48 15.33 45996.06 48818.48 27347.3828061.5830013.7431605.90 13.45 15.06 189082.44 202507.99 33252.1834065.4235021.7536638.44 18.20 19.04 31720.92 33637.73 21791.0122926.2224258.8925543.11 16.47
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- Corona, NY. New York, NY Office (3/27/00). Apollo Transportation, Inc., Yonkers, NY. New York, NY (3/31/00). 47 (EAS) Rules) Cablevision of Massachusetts, Allston, MA. NOV also issued for violation of 47 C.F.R. 11.21, and 11.61. New England District Office (3/10/00). Booth-Newsome Broadcasting, Inc., WKTE, King, North Carolina. NOV also issued for violation of 47 C.F.R. 11.32, 11.33, 11.35, 11.52, 11.61, 73.49, 73.51, 73.1225, 73.1400 73.1350, 73.1560, 73.1590, 73.1870, and 73.3526. Norfolk, VA Office (3/13/00). KICO/AM1490 kHz, Hanson Broadcasting Co. San Diego, CA Office (3/27/00). First Assembly of God, Gainesville, FL. NOV also issued for violation of 47 C.F.R. 11.52 and 11.61. Tampa, FL Office (3/28/00). KGBA/FM, 100.1 MHz, The Voice of International Christian. 16570 47 Key West Education
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- Corona, NY. New York, NY Office (3/27/00). Apollo Transportation, Inc., Yonkers, NY. New York, NY (3/31/00). 47 (EAS) Rules) Cablevision of Massachusetts, Allston, MA. NOV also issued for violation of 47 C.F.R. 11.21, and 11.61. New England District Office (3/10/00). Booth-Newsome Broadcasting, Inc., WKTE, King, North Carolina. NOV also issued for violation of 47 C.F.R. 11.32, 11.33, 11.35, 11.52, 11.61, 73.49, 73.51, 73.1225, 73.1400 73.1350, 73.1560, 73.1590, 73.1870, and 73.3526. Norfolk, VA Office (3/13/00). KICO/AM1490 kHz, Hanson Broadcasting Co. San Diego, CA Office (3/27/00). First Assembly of God, Gainesville, FL. NOV also issued for violation of 47 C.F.R. 11.52 and 11.61. Tampa, FL Office (3/28/00). KGBA/FM, 100.1 MHz, The Voice of International Christian. 16570 47 Key West Education
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- 12.91 13.01 13.38 11.63 10.32 9.91 10.22 14.56 4 Ameritech Operating Companies 5/ 13.00 12.79 14.80 13.39 16.78 18.27 18.22 22.59 28.93 29.71 5 Nevada Bell 5/ 12.98 14.51 17.44 17.92 17.31 17.75 19.47 16.02 19.26 22.07 6 Pacific Bell 5/ 11.85 12.68 12.89 14.93 15.76 17.68 11.98 16.50 21.01 19.30 7 Southern New England Telephone Company 5/ 8.56 12.90 11.52 11.34 11.58 11.64 12.70 10.99 12.12 23.91 Verizon Companies 6/ 8 Bell Atlantic dba Verizon Communications 7/ 13.66 13.36 (Former Bell Atlantic Companies) Bell Atlantic 12.83 12.50 14.01 14.00 13.74 11.24 14.73 13.88 Bell Atlantic (NYNEX) 8/ 12.50 12.55 11.79 12.12 15.23 13.72 11.40 New England Telephone and Telegraph Co. 8.54 New York Telephone 9.82 (Former GTE Companies) 9/ 10/
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- 47 C.F.R. 11.18. State EAS plans contain guidelines that must be followed by broadcast and cable personnel, emergency officials and National Weather Service personnel to activate the EAS for state and local emergency alerts. The state plans include the EAS header codes and messages to be transmitted by the primary state, local and relay EAS sources. 47 C.F.R. 11.52(d). 47 C.F.R. 11.11. 47 C.F.R. 11.35. 47 C.F.R. 11.61. The required monthly and weekly tests are required to conform with the procedures in the EAS Operational Handbook. See also, Amendment of Part 11 of the Commission's Rules Regarding the Emergency Alert System, EB Docket No. 01-66, Report and Order, FCC 02-64 (Feb. 26, 2002); 67 Fed Reg
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- ) NAL/Acct. No. 200332360005 South Haven, Michigan ) ) FRN: 0007 1714 32 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: April 17, 2003 By the District Director, Detroit Office, Enforcement Bureau: I. INTRODUCTION In this Notice of Apparent Liability for Forfeiture ("NAL"), we find that WSJM, Inc., (``WSJM''), licensee of radio station WGMY, South Haven, Michigan, has apparently violated Sections 11.52(d), 11.61(a)(2)(i)(A), 17.4(a), 17.47(a)(1), 17.51(a), 73.1820(a)(1)(i), 73.1820(a)(1)(iii), and 73.1870(c)(3) of the Commission's Rules (``Rules'')1. Respectively, these sections require that the station monitor two EAS sources specified in the State EAS Plan; conduct tests of the EAS header and EOM codes at least once a week at random days and times; register the two antenna structures; observe the antenna structure's lights at
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- rusted. The agents could not easily distinguish between white and red painted sections of the structure. The condition of the paint reduced the visibility of the tower. The agents further determined that the antenna structure was not registered with the Commission. On July 17, 2002, the Columbia Office issued a Notice of Violation to Grass Roots for violation of Sections 11.52(d), 11.61(d), 17.4(a)(2), 17.50, 73.1125(a), 73.1225(d)(1), 73.1545(a), 73.1560(b), 73.1590(b), 73.3526(b) and 73.3526(e)(12) of the Rules. In response by letter dated August 5, 2002, Grass Roots stated that the antenna registration issue had been brought to its attention by an FCC inspector in December 2001 and that an FAA study, required before the structure can be registered, commenced on June 20, 2002.
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- of ) ) File No. EB-02-CF-569 ) MRJ, Inc. ) NAL/Acct. No. 200332340002 WWYO ) Pineville, West Virginia ) FRN: 0005-9955-50 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: December 26, 2002 By the District Director, Columbia Office, Enforcement Bureau: I. INTRODUCTION In this Notice of Apparent Liability for Forfeiture ("NAL"), we find that MRJ, Inc (``MRJ'') has apparently violated Sections 11.52(a), 17.4, 73.49, and 73.3526(c) of the Commission's Rules (``Rules''), by failing to conduct weekly EAS tests of the EAS header and EOM codes, by failing to register its antenna structure with the Commission, failing to enclose the AM antenna in an effective locked fence, and failing to allow access to the public inspection file. We conclude that MRJ is apparently
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- FURTHER ORDERED THAT a copy of this Notice of Apparent Liability shall be sent by regular mail and Certified Mail Return Receipt Requested to KGGF-KUSN, Inc. at P.O. Box 4584, Springfield, MO 65808-4584. FEDERAL COMMUNICATIONS COMMISSION Robert C. McKinney District Director, Kansas City Office Enforcement Bureau 47 C.F.R. 11.35(a), 17.47(a)(1), 17.50 and 73.49. See 47 C.F.R. 11.51(j) and 11.52(c). Section 312(f)(1) of the Act, 47 U.S.C. 312(f)(1), which applies equally to Section 503(b) of the Act, provides that ``[t]he term `willful,' when used with reference to the commission or omission of any act, means the conscious and deliberate commission or omission of such act, irrespective of any intent to violate any provision of this Act ....'' See Southern
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- latest ownership report, a copy of The Public and Broadcasting, and current issues/programs lists were not available in the public file. III. DISCUSSION 3. Section 11.35(a) of the Rules requires that broadcast stations install EAS equipment such that monitoring and transmitting functions are available during the times the stations are in operation. As part of the EAS monitoring requirement, Section 11.52 of the Rules requires broadcast stations to monitor two EAS sources as specified in the State EAS Plan and FCC Mapbook. At the inspection on July 17, 2002, station KAUF's two EAS receivers were turned off and, when turned on, were tuned to default settings rendering them unable to monitor the required EAS sources. Section 11.35(b) of the Rules provides
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- No. EB-02-CF-277 ) Faith Mountain Communications, Inc. ) NAL/Acct. No. 200232340001 WRRL ) Rainelle, West Virginia ) FRN: 0007-2317-80 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: June 19, 2002 By the District Director, Columbia Office, Enforcement Bureau: I. Introduction In this Notice of Apparent Liability for Forfeiture ("NAL"), we find that Faith Mountain Broadcasting, Inc. (``Faith'') has apparently violated Section 11.52(a) of the Commission's Rules (``Rules''), by failing to install Emergency Alert System (``EAS'') equipment. We conclude that Faith is apparently liable for a forfeiture in the amount of eight thousand dollars ($8,000). II. Background On April 25, 2002, an agent from the Commission's Columbia, Maryland office conducted an EAS inspection at broadcast station WRRL in Rainelle, West Virginia. The agent
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- ) ) ) File Number: EB-02-BF-344 NAL/Acct.No. 200332280004 FRN: 0004-9421-24 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: January 28, 2003 By the Resident Agent, Buffalo Office, Enforcement Bureau: I. INTRODUCTION In this Notice of Apparent Liability for Forfeiture (``NAL''), we find that M.J. Phillips Communications, Inc (``Phillips''), licensee of radio station WJJL, Niagara Falls, New York, apparently violated Sections 11.35(a), 11.52(d), 17.4(a), and 73.1560(a)(1) of the Commission's Rules (``Rules'') by failing to determine cause of any failure to receive the required EAS tests or activations and make the appropriate log entries, failing to monitor two EAS sources, failing to register the antenna structure, and failing to maintain operating power within 105 % of the authorized power. We conclude that Phillips is
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- O. Box 619 Ashland City, TN 37015 ) ) ) ) ) ) ) File Number EB-02-AT-050 NAL/Acct. No. 200232480001 FRN 0003-7542-56 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: April 30, 2002 By the Enforcement Bureau, Atlanta Office: I. INTRODUCTION 1. In this Notice of Apparent Liability for Forfeiture, we find that Sycamore Valley Broadcasting, Inc. ("Sycamore") apparently violated Sections 11.52(d), 11.61(a), 17.50, 73.1400, and 73.1745(a) of the Commission's Rules. WQSV failed to: monitor two Emergency Alert System (``EAS'') sources, send and receive required EAS tests, re-paint its antenna structure to restore good visibility, maintain operating transmission system monitoring equipment, and reduce transmitter power between the times of local sunset and sunrise. We conclude that Sycamore Valley Broadcasting, Inc. is apparently
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- LIABILITY FOR FORFEITURE Released: October 14, 2003 By the Enforcement Bureau, Tampa Office: I. INTRODUCTION 1. In this Notice of Apparent Liability for Forfeiture (``NAL''), we find Gore-Overgaard Broadcasting, Inc. (``Gore-Overgaard''), licensee of AM radio station WROD, Daytona Beach, Florida, apparently liable for a forfeiture in the amount of two thousand dollars ($2,000) for repeated and willful violation of Section 11.52(d) of the Commission's Rules (``Rules''). Specifically, we find Gore-Overgaard apparently liable for failing to monitor the required Emergency Alert System (``EAS'') sources. II. BACKGROUND 2. On February 7, 2002, agents from the FCC Enforcement Bureau's Tampa Field Office (``Tampa Office'') inspected station WROD (AM) in Daytona Beach, Florida. The agent found the station's EAS receivers not monitoring the assigned sources.
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- specified in paragraph (b) of this section.'' At the time of inspection, station WIMG-AM operated their Studio Transmitter Link ("STL") on 949.50 MHz at their main studio, which is an unauthorized location. WIMG-AM license, WMU826, specifies that Morris B/C Company of N.J., Inc. operate a STL on 949.50 MHz at 555 West Ingham Avenue, Ewing, New Jersey. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of inspection, station WIMG-AM was monitoring station WPST-FM and the National Weather Service as EAS sources. However, the station must also monitor
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- 2003 By the District Director, Detroit Office, Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Gerald Parks, licensee of radio station WEKC. On December 16, 2003, an agent of the Commission's Detroit Office inspected radio station WEKC located at Williamsburg, Kentucky, and observed the following violation(s): 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, WEKC was monitoring one EAS source. 47 C.F.R. 73.3526(e)(5): ``Contents of the file. The material required to be
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- actions to be taken by personnel at broadcast stations...A copy of the Handbook must be located at normal duty positions or EAS equipment locations when an operator is required to be on duty and be immediately available to staff responsible for authenticating messages and initiating actions.'' At the time of inspection, no EAS Operating Handbook was available. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, one EAS source was being monitored. 47 C.F.R. 11.61(a)(2)(i)(A): ``Tests of EAS procedures...Required Weekly Tests:...AM, FM and TV
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- the District Director, Detroit Office, Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Vernon R. Baldwin, Inc., licensee of radio station WWLT. On December 16, 2003, an agent of the Commission's Detroit Office inspected radio station WWLT, licensed to Manchester, Kentucky, and observed the following violation(s): 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, the incorrect EAS sources were being monitored. 47 C.F.R. 73.1820(a)(1)(iii): ``Station Log. Entries must be made in the
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- Content-Transfer-Encoding: 8bit Before the Federal Communications Commission Washington, D.C. 20554 In the Matter of ) ) ) File No. EB-04-CG-004 ) 62240 ) NOV No. V20043232004 Joliet, Illinois ) ) ) NOTICE OF VIOLATION Released: January 14, 2004 By the District Director, Chicago Office, Enforcement Bureau: . , located in Joliet, Illinois and observed the following violation(s): 47 C.F.R. 11.52(d): ``Broadcast stations ...must monitor two EAS sources. The monitoring assignments of each broadcast station...are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection there was no record of the station monitoring WGN, the designated LP-2 for that area. 47 C.F.R. 11.61(a)(1)(v): ``...These monthly tests must be transmitted within 60 minutes of receipt by
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- 8bit Before the Federal Communications Commission Washington, D.C. 20554 In the Matter of ) ) ) File No. EB-04-CG-005 ) 3959 ) NOV No. V20043232005 Coal City, Illinois ) ) NOTICE OF VIOLATION Released: January 14, 2003 By the District Director, Chicago Office, Enforcement Bureau: . , located in Crest Hill, Illinois, and observed the following violation(s): 47 C.F.R. 11.52(d): ``Broadcast stations ...must monitor two EAS sources. The monitoring assignments of each broadcast station...are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection there was no record of the station monitoring WGN, the designated LP-2 for that area. 47 C.F.R. 11.61(a)(1)(v): ``...These monthly tests must be transmitted within 60 minutes of receipt by
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- actions to be taken by personnel at broadcast stations...A copy of the Handbook must be located at normal duty positions or EAS equipment locations when an operator is required to be on duty and be immediately available to staff responsible for authenticating messages and initiating actions.'' At the time of inspection, no EAS Operating Handbook was available. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, only one EAS source was being monitored and it was an incorrect EAS source. 47 C.F.R. 11.61(a)(2)(i)(A): ``Tests
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- (``Comcast''), the operator of a cable system in Pennsauken, New Jersey. On March 10, 2004, an agent of the Commission's Philadelphia Office inspected the Emergency Alert System (``EAS'') at Comcast's head-end in Audobon, New Jersey. This is the principal head-end that serves the Pennsauken, New Jersey community. During the inspection, the Philadelphia Office found the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station, cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' Comcast was monitoring WPST 97.5 MHz, WKDN 106.9 MHz and the National Weather Service
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- Appropriate entries must be made in the broadcast station log as specified in 73.1820 and 73.1840 of this chapter ... indicating reasons why any tests were not received.'' There were no entries made in the station logs indicating why records of reception of EAS tests were absent in the logs for the second monitored source. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of the inspection the audio level from the second receiver
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- Office, Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Cedar Creek Radio Company, Inc., licensee of station KCKL(FM) in Malakoff, Texas. On December 17, 2003, an agent of the Commission's Dallas Office inspected FM broadcast station KCKL, licensed to Malakoff, Texas, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' During calendar year 2003, there were no weeks in which the station logs of station KCKL(FM) contained more than one entry of
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- and any other instrument of station authorization shall be posted in a conspicuous place. At the time of inspection no station authorization was posted or found at the station. The public file inspected at the public library did have a copy of the station authorization with expiration date of June 1, 1997. No renewal card was found. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, only one EAS source, WIBW-FM, was being monitored and the station logs reflected receiving only one source. Logs from
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- Tampa Office, Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to GB Enterprises Communications, Corp., licensee of the radio station WHNR (AM). On March 22, 2004, agents of the Commission's Tampa Office inspected radio station WHNR (AM), licensed to Cypress Gardens, Florida and observed the following violations: 47 C.F.R. 11.52 (d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection the station was not monitoring the two assigned EAS sources. 47 C.F.R. 11.61(a)(1)(v): ``...monthly
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- an agent of the Commission's Kansas City Office inspected AM Broadcast radio station KXLQ, licensed to Indianola, Iowa and observed the following violations: 47 C.F.R. 11.15: All stations are to maintain an EAS Operating Handbook. The handbook is to be available at All EAS control points. At the time of inspection no EAS Handbook was available. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, only one EAS source, WHO-AM, was being monitored and the station logs reflected receiving only one source. Only three
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- (2). Appropriate entries must be made in the broadcast station log as specified in 73.1820 and 73.1840 of this chapter ... indicating reasons why any tests were not received.'' No entries were made in KHPU's station logs to indicate why records were absent in the logs for the reception of the required second monitored source. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of the inspection, only one of the three EAS receivers
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- Detroit Office, Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Associated Christian Broadcasters, Inc., licensee of radio station WTGN. 2. On August 9, 2004, an agent of the Commission's Detroit Office inspected radio station WTGN, licensed to Lima, Ohio, and observed the following violations: a. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of inspection, WTGN was monitoring station WIMT(FM) and the National Weather Service as EAS sources. However, the station must also monitor station WUZZ-FM,
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- by Cox Communications, Inc.: Site Address Bell 1550 W. Deer Valley Rd., Phoenix, AZ East Mesa 4437 E. Holmes Ave., Mesa, AZ Fowler 6610 Van Buren St., Phoenix, AZ McDowell 3008 E. McDowell Rd., Phoenix, AZ Peoria 9534 W. Peoria Ave., Peoria, AZ Scottsdale North 28213 N. 64th St., Scottsdale, AZ The agent observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station, cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' Cox Communications, Inc. had the capability to monitor two EAS sources but failed to
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- Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Rama Communications, Inc., licensee of radio station WTIR-AM. 2. On May 6, 2004, agents of the Commission's Tampa Office inspected radio station WTIR-AM located at 2365 Pluckebaum Road, Cocoa Beach, FL 32926, and observed the following violation(s): 47 C.F.R. 11.52 (d): EAS code and Attention Signal Monitoring requirements. ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Map book. At the time of the inspection the station was not monitoring the two
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- Central Region, Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Qwest Broadband Services Inc., operator of a cable system serving Omaha, NE. On March 1, 2005, an agent of the Commission's Kansas City Office inspected the cable system serving Omaha, Nebraska and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources.'' At the time of the inspection, only KFAB was monitored as evidenced by listening to input sources on the EAS encoder/decoder and observations made at the EAS receiver. 47 C.F.R. 76.1702: ``(a) Every employment unit with six or more full-time employees shall maintain for public
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- Encoders, EAS Decoders and Attention Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation. Broadcast station licensees are also required to receive, interrupt normal program, and transmit certain EAS messages. When facilities are unattended, Sections 11.51 and 11.52 of the Rules require licensees to employ automatic systems to interrupt programming and transmit certain EAS messages. On March 1, 2005, the EAS unit for Station KNSX(FM) was installed at its unattended KNSX transmitter site and set in manual mode. The owner of Twenty-One Sound claimed to visit the site occasionally to transmit manually the required weekly and monthly EAS
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- located at 1884 Plain Avenue, Aurora, Illinois, and observed the following violation(s): 47 C.F.R. 11.15: ``A copy of the EAS Operating Handbook must be located at normal duty positions ... and be immediately available to staff responsible for authenticating messages and initiating actions.'' At the time of the inspection, the EAS Operating Handbook was not available. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system ... are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection, WKKD was not monitoring the assigned LP-1, WBBM, Chicago, Illinois. 47 C.F.R. 73.1820(a)(1)(iii): ``An entry of each test and activation of the
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- knowingly. The term ``repeated'' means the commission or omission of such act more than once or for more than one day. 6. Section 11.35(a) of the Rules states that broadcast stations are responsible for ensuring that EAS equipment is installed ``so that the monitoring and transmitting functions are available during the times the station and systems are in operation.'' Section 11.52(d) of the Rules states that broadcast stations must monitor two EAS sources. On March 17, 2005, station KTCM's only receiver attached to its EAS unit was turned off. Thus, its EAS unit was incapable of monitoring either of its two assigned EAS sources. Its EAS unit also could not transmit the required EAS messages, because it could not receive any
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- Region, Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules, to Birmingham Christian Radio, Inc., licensee of radio station WLPH(AM). On March 7, 2005, an agent of the Commission's Atlanta Office of the Enforcement Bureau inspected radio station WLPH(AM) located in Irondale, Alabama, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station was monitoring only one broadcast source. 47 C.F.R. 11.61(a): EAS ``[t]ests shall be made at regular intervals as indicated
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- of the EAS are installed so that the monitoring and transmitting functions are available during the time the stations and systems are in operation.'' At the time of inspection, the EAS encoder was activated for a test. The EAS equipment indicated that a test was being sent, but the test was not transmitted by the station over-the-air. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station's EAS decoder was attached to two receivers, but neither receiver appeared to be functioning properly. The logs indicated that no
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- Region, Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules, to Birmingham Christian Radio, Inc., licensee of radio station WRAG(AM). On March 8, 2005, an agent of the Commission's Atlanta Office of the Enforcement Bureau inspected radio station WRAG(AM) located in Carrollton, Alabama, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' One of the two receivers utilized for the station's EAS system was tuned to 87.5 MHz, which is neither an assigned source
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- Region, Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules, to Birmingham Christian Radio, Inc., licensee of radio station WLPH(AM). On March 7, 2005, an agent of the Commission's Atlanta Office of the Enforcement Bureau inspected radio station WLPH(AM) located in Irondale, Alabama, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station was monitoring only one broadcast source. 47 C.F.R. 11.61(a): EAS ``[t]ests shall be made at regular intervals as indicated
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- reviewed the contents of the public inspection file and found it missing the issues/programs lists for the third and fourth quarters of 2004. No employee at the station could find the lists or make them available to the agent. On August 25, 2005, the Atlanta Office issued BCR a Notice of Violation (``NOV'') for violating, among other things, Sections 11.35(a), 11.52(d), and 73.3526(c) of the Rules. In its reply to the NOV, received September 21, 2005, BCR stated that the EAS encoder and receivers had been incorrectly installed at the time of the March 7, 2005 inspection, but that the equipment had been installed correctly on or about August 30, 2005. BCR also stated that it had placed the missing issues/programs
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- authorization granted by the Commission under the provisions of this part, except as specified in paragraph (b) of this section.'' The license for station WMG542 authorizes WZK to operate on the frequency 946.0 MHz. During the inspection on August 15, 2005, the agent found that WZK was operating station WMG542 on the unauthorized frequency of 946.5 MHz. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' During the inspection, the agent found that WCZT was monitoring only one EAS
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- that a copy of this Notice of Apparent Liability for Forfeiture shall be sent by Certified Mail, Return Receipt Requested, and regular mail, to WSKQ Licensing, Inc. and WPAT Licensing, Inc. at their address of record. FEDERAL COMMUNICATIONS COMMISSION Daniel W. Noel District Director, New York Office Northeast Region Enforcement Bureau 47 C.F.R. 11.35(a). 47 U.S.C. 503(b). Section 11.52(c) of the Rules provides that ``[b]roadcast stations . . . that are co-owned and co-located with a combined studio or control facility . . . may comply with the EAS monitoring requirements contained in this section for the combined station or system with one EAS Decoder.'' 47 C.F.R. 11.52(c). We also note that the corporate engineer for the Spanish
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- TEL. CO. 12.69 -0.88 13.70 105.83 255181 C SOUTH CENTRAL BELL-AL 1.61 -3.19 4.96 0.00 259788 C CENTURYTEL OF ALABAMA, LLC (SOUTHERN) 8.40 -3.66 12.52 40.89 259789 C CENTURYTEL OF ALABAMA, LLC (NORTHERN) 14.29 -1.62 16.17 68.31 ALASKA Total 1.66 -2.65 4.43 2.06 613000 C ACS OF ANCHORAGE, INC. 0.50 -3.81 4.48 0.00 613001 C ARCTIC SLOPE TEL. ASSOCIATION COOP.INC. 11.52 -8.34 21.67 24.83 613001A C ARCTIC SLOPE TEL. ASSOCIATION COOP.INC. 21.06 7.82 12.28 62.28 613002 C BETTLES TELEPHONE CO. INC. -4.77 0.00 -4.77 -17.02 613003 C BRISTOL BAY TELEPHONE COOP. INC. 3.59 -2.88 6.66 5.72 613004 C BUSH-TELL INC. 10.90 1.09 9.71 15.06 613005 A CIRCLE UTILITIES 28.24 16.67 9.92 38.65 613006 C COPPER VALLEY TEL. COOP. INC. 10.90 -4.07
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- TEL. CO. 12.69 -0.88 13.70 105.83 255181 C SOUTH CENTRAL BELL-AL 1.61 -3.19 4.96 0.00 259788 C CENTURYTEL OF ALABAMA, LLC (SOUTHERN) 8.40 -3.66 12.52 40.89 259789 C CENTURYTEL OF ALABAMA, LLC (NORTHERN) 14.29 -1.62 16.17 68.31 ALASKA Total 1.66 -2.65 4.43 2.06 613000 C ACS OF ANCHORAGE, INC. 0.50 -3.81 4.48 0.00 613001 C ARCTIC SLOPE TEL. ASSOCIATION COOP.INC. 11.52 -8.34 21.67 24.83 613001A C ARCTIC SLOPE TEL. ASSOCIATION COOP.INC. 21.06 7.82 12.28 62.28 613002 C BETTLES TELEPHONE CO. INC. -4.77 0.00 -4.77 -17.02 613003 C BRISTOL BAY TELEPHONE COOP. INC. 3.59 -2.88 6.66 5.72 613004 C BUSH-TELL INC. 10.90 1.09 9.71 15.06 613005 A CIRCLE UTILITIES 28.24 16.67 9.92 38.65 613006 C COPPER VALLEY TEL. COOP. INC. 10.90 -4.07
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- the frequency 133.2625 MHz as follows: 1) 1049 Lower Line Street 69 V/m 2) S. Reynolds between E. Morse and E. 102 V/m Salm Streets 3) 934 E. Walnut Street 176 V/m 4) E. Fannin at N. Madison 133 V/m 5) N. Washington at E. Guadalupe 58 V/m 6) N. Main at W. Fannin 136 V/m b. 47 C.F.R. 11.52(d): Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plans and the FCC Mapbook. The EAS equipment was observed to be monitoring two sources in the Austin EAS District. Since this system also serves customers
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- Region, Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to Rama Communications, Inc., licensee of radio station WNTF (AM). On February 17, 2006, agents of the Commission's Tampa Office of the Enforcement Bureau inspected radio station WNTF (AM) located in Bithlo, Florida and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection the station was monitoring only one of the assigned EAS sources. 47 C.F.R. 11.61(a): EAS ``[t]ests
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- Region, Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to Charter Communications Inc., operator of a cable system serving Marshall, Texas. On June 6, 2006, an agent of the Commission's Dallas Office inspected your cable television EAS system located in Marshall, Texas, and observed the following violation: 47 C.F.R. 11.52(d): Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS plans and the FCC Mapbook. The EAS equipment was observed to be monitoring two radio frequencies. One of the frequencies was 87.5 MHz. No United States
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- Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to Charter Communications LLC, operator of a cable system in Grand Haven, Michigan. On May 10, 2006, an agent of the Commission's Detroit Office inspected the cable television system located at Grand Haven, Michigan, and observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each...are specified in the State EAS Plan and the FCC Mapbook.'' At the time of the inspection, the agent observed that the station was not monitoring WLHT, 95.7 MHz, one of its two monitoring assignments. Pursuant to Section 403 of the Communications
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- so that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. Section 11.61(a)(1) and (2) of the
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- Northeast Region, Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to Entercom Providence Licensing, LLC licensee of radio station WEEI-FM in Providence, RI. On July 19, 2006, an agent of the Commission's Boston Office inspected radio station WEEI-FM located in Providence, RI, and observed the following violation(s): 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable carriers must monitor two EAS sources.'' At the time of inspection, only one EAS source was being monitored. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Section 1.89 of the Commission's Rules, Entercom Providence Licensing, LLC, must submit a written statement concerning this matter within twenty (20)
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- shall be reviewed ...''at least once a week to determine if required entries are being made correctly. ...Upon completion of the review, the chief operator or his designee must date and sign the log...'' At the time of the inspection, the chief operator was not signing the station logs to indicate that they had been reviewed. c. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station's EAS decoder was attached to two receivers, but station logs revealed that EAS tests and other activations were being received
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- in Newark, New York. On August 22, 2006, an agent of the Commission's Buffalo Office inspected the directional array for radio station WACK, the main studios for radio stations WACK and WUUF and antenna structures 1008084, 1008085, 1008086, 1008087, 1008088 and 1008089, which are located at 187 Vienna Road, Newark, New York., and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable carriers must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC-EAS Mapbook.'' At the time of inspection, the agent observed that stations WACK and WUUF were not monitoring the correct Emergency Alert System (``EAS'')
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- shall be reviewed ...''at least once a week to determine if required entries are being made correctly. ...Upon completion of the review, the chief operator or his designee must date and sign the log...'' At the time of the inspection, the chief operator was not signing the station logs to indicate that they had been reviewed. c. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station's EAS decoder was attached to two receivers, however one of the receivers was not operational. Additionally, station logs revealed that
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- Region, Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Bresnan Communications, LLC ("Bresnan"), operator of a cable system in Sheridan, Wyoming. On August 31, 2006, agents of the Enforcement Bureau's Denver Office inspected the Bresnan cable system located at Sheridan, Wyoming, and observed the following violations: 47 C.F.R. 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each...are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, agents observed Bresnan was not monitoring KYTI, 93.7 MHz, its primary EAS assignment, or KROE, 930 kHz, its secondary EAS assignment. 47 C.F.R. 76.605(a)(12): "As an
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- and observed the following violation(s): 47 C.F.R. 73.1125(e): ``Each AM, FM, TV and Class A TV broadcast station shall maintain a local telephone number in its community of license or a toll free number.'' A review of telephone directory listings in Las Vegas revealed that there was no listing for Nevada Channel 6 Inc. and/or KNBX-CA. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS plan and FCC mapbook. They are developed in accordance with FCC monitoring priorities.'' Los Angeles agents inspected the EAS equipment installed at the KNBX-CA transmitter site and noted that the
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- of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules (the ``Rules''), to CBS Radio East, Inc. (``CBS''), licensee of radio station WNEW (FM). On September 27, 2006, an agent of the Commission's New York Office inspected radio station WNEW (FM) located at 888 7th Avenue, New York, New York and observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...'' At the time of inspection the station was monitoring only one of the assigned EAS sources. CBS must submit a written statement
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- is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Mendocino Environmental Center, licensee of radio station KMEC in Ukiah, California. On August 25, 2006, an agent of the Enforcement Bureau's San Francisco Office Inspected radio station KMEC located at 106 West Standley Street, Ukiah, California and observed the following violation(s): 47 C.F.R. 11.52(d) ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments for each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of inspection a review of the station's EAS log indicated
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- so that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. Section 11.61(a)(1) and (2) of the
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- Inc. (``Charter'') ,operator of cable system in Lanett, Alabama. On January 22, 2007, an agent of the Commission's Atlanta Office of the Enforcement Bureau, accompanied by the cable system's technical supervisor and two headend technicians, inspected the cable television system's Emergency Alert System (``EAS'') located at 401 South 6th Street, Lanett, Alabama, and observed the following violation(s): 47 C.F.R. 11.52(d): ``...cable systems ...must monitor two EAS sources.'' Charter was monitoring only one EAS source. 47 C.F.R. 11.61(a): ``All cable systems are to conduct required monthly tests (RMT) once a month as coordinated by the Emergency Communications Committee for each state.'' Charter was not conducting required monthly tests. All tests were marked as weekly tests. The headend technicians could not
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- is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Bresnan Communications, LLC ("Bresnan"), operator of a cable system in Grand Junction, Colorado. On January 4 and 5, 2007, agents of the Enforcement Bureau's Denver Office inspected the Bresnan cable system located at Grand Junction, Colorado, and observed the following violations: 47 C.F.R. 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, Bresnan was monitoring only one of its assigned EAS sources. 47 C.F.R. 11.61(a)(1)(v): "Required Monthly Tests
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- Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Cumulus Licensing, LLC ("Cumulus"), licensee of radio station KKNN in Delta, Colorado. On January 3, 2007, agents of the Enforcement Bureau's Denver Office inspected KKNN, located at 315 Kennedy Avenue, Grand Junction, Colorado, and observed the following violations: 47 C.F.R. 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, KKNN was monitoring only one of the assigned EAS sources. 47 C.F.R. 11.61(a)(1)(v): "Required Monthly Tests
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-270815A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-270815A1.pdf
- is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Eastern New Mexico University ("ENMU"), licensee of radio station KENW-FM in Portales, New Mexico. On January 9, 2007, an agent of the Enforcement Bureau's Denver Office inspected KENW-FM located at 52 Broadcast Center, Portales, New Mexico, and observed the following violation: 47 C.F.R. 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, an agent observed that the station was not monitoring the two EAS sources required by the New
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-270816A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-270816A1.pdf
- is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Eastern New Mexico University ("ENMU"), licensee of television station KENW in Portales, New Mexico. On January 9, 2007, an agent of the Enforcement Bureau's Denver Office inspected KENW located at 52 Broadcast Center, Portales, New Mexico, and observed the following violation: 47 C.F.R. 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, an agent observed that the station was not monitoring the two EAS sources required by the New
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-272128A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-272128A1.pdf
- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Entravision Holdings, LLC, licensee of Class A television station K28FK in San Luis Obispo, California. On February 28, 2007, an agent of the Enforcement Bureau's Los Angeles Office inspected radio station K28FK's main studio located in Goleta, California, and observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable systems are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with the FCC monitoring priorities.'' The EAS receivers were not tuned to any of the LP stations
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-272129A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-272129A1.pdf
- a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Entravision Holdings, LLC, licensee of Class A television station K17GD in Paso Robles, California. On February 28, 2007, an agent of the Enforcement Bureau's Los Angeles Office inspected radio station K17GD's main studio located in Goleta, California, and observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable systems are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with the FCC monitoring priorities.'' The EAS receivers were not tuned to any of the LP stations
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-272447A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-272447A1.pdf
- of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules (``Rules''), to Fannin County Broadcasting, licensee of radio station WPPL(FM) in Blue Ridge, Georgia. On January 17, 2007, agents of the Commission's Atlanta Office of the Enforcement Bureau inspected the main studio of station WPPL(FM) located in Blue Ridge, Georgia and observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems....must monitor two EAS sources.'' WPPL(FM) was only monitoring one EAS source. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Section 1.89 of the Rules, Fannin County Broadcasting must submit a written statement concerning this matter within 20 days of release of this Notice. The response must fully explain the violation,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-272499A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-272499A1.pdf
- in 76.609(h) and shall be limited as follows: Over 54 MHz, and less than and including 216 MHz - 20 micro-volts per meter measured at 3 meters.'' At the time of inspection signal leakage was observed on the frequency 127.2625 MHz as follows: 1) Measured 100 V/m, near power pole, front of 112 Market Street, Needles, CA 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plans and the FCC Mapbook.'' At the time of the inspection, the EAS equipment was observed to be monitoring only the designated first local primary (LP-1)
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-273562A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-273562A1.pdf
- issues were given significant treatment. The description of the programs shall include, but shall not be limited to the time, date, duration, and the title of each program in which the issue was treated.'' The issues/program lists for KAEH were not drafted in a format that provided all the information as required by this rule section. b. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, the designated second local primary (LP-2), radio station KGGI - Riverside, CA (92.1 MHz) was not being
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-273687A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-273687A1.pdf
- ("Notice") issued pursuant to Section 1.89 of the Commission's Rules (the ``Rules''), to Cablevision of New Jersey (``Cablevision''), PSID # 07311, operator of a cable system serving Bergen County, New Jersey. On March 28, 2007, an agent of the Commission's New York Office inspected Cablevision's cable system located in Cresskill, New Jersey, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...'' At the time of inspection, Cablevision's logs showed that only one of the assigned EAS sources was monitored during the weeks of
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-275711A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-275711A1.pdf
- Section 1.89 of the Commission's Rules, to Common Ground Broadcasting, Inc.(``CGB''), licensee of radio stations KKNT - Phoenix, Arizona and KPXQ - Glendale, Arizona. On April 25, 2007, an agent of the Enforcement Bureau's San Diego Office inspected KKNT and KPXQ, located at 2425 E. Camelback Road, Suite #570, Phoenix, Arizona, and observed the following violation: a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, the designated first local primary (LP-1), radio station KTAR, Phoenix, Arizona, was not being monitored. Pursuant to
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-276079A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-276079A1.pdf
- so that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. Section 11.61(a)(1) and (2) of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-276801A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-276801A1.pdf
- of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to Atlantic Broadband, operator of cable system serving Grampian, Pennsylvania (Community Unit No. PA-2531). On August 14, 2007 and August 16, 2007, an agent of the Commission's Philadelphia Office inspected the Atlantic Broadband cable system located in Grampian, Pennsylvania and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' The EAS equipment for Atlantic Broadband was configured to monitor only one broadcast
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-276802A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-276802A1.pdf
- Rules to First Media Radio, LLC (``First Media''), the licensee of radio station WCPA and owner of antenna structures 1026521, 1026522 and 1026523 in Clearfield, Pennsylvania. On August 14, 2007, an agent of the Commission's Philadelphia Office inspected radio station WCPA and antenna structure 1026521, 1026522 and 1026523 located in Clearfield, Pennsylvania and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, First Media was not monitoring the designated Second Local Primary (LP-2) broadcast station WPSX on Television Channel
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277003A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277003A1.pdf
- Attention Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation.'' At the time of inspection, the designated co-local primary (LP1) station, KUZZ (107.9 MHz) Bakersfield, California, could not be heard on the EAS receiver. 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the designated co-local primary (LP1) station, KCOES (Kern County Office of Emergency Services) was not being monitored. Pursuant to Section 403 of the Communications
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277006A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277006A1.pdf
- Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to. CBS Radio Holdings, Inc. (``CBS Radio''), licensee of FM Broadcast radio station KEZN, Palm Desert, California. On August 15, 2007, an agent of the Enforcement Bureau's San Diego Office inspected KEZN, located at 72-915 Parkview Drive, Palm Desert, California and observed the following violation: a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, the designated first local primary (LP-1), radio station KDES-FM, Palm Springs, CA, was not being monitored. KEZN
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277586A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277586A1.pdf
- ("Notice") issued pursuant to Section 1.89 of the Commission's Rules (the ``Rules''), to Margaretville Telephone Company, Inc (``MTC''), PSID # 06437, operator of a cable system serving Delaware County, New York. On September 20, 2007, an agent of the Commission's New York Office inspected MTC's cable system located in Margaretville, New York, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...'' A review of the station's EAS logs showed that, except during the weeks of June 17 and August 26, 2007 when the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277668A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277668A1.pdf
- is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to Bentleyville Telephone Company (``BTC''), operator of a cable system serving Bentleyville, Pennsylvania (Community Unit No. PA-3297). On September 13, 2007, an agent of the Commission's Philadelphia Office inspected the BTC cable system located in Bentleyville, Pennsylvania and observed the following violations: 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, BTC was not monitoring the designated second local primary (``LP2'') station, WQED on 89.3 MHz. BTC was monitoring station WFHM, Cleveland, Ohio and the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277917A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277917A1.pdf
- is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to Bentleyville Telephone Company (``BTC''), operator of a cable system serving Bentleyville, Pennsylvania (Community Unit No. PA-3297). On September 13, 2007, an agent of the Commission's Philadelphia Office inspected the BTC cable system located in Bentleyville, Pennsylvania and observed the following violations: 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, BTC was not monitoring the designated second local primary (``LP2'') station, WQED on 89.3 MHz. BTC was monitoring station WFHM, Cleveland, Ohio and the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277919A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277919A1.pdf
- 11.35(a): ``... Appropriate entries indicating reasons why any tests were not received must be made in the broadcast station log as specified in 73.1820 ... of this chapter.'' A review of the log back through December 1, 2006 found no reception of test or activations. There were no entries indicating why the tests were not received. 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources.'' At the time of the inspection there was only one audio source connected to the EAS Decoder. 47 C.F.R. 73.1870(c)(3): ``The chief operator is responsible for completion of the following duties specified in this paragraph below. When these duties are delegated to other persons, the chief operator shall maintain supervisory oversight sufficient
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277920A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-277920A1.pdf
- 11.35(a): ``... Appropriate entries indicating reasons why any tests were not received must be made in the broadcast station log as specified in 73.1820 ... of this chapter.'' A review of the log back through December 1, 2006 found no reception of test or activations. There were no entries indicating why the tests were not received. 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources.'' At the time of the inspection there was only one audio source connected to the EAS Decoder. 47 C.F.R. 73.1870(c)(3): ``The chief operator is responsible for completion of the following duties specified in this paragraph below. When these duties are delegated to other persons, the chief operator shall maintain supervisory oversight sufficient
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A10.pdf
- las prioridades de monitoreo de la FCC. Si no se pueden recibir las fuentes del EAS requeridas, se deben hacer arreglos alternos u obtener una dispensacin mediante una solicitud por escrito a la FCC. En una emergencia, la FCC puede emitir la dispensacin por telfono con una carta de seguimiento para confirmar la reasignacin temporal o permanente. (47 C.F.R. Seccin 11.52) Estado de los equipos del EAS Los participantes en el EAS estn obligados a hacer pruebas de su capacidad de recibir y distribuir mensajes del EAS y a mantener un registro de todas las pruebas. Los participantes en el EAS deben asegurarse que los codificadores, descodificadores y equipos generadores de seales que se usan como parte del EAS estn instalados,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A11.pdf
- las prioridades de monitoreo de la FCC. Si no se pueden recibir las fuentes del EAS requeridas, se deben hacer arreglos alternos u obtener una dispensacin mediante una solicitud por escrito a la FCC. En una emergencia, la FCC puede emitir la dispensacin por telfono con una carta de seguimiento para confirmar la reasignacin temporal o permanente. (47 C.F.R. Seccin 11.52) Estado de los equipos del EAS Los participantes en el EAS deben asegurarse de que los codificadores, descodificadores y equipos generadores de seales que se usan como parte del EAS estn instalados, de manera que las funciones de monitoreo y transmisin estn disponibles durante las ocasiones que la estacin est en operacin. Adems, los participantes en el EAS tienen que
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A2.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A2.txt
- in the EAS State Plans and are determined according to FCC monitoring priorities. If the required EAS sources cannot be received, alternate arrangements or a waiver may be obtained by written request to the FCC. In an emergency, a waiver may be issued over the telephone with a follow- up letter to confirm temporary or permanent reassignment. (47 C.F.R. Section 11.52) EAS Equipment Readiness EAS participants are required to test their ability to receive and distribute EAS messages and to keep records of all tests. EAS participants are responsible for ensuring that encoders, decoders and signal generating equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times that the station
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A3.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A3.txt
- EAS State Plans and are determined according to FCC monitoring priorities. If the required EAS sources cannot be received, alternate arrangements or a waiver may be obtained by written request to the FCC. In an emergency, a waiver may be issued by the FCC over the telephone with a follow-up letter to confirm temporary or permanent reassignment. (47 C.F.R. Section 11.52) EAS Equipment Readiness EAS participants are required to test their ability to receive and distribute EAS messages and to keep records of all tests. EAS participants are responsible for ensuring that encoders, decoders and signal generating equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times that the station
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A4.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A4.txt
- EAS State Plans and are determined according to FCC monitoring priorities. If the required EAS sources cannot be received, alternate arrangements or a waiver may be obtained by written request to the FCC. In an emergency, a waiver may be issued by the FCC over the telephone with a follow-up letter to confirm temporary or permanent reassignment. (47 C.F.R. Section 11.52) EAS Equipment Readiness EAS participants are responsible for ensuring that encoders, decoders and signal generating equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times that the station is in operation. In addition, EAS participants must determine the cause of any failure to receive the required tests or activations
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A5.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A5.txt
- EAS State Plans and are determined according to FCC monitoring priorities. If the required EAS sources cannot be received, alternate arrangements or a waiver may be obtained by written request to the FCC. In an emergency, a waiver may be issued by the FCC over the telephone with a follow-up letter to confirm temporary or permanent reassignment. (47 C.F.R. Section 11.52) EAS Equipment Readiness EAS participants are required to test their ability to receive and distribute EAS messages and to keep records of all tests. EAS participants are responsible for ensuring that encoders, decoders and signal generating equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times that the station
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A6.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A6.txt
- EAS State Plans and are determined according to FCC monitoring priorities. If the required EAS sources cannot be received, alternate arrangements or a waiver may be obtained by written request to the FCC. In an emergency, a waiver may be issued by the FCC over the telephone with a follow-up letter to confirm temporary or permanent reassignment. (47 C.F.R. Section 11.52) EAS Equipment Readiness EAS participants are required to test their ability to receive and distribute EAS messages and to keep records of all tests. EAS participants are responsible for ensuring that encoders, decoders and signal generating equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times that the station
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A7.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A7.txt
- las prioridades de monitoreo de la FCC. Si no se pueden recibir las fuentes del EAS requeridas, se deben hacer arreglos alternos u obtener una dispensacin mediante una solicitud por escrito a la FCC. En una emergencia, la FCC puede emitir la dispensacin por telfono con una carta de seguimiento para confirmar la reasignacin temporal o permanente. (47 C.F.R. Seccin 11.52) Estado de los equipos del EAS Los participantes en el EAS estn obligados a hacer pruebas de su capacidad de recibir y distribuir mensajes del EAS y a mantener un registro de todas las pruebas. Los participantes en el EAS deben asegurarse que los codificadores, descodificadores y equipos generadores de seales que se usan como parte del EAS estn instalados,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A8.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A8.txt
- las prioridades de monitoreo de la FCC. Si no se pueden recibir las fuentes del EAS requeridas, se deben hacer arreglos alternos u obtener una dispensacin mediante una solicitud por escrito a la FCC. En una emergencia, la FCC puede emitir la dispensacin por telfono con una carta de seguimiento para confirmar la reasignacin temporal o permanente. (47 C.F.R. Seccin 11.52) Estado de los equipos del EAS Los participantes en el EAS estn obligados a hacer pruebas de su capacidad de recibir y distribuir mensajes del EAS y a mantener un registro de todas las pruebas. Los participantes en el EAS deben asegurarse que los codificadores, descodificadores y equipos generadores de seales que se usan como parte del EAS estn instalados,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A9.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-278628A9.txt
- acuerdo con las prioridades de monitoreo de la FCC. Si no se pueden recibir las fuentes del EAS requeridas, se deben hacer arreglos alternos u obtener una dispensacin mediante una solicitud por escrito a la FCC. En una emergencia, puede emitirse la dispensacin por telfono con una carta de seguimiento para confirmar la reasignacin temporal o permanente. (47 C.F.R. Seccin 11.52) Estado de los equipos del EAS Los participantes en el EAS estn obligados a hacer pruebas de su capacidad de recibir y distribuir mensajes del EAS y a mantener un registro de todas las pruebas. Los participantes en el EAS deben asegurarse que los codificadores, descodificadores y equipos generadores de seales que se usan como parte del EAS estn instalados,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-279731A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-279731A1.pdf
- Central Region, Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to LaGrange Broadcasting Corporation, licensee of AM radio station KHLT in Hallettsville, Texas. On December 14, 2007, an agent of the Commission's Houston Office inspected radio station KHLT located in Hallettsville, Texas, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two Emergency Alert System (``EAS'') sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, station KHLT was not monitoring station KRNX, one of the required EAS sources. 47
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-280569A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-280569A1.pdf
- Participant records, as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the broadcast station records contained no entries documenting the transmission of the required monthly test (RMT) for the months of October and November of 2007. No system record entries were found indicating the reasons why the tests had not been received or transmitted. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two Emergency Alert System (``EAS'') sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, station KGIC-LP was not monitoring the second local primary (LP-2) station KGGI, 99.1 MHz,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-281013A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-281013A1.pdf
- EAS Participant records, as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the broadcast station records contained no entries documenting the transmission of the required monthly test (``RMT'') for the months of January 2008. No entries were found in the EAS records indicating the reasons why the RMT had not been received or transmitted. 47 C.F.R. 11.52(d): ``EAS participants must monitor two Emergency Alert System (``EAS'') sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, station KLHU-CA was not receiving the second local primary (``LP-2'') station KNLB, 99.1 MHz, Lake Havasu City, AZ. 47 C.F.R.
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- records, as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the broadcast station records contained no entries documenting the transmissions from November, 2007, to January, 2008, from the first local primary (``LP-1'') station KTAR - Phoenix. No system record entries were found indicating the reasons why the tests had not been received or transmitted. 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, station KUPD(FM) was not monitoring the LP-1 station KTAR - Phoenix. Pursuant to Section 403 of the Communications Act of 1934, as amended, and
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- EAS Participant records, as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the cable system records contained no entries documenting the transmission of the first local primary (``LP-1'') station KTAR(AM) or (FM) - Phoenix, for over 12 months. No system record entries were found indicating the reasons why the tests had not been received. 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, Cox Communications was not monitoring the LP-1 station KTAR. Pursuant to Section 403 of the Communications Act of 1934, as amended, and Section 1.89
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-282189A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-282189A1.pdf
- issued pursuant to Section 1.89 of the Commission's Rules, to Prescott Valley Broadcasting Co., Inc., ("PVBC") licensee of FM Broadcast station KPKR, Parker, Arizona. On April 22, 2008, an agent of the Enforcement Bureau's San Diego Office inspected PVBC's emergency alert system (``EAS''), located at 1713 Kofa Avenue, Suite E, Parker, AZ, and observed the following violation: 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, KPKR was not monitoring the designated local primary (LP) radio stations, LP-1 station KFLG, 94.7 MHz, Kingman, AZ, or LP-2 station KNLB, 91.1 MHz,
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- was operating in the correct power mode. Section 11.35(a) of the Rules provides that ``EAS Participants are responsible for ensuring that EAS Encoders, EAS Decoders and Attention Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation...'' Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. Section 11.61(a)(1) of the Rules requires broadcast stations to (a) receive monthly EAS tests from designated local primary EAS sources and retransmit the monthly test within 60 minutes of its receipt and (b) conduct tests of the EAS header and EOM codes at least once a week
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- the station's most significant treatment of community issues during the preceding three month period. . . ..'' At the time of the inspection, the issues/programs list for first quarter 2008 was not in the station's public inspection file. The list for each calendar quarter is to be filed by the tenth day of the succeeding calendar quarter. 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, WXRK was not monitoring the designated local primary (LP) radio station, LP-1 station WFAN, 660 kHz, New York, NY. WXRK was monitoring WCBS, 880
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- issued pursuant to Section 1.89 of the Commission's Rules, to D.T.V. LLC, licensee of Class A TV Station KBOP-CA in San Diego, California. On April 24, 2008, agents of the Enforcement Bureau's San Diego Office inspected the emergency alert system ("EAS") of KBOP-CA, located atop Mount San Miguel near El Cajon, California, and observed the following violation: 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, KBOP-CA was not monitoring the designated local primary (LP-1) radio station, KOGO, 600 kHz, San Diego, CA. KBOP-CA was monitoring only one of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-284934A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-284934A1.txt
- 0.08 49.22 3.99 California Los Angeles AT&T 18.46 12.43 0.06 36.97 5.00 California Oakland AT&T 17.92 12.06 0.06 36.97 5.00 California Salinas AT&T 17.38 11.60 0.06 36.97 5.00 California San Bernardino AT&T 27.00 18.99 0.08 50.52 3.99 California San Diego AT&T 16.70 11.24 0.06 36.97 5.00 California San Francisco AT&T 16.70 11.24 0.06 36.97 5.00 California San Jose AT&T 17.24 11.52 0.06 36.97 5.00 Colorado Boulder Qwest 26.22 19.84 0.13 38.93 4.75 Colorado Colorado SpringsQwest 26.16 19.85 0.13 38.72 4.75 Colorado Denver Qwest 25.06 19.07 0.13 37.71 4.75 Connecticut Ansonia AT&T 25.39 15.48 0.18 65.00 4.90 Connecticut Norwalk AT&T 24.30 15.52 0.18 65.00 4.90 District of Columbia Washington Verizon 21.11 14.61 0.06 24.89 3.99 Florida Miami AT&T 23.71 49.72 6.95 Florida
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-287208A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-287208A1.pdf
- of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to Embry-Riddle Aeronautical University, licensee of radio station WIKD-LP in Daytona Beach, FL. On October 31, 2008, agents of the Commission's Tampa Office of the Enforcement Bureau (``Tampa Office'') inspected radio station WIKD-LP's main studio located in Daytona Beach, FL, and observed the following violations: 47 C.F.R. 11.52 (d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of inspection, WIKD-LP was not monitoring the two EAS sources specified in the State EAS Plan.
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- so that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. Section 11.61(a)(1) and (2) of the
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- records failed to show entries of weekly tests conducted during November 2008, the week of December 21, 2008, and the weeks of January 4 and 18, 2009. The broadcast station records contained no reasons why tests were not received or transmitted. Records for received tests indicate that the station was not consistently monitoring two EAS sources, as required by Section 11.52(d). Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Section 1.89 of the Commission's Rules, Pacifica Foundation, Inc. must submit a written statement concerning this matter within twenty (20) days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation and
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- Northeast Region, Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to Nassau Broadcasting II, LLC, the licensee of radio station WVPO in Stroudsburg, Pennsylvania. On August 5, 2009, agents of the Commission's Philadelphia Office inspected radio station WVPO located in Stroudsburg, Pennsylvania and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...'' A review of the station's EAS logs revealed that WVPO was monitoring station WVIA and the National Weather Service as its monitoring sources. However, the Pennsylvania State EAS Plan
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-293694A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-293694A1.pdf
- time, date, duration, and the title of each program in which the issue was treated....'' The issues/program lists found in the public inspection files for KXCI were not drafted in a format that provided all the information as required by this rule section, and the first two quarters for the issues/programs list for 2009 were missing. b. 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, KXCI was not monitoring the first designated local primary (LP-1) radio station KRQQ(FM), Tucson, Arizona. Pursuant to Section 403 of the Communications Act of
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-295458A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-295458A1.pdf
- Forever Broadcasting LLC, the licensee of AM Radio Stations WQWK and WRSC in State College, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. On September 17, 2009, an agent of the Commission's Philadelphia Office inspected radio stations WQWK and WRSC located in State College, Pennsylvania, and observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . .'' The agent found that stations WQWK and WRSC, which are co-located and share EAS equipment, were monitoring only one
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-295596A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-295596A1.pdf
- Believe & Achieve Family and Educational Center, Inc.,(``Believe & Achieve''), licensee of AM radio station WZUM in Carnegie, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On September 16, 2009, agents of the Commission's Philadelphia Office inspected radio station WZUM located in Carnegie, Pennsylvania, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook....'' A review of the station's EAS logs revealed that WZUM was monitoring only one EAS source. 47 C.F.R. 11.61(b): ``"Entries shall
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-295634A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-295634A1.pdf
- to Mount San Antonio Community College District, licensee of Noncommercial Educational FM Broadcast station KSAK in Walnut, CA. This Notice may be combined with a further action, if further action is warranted. On September 28, 2009, an agent of the Enforcement Bureau's Los Angeles Office inspected radio station KSAK in Walnut, CA, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection, the agent found that KSAK was only monitoring one assigned source, KFI (AM). Neither KFWB (AM) nor KNX (AM) was being monitored as
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- of each program in which the issue was treated....'' At the time of the inspection, the agents found that the issues/program lists in the public inspection files for KKSM were not drafted in a format that provided all the information as required by this rule section, and that the issues/programs lists for several quarters were missing. b. 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, the agents found that KKSM was not monitoring the second designated local primary (LP-2) radio station KLSD, San Diego, California. c. 47 C.F.R.
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- chapter for all broadcast streams . . . . '' At the time of the inspection, the agents found that there were no entries in the station log indicating why Required Weekly Tests (RWTs) and Required Monthly Test (RMTs) had been sporadically missed and what corrective actions were taken over the three months prior to the inspection. 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of inspection, the agents found that there was no record that EAS equipment was receiving the second designated local primary (LP-2) radio station KLSD, 1360 kHz,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-295833A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-295833A1.pdf
- to the Mountain Broadcasting LLC, licensee of AM broadcast station KOHI in Saint Helens, Oregon. This Notice may be combined with a further action, if further action is warranted. On October 15, 2009, an agent of the Enforcement Bureau's Portland Resident Agent Office inspected radio broadcast station KOHI in Saint Helens, Oregon and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection, the agent found that KOHI was monitoring only one EAS source and was not monitoring the required local primary (LP-1) station. 47 C.F.R.
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-295908A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-295908A1.pdf
- Radio Station WFRM and owner of antenna structure number 1026692 in Coudersport, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. On October 13 and 14, 2009, an agent of the Commission's Philadelphia Office inspected radio station WFRM and antenna structure number1026692 located in Coudersport, Pennsylvania and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook....'' A review of WFRM's EAS logs revealed that WFRM was properly monitoring only one EAS source. 47 C.F.R. 17.50(a): ``Antenna structures
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- of the Commission's Rules to L-Com Inc., the licensee of AM Radio Stations WHKS in Port Allegany, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. On October 15, 2009, an agent of the Commission's Philadelphia Office inspected radio station WHKS located in Port Allegany, Pennsylvania and observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...'' A review of WFRM's EAS logs revealed that WFRM was properly monitoring only one EAS source. As the nation's emergency warning system,
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- level was 80% of the authorized power. 47 C.F.R. 73.1745(a): ``No broadcast station shall operate at times, or with modes or power, other than those specified and made a part of the license.'' On the evening of August 18, 2009, the station did not reduce power from daytime levels to nighttime levels for over an hour. 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources.'' The second monitoring receiver on the EAS unit was not working at the time of inspection; the station was only monitoring one EAS source. The EAS logs showed that the last time the second receiver had worked was in March of 2009. During the inspection, the licensee found that the antenna had been
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- for more than thirty days, as required by 47 C.F.R. 73.1560(d). 47 C.F.R. 11.61 (a)(2): ``EAS participants shall conduct...required weekly tests.'' A review of the station's EAS logs revealed that entries were not made in the EAS logs to show required weekly EAS tests for the period between January 1, 2010 and January 14, 2010. 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' A review of WZSK's EAS logs revealed that WZSK was properly monitoring only one EAS source. There was no evidence that the station's EAS equipment was receiving the second
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- Rules to Clarion County Broadcasting Corp. ("Clarion"), the licensee of AM Radio Station WKQW in Oil City, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. On August 12, 2009, an agent of the Commission's Philadelphia Office inspected radio station WKQW located in Oil City, Pennsylvania, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook....'' The agent found that station WKQW was monitoring only one EAS source. 47 C.F.R. 11.61(b): ``Entries shall be made in EAS
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- York, Inc., licensee of AM radio station WTHE in Mineola, New York. This Notice may be combined with a further action, if further action is warranted. On December 2, 2009, an agent of the Enforcement Bureau's New York Office inspected WTHE's main studio located at 260 E. 2nd Street, Mineola, NY 11501, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . .'' The agent found that station WTHE was monitoring only one of its assigned EAS sources. 47 C.F.R. 11.61(b): "Entries
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- issued pursuant to Section 1.89 of the Commission's Rules to WLFM, LLC, licensee of television station WLFM-LP in Northfield, Illinois. This Notice may be combined with a further action, if further action is warranted. On January 28, 2010, agents of the Commission's Chicago Office inspected television Station WLFM-LP located at Northfield, Illinois, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable systems and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . .'' A review of the station's EAS logs revealed that WLFM-LP was monitoring only one EAS source. 47 C.F.R.
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- licensee of FM radio station WSOU in South Orange, New Jersey. This Notice may be combined with a further action, if further action is warranted. On May 6, 2010, an agent of the Enforcement Bureau's New York Office inspected WSOU's main studio located at 400 South Orange Avenue, South Orange, NJ 07079, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . .'' At the time of inspection, the agent determined that WSOU was monitoring only one source. As the nation's emergency
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- Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to MPS Media of Tennessee, LLC, licensee of digital TV station WFLI-TV, Cleveland, TN. On July 28, 2010, agents of the Enforcement Bureau's Atlanta Office monitored WFLI-TV, and then inspected the station's main studio in Chattanooga, TN on July 29, 2010 and observed the following violation(s): 47 C.F.R. 11.52(d): EAS participants must monitor two assigned EAS sources.'' The station was monitoring only one of the two assigned monitoring sources. 47 C.F.R. 73.1870(c)(3): The designated chief operator must review and sign the station logs on a weekly basis. The chief operator was not reviewing or signing the logs on a weekly basis. 47 C.F.R. 73.1201(a)(2): ``Broadcast station identification
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- Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to New Age Media of Tennessee License, LLC, licensee of television station WDSI-TV, Chattanooga,TN. On July 29, 2010, agents from the Enforcement Bureau's Atlanta Office inspected the station's main studio located in Chattanooga, TN and observed the following violation(s): 47 C.F.R. 11.52(d): ``EAS participants must monitor two assigned EAS sources.'' The station was monitoring only one of the two assigned EAS sources. 47 C.F.R. 11.61: ``(a)... All tests will conform with the procedures in the EAS Operating Handbook. ... (b) Entries shall be made in EAS Participant records, as specified in Sections 11.35(a) and 11.54(b)(13).'' The EAS Operating Handbook requires EAS
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- Community College District. (``SMCCD''), licensee of radio station KCRU(FM), Oxnard, California. This Notice may be combined with a further action, if further action is warranted. On June 17, 2010, an agent of the Enforcement Bureau's Los Angeles Office inspected KCRU(FM) at its main studio location at 1900 Pico Blvd. Santa Monica, California and observed the following violation: 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection, the agent observed that KCRU(FM) was not monitoring the correct local primary stations as required by the California and Ventura County EAS plan.
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- Licenseco LLC. (``Hero''), licensee of television station KBEH(TV), Oxnard, California. This Notice may be combined with a further action, if further action is warranted. On September 14, 2010, an agent of the Enforcement Bureau's Los Angeles Office inspected KBEH(TV) at its main studio location at 5757 W. Century Blvd., Los Angeles, California and observed the following violations: 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection, KBEH(TV) was not monitoring the correct local primary stations as required by the California and Ventura County EAS plan. 47 C.F.R. 11.35(a):
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- Corp. (``Iron River TV''), operator of a cable system in Iron River, Michigan. This Notice may be combined with a further action, if further action is warranted. On November 3, 2010, an agent of the Enforcement Bureau's Detroit Office inspected Iron River TV located at 316 North 2nd Avenue, Iron River, Michigan, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities..." At the time of the inspection, Iron River TV was monitoring only one source, LP1, WNMU. 47 C.F.R. 11.61(b):
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-303222A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-303222A1.pdf
- stations WOLV(FM), WHKB(FM) and WCCY(AM) in Houghton, Michigan. This Notice may be combined with further action, if further action is warranted. On August 3, 2010, an agent of the Enforcement Bureau's Detroit Office inspected co-located radio stations WOLV(FM), WHKB(FM) and WCCY(AM) at the stations' main studio at 313 Montezuma Avenue, Houghton, Michigan, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities...'' Stations WOLV, WHKB, and WCCY share Emergency Alert System (``EAS'') equipment. At the time of inspection, Heartland was not monitoring
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- pursuant to Section 1.89 of the Commission's Rules, to Oasis Christian Radio, Inc. (``Oasis''), licensee of radio station KAVS-LP in Fallon, Nevada. This Notice may be combined with a further action, if further action is warranted. On September 28, 2010, agents of the Enforcement Bureau's San Francisco Office inspected radio station KAVS-LP and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of the inspection, agents observed that the station KAVS-LP was monitoring only one EAS assigned source, the
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- For Communication & Development (``CFCD''), licensee of Station KMOJ in Minneapolis, Minnesota. This Notice may be combined with further action, if further action is warranted. On December 1, 2010, an agent of the Enforcement Bureau's Chicago Office inspected Station KMOJ at the station's main studio at 2123 West Broadway, Minneapolis, Minnesota, and observed the following violations: a. 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of inspection, Station KMOJ was monitoring only one EAS source. b. 47. C.F. R. 11.61(b): ``Entries
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- -16.40 432141 A SANTA ROSA TEL COOP 13.37 -8.42 23.79 67.21 TOTAL OREGON -2.68 -11.85 10.40 13.82 532226 C MIDVALE TEL EXCH -OR 19.05 -0.42 19.55 33.62 532359 C BEAVER CREEK COOP 2.97 -7.48 11.30 28.03 532361 C CENTURYTEL-OREGON -3.79 -6.48 2.88 -22.89 532362 C CANBY TEL ASSN -1.88 -5.62 3.96 0.00 532363 C CLEAR CREEK MUTUAL -1.97 -5.77 4.03 -11.52 532364 C COLTON TEL CO 6.85 -3.67 10.91 8.64 532369 C EAGLE TEL SYSTEMS 11.15 -3.44 15.11 16.11 532371 C CASCADE UTIL INC -2.92 -5.59 2.82 -100.00 532373 C GERVAIS TELEPHONE CO -3.10 -7.16 4.37 -7.39 532375 C ROOME TELECOMM INC 1.75 -5.43 7.60 0.07 532376 C HELIX TEL CO. -1.75 -10.92 10.29 -0.70 532377 C HOME TELEPHONE CO 4.71
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- -16.40 432141 A SANTA ROSA TEL COOP 13.37 -8.42 23.79 67.21 TOTAL OREGON -2.68 -11.85 10.40 13.82 532226 C MIDVALE TEL EXCH -OR 19.05 -0.42 19.55 33.62 532359 C BEAVER CREEK COOP 2.97 -7.48 11.30 28.03 532361 C CENTURYTEL-OREGON -3.79 -6.48 2.88 -22.89 532362 C CANBY TEL ASSN -1.88 -5.62 3.96 0.00 532363 C CLEAR CREEK MUTUAL -1.97 -5.77 4.03 -11.52 532364 C COLTON TEL CO 6.85 -3.67 10.91 8.64 532369 C EAGLE TEL SYSTEMS 11.15 -3.44 15.11 16.11 532371 C CASCADE UTIL INC -2.92 -5.59 2.82 -100.00 532373 C GERVAIS TELEPHONE CO -3.10 -7.16 4.37 -7.39 532375 C ROOME TELECOMM INC 1.75 -5.43 7.60 0.07 532376 C HELIX TEL CO. -1.75 -10.92 10.29 -0.70 532377 C HOME TELEPHONE CO 4.71
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- entries indicating reasons why any tests were not received or sent must be made in the broadcast station log as specified in Sections 73.1820 and 73.1840 of this chapter for all broadcast streams . . . ''At the time of inspection, the agents observed that the logs did not indicate why no monthly test was received. c. 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of the inspection, the agents observed that KRBS-LP was monitoring only one EAS source. d. 47 C.F.R.
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- Region, Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules to Cumulus Licensing L.L.C. (``Cumulus''), the licensee of radio station WWIZ in Mercer, Pennsylvania. On November 17, 2009, an agent of the Commission's Philadelphia Office inspected radio station WWIZ located in Mercer, Pennsylvania and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, Cumulus was not monitoring Local Primary 2 station WKPL. The Pennsylvania State Plan specifies that WWIZ must monitor Local
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- 1.89 of the Commission's Rules to Enrico S. Brancadora, licensee of AM Station WIBG in Ocean City, New Jersey. This Notice may be combined with a further action, if further action is warranted. On January 25, 2011, agents of the Commission's Philadelphia Office inspected AM Station WIBG in Ocean City, New Jersey and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities...'' The Emergency Alert System Plan for New Jersey specifies that WIBG must monitor a Primary Entry Point Station and WFPG 96.9 MHz. At the time
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- to section 1.89 of the Commission's Rules to Clear Communications, Inc., licensee of FM Station WVLT in Vineland, New Jersey. This Notice may be combined with a further action, if further action is warranted. On May 31, 2011, agents of the Commission's Philadelphia Office inspected FM Station WVLT in Vineland, New Jersey and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities...'' The Emergency Alert System Plan for New Jersey specifies that WVLT must monitor a Primary Entry Point Station and WENJ 97.3 MHz. At the time
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- of the Plains, Inc. (``Knology''), operator of a cable system in Watertown, South Dakota. This Notice may be combined with a further action, if further action is warranted. On June 21 and June 23, 2011, an agent of the Enforcement Bureau's Denver Office inspected a cable system located at Watertown, South Dakota, and observed the following violation(s): 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan...'' The State Plan, revised as of December 15, 2009, specified the LP-2 assignment to be KXLG-FM, Milbank, SD, on 99.1 MHz versus KIXX-FM, Watertown, SD, on 96.1 MHz. 47 C.F.R. 11.61(a):
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- of the Commission's Rules, to Mediacom California, LLC (``Mediacom''), operator of a cable system in Ridgecrest, California. This Notice may be combined with a further action, if further action is warranted. On September 28, 2011, an agent of the Enforcement Bureau's Los Angeles Office inspected a cable system located at Ridgecrest, California, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ...'' At the time of the inspection the EAS encoder decoder was not monitoring either of the LP-1 sources and was only receiving the LP-2 broadcast station KRAJ as a source for
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- This is a Notice of Violation (``Notice'') issued pursuant to section 1.89 of the Commission's Rules to Lake Michigan Broadcasting Inc, licensee of Station WKLA-FM in Ludington, Michigan. On September 15, 2011, an agent of the Commission's Detroit Office inspected radio station WKLA-FM located at 5941 West U.S. 10 in Ludington, Michigan, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of inspection, Station WKLA-FM was monitoring only one EAS source. 47 C.F.R. 11.35: ``(a) Appropriate entries
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- Communications, Inc., licensee of AM Station WRIV in Mineola, New York. This Notice may be combined with a further action, if further action is warranted. On October 17, 2011, an agent of the Enforcement Bureau's New York Office inspected Station WRIV's main studio located at 40 West Main Street, Riverhead, New York, and observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . .'' The agent found that Station WRIV was monitoring only one of its assigned EAS sources. As the nation's emergency
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- Enforcement Bureau: This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's rules to Cantroair Communications Inc. (``Cantroair''), licensee of AM Station WTZN in Troy, Pennsylvania. On November 3, 2011, agents of the Enforcement Bureau's Philadelphia Office inspected Station WTZN located at 1233 Redington Avenue, Troy, Pennsylvania, and observed the following violations: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook....'' According to the Pennsylvania State EAS Plan, Station WTZN is required to monitor WGGY-FM and WVIA-FM. At the time of inspection, WTZN
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- radio station KPAM, in Troutdale, Oregon, was experiencing interference from KTRB, a co-channel station (860 kHz), in San Francisco, California. On October 21, 2011, agents of the Enforcement Bureau's San Francisco Office investigated the allegation. During the course of the investigation, the agents inspected radio station KTRB(AM) located at San Francisco, California, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of the inspection, agents observed that station KTRB(AM) was monitoring only one EAS assigned source, the LP-1
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311713A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311713A1.pdf
- Sec. 11.61(a)(1) and (a)(2). Appropriate entries indicating reasons why any tests were not received must be made in the . . . cable system records as specified in Sections 76.1700, 76.1708, and 76.1711 of this chapter.'' At the time of the inspection, personnel were unable to demonstrate to agents that the EAS encoder and decoder were functional. 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' A review of Cequel's EAS logs revealed that Cequel was monitoring only one EAS source. 299.88 V/m 2) Behind 41317
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- of the Commission's Rules, to CALNEVA Broadband, LLC (``CALNEVA''), operator of a cable system in Westwood, California. This Notice may be combined with a further action, if further action is warranted. On August 25, 2011, an agent of the Enforcement Bureau's San Francisco Office inspected a cable system located at Westwood, California, and observed the following violation(s): 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan...'' The State Plan specifies the LP-1 assignment as KKOH-AM, Reno, NV, which was not being monitored by the cable system. 47 C.F.R. 11.61(a): ``EAS Participants shall conduct tests at regular intervals,
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- Merced, L.L.C. (``KM Radio''), licensee of radio station KBKY in Merced, California. This Notice may be combined with a further action, if further action is warranted. On July 14, 2011, an agent of the Enforcement Bureau's San Francisco Office inspected KM Radio's main studio located at 2855 G Street, Merced, California 95340, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan...'' The State Plan specified the LP-2 assignment to be KFSN-TV Channel 30, Fresno, CA. At the time of inspection KBKY was not monitoring the LP2 station. 47 C.F.R. 11.35(a): ``EAS Participants
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- 1.89 of the Commission's Rules, to Brahmin Broadcasting Corporation (``Brahmin''), licensee of radio station KANT, Guernsey, WY. This Notice may be combined with a further action, if further action is warranted. On August 16, 2011, an agent of the Enforcement Bureau's Denver Office inspected the KANT main studio, located in Wheatland, WY, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ...'' At the time of the inspection, the KANT was monitoring a source other than those authorized as LP-2 sources for Wyoming EAS Area 5 within the Wyoming State EAS Plan. 47
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- 1.89 of the Commission's Rules, to Brahmin Broadcasting Corporation (``Brahmin''), licensee of radio station KPAD, Wheatland, WY. This Notice may be combined with a further action, if further action is warranted. On August 16, 2011, an agent of the Enforcement Bureau's Denver Office inspected the KPAD main studio located in Wheatland, WY, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ...'' At the time of the inspection, KPAD was monitoring a source other than those authorized as LP-2 sources for Wyoming EAS Area 5 within the Wyoming State EAS Plan. 47 C.F.R.
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- Section 1.89 of the Commission's Rules, to Brahmin Broadcasting Corporation, licensee of radio station KRQU, Chugwater, WY. This Notice may be combined with a further action, if further action is warranted. On August 16, 2011, an agent of the Enforcement Bureau's Denver Office inspected the KRQU main studio, located in Wheatland, WY, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ...'' At the time of the inspection, KRQU was monitoring a source other than those authorized as LP-2 sources for Wyoming EAS Area 5 within the Wyoming State EAS Plan. 47 C.F.R.
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312185A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312185A1.pdf
- Sections 73.1820 and 73.1840 of this chapter for all broadcast streams . . . . '' At the time of the inspection, the agent found that there were no entries in the station logs indicating why tests had not been received from the station's monitoring sources for the period between August 1, 2011 and October 26, 2011. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . .'' At the time of inspection, the agents determined that Station WFAI was monitoring only one of its assigned EAS
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- Region, Enforcement Bureau: This is a Notice of Violation (Notice) issued pursuant to Section 1.89 of the Commission's Rules, to Wings Communications, Inc., licensee of AM Station WELE, Ormond Beach, Florida. On December 15, 2011, agents of the Enforcement Bureau's Tampa Office (Tampa Office) inspected Station WELE located in Ormond Beach, Florida, and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ...'' At the time of the inspection, Station WELE was monitoring two LP2 sources, rather than the LP1 and LP2 stations assigned in the Florida State EAS Plan. 47 C.F.R. 73.1590(a)(6):
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- Director, New Orleans Office, South Central Region, Enforcement Bureau: This is a Notice of Violation (Notice) issued pursuant to Section 1.89 of the Commission's rules to Wagenvoord Advertising Group, Inc., licensee of Station KLRG-AM in Sheridan, Arkansas. On January 25, 2012, an agent of the Commission's New Orleans Office inspected Station KLRG-AM and observed the following violations: 47 CFR 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of inspection, Station KLRG-AM was monitoring the National Weather Service but was not monitoring the two assignments
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312655A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312655A1.pdf
- in the broadcast station log as specified in Sections 73.1820 and 73.1840 of this chapter for all broadcast streams... '' At the time of the inspection, there were no entries in the station's logs indicating why KBEN-FM did not receive numerous Required Weekly Tests from KZMQ-FM during the period from May 29, 2011, to August 13, 2011. 47 C.F.R. 11.52(d): ``...EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan....'' At the time of inspection, KBEN-FM was monitoring an incorrect source as its LP-2. KBEN was found monitoring KPOW-AM, 1230 kHz, instead of Wyoming Public Radio (KUWP-FM) as required in the WY
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- in the broadcast station log as specified in Sections 73.1820 and 73.1840 of this chapter for all broadcast streams... '' At the time of the inspection, there were no entries in the station's logs indicating why KWHO did not receive numerous Required Weekly Tests from KZMQ-FM during the period from May 29, 2011, to August 13, 2011. 47 C.F.R. 11.52(d): ``...EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan....'' At the time of inspection, KWHO was monitoring an incorrect source as its LP-2. KWHO was found monitoring KPOW-AM, 1230 kHz, instead of Wyoming Public Radio (KUWP-FM) as required in the WY
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- Enforcement Bureau: This is a Notice of Violation (Notice) issued pursuant to Section 1.89 of the Commission's rules to KCBD License Subsidiary, LLC, licensee of station KCBD-TV in Lubbock, Texas. On February 2 2012, an agent of the Commission's Dallas Office inspected the main studio of Station KCBD-TV located at Lubbock, Texas, and observed the following violation(s): 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station, cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of the inspection, Station KCBD-TV was not monitoring the assigned LP2 Station, KRIA (103.9 MHz, FM). 47 C.F.R.
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- South Central Region, Enforcement Bureau: This is a Notice of Violation (Notice) issued pursuant to Section 1.89 of the Commission's rules to Murphy D. Boughner, licensee of Station KGCT-CD in Nowata, Oklahoma. On February 29 2012, an agent of the Commission's Dallas Office inspected the TV Station KGCT-CD located at Nowata, Oklahoma, and observed the following violation(s): 47 C.F.R. 11.52(d): ``EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station, cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of the inspection, Station KGCT-CD was found monitoring an incorrect source as its LP-2, KHTT, 106.9 MHz, instead
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314315A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314315A1.pdf
- 1.89 of the Commission's rules (Rules) to Quinn Broadcasting, Inc (Quinn), licensee of AM Station WMVB in Millville, New Jersey. This Notice may be combined with a further action, if further action is warranted. On June 28, 2011, agents of the Commission's Philadelphia Office inspected AM Station WMVB in Millville, New Jersey and observed the following violations: 47 C.F.R. 11.52(d): ``EAS Participants ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' The Emergency Alert System Plan for New Jersey specifies that WMVB must monitor WENJ Millville 97.3 FM as well as a Primary Entry Point Station.
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- Order issued by the Enforcement Bureau in this proceeding. Pursuant to Section 503(b) of the Communications Act of 1934, as amended (``the Act'') and Section 1.80 of the Commission's Rules (``the Rules'') the former Compliance and Information Bureau ("CIB") found WGUL-FM, Inc. liable for a monetary forfeiture in the amount of $7,000 for willful and continuous violation of rule sections 11.52(d) (EAS code and attention signal monitoring requirements), 11.61(a) (tests of EAS procedures), and 73.3526(c) (availability of public inspection file for public inspection). For the reasons discussed below, we lower the forfeiture to $5,000. BACKGROUND 2. In response to a complaint concerning unintentional emissions, the Tampa Florida Field Office ("Field Office") inspected WINV(AM)'s operating facilities. The inspection revealed the aforementioned violations.
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- a period of more than 30 days. 47 C.F.R. 73.1560(d). 47 C.F.R. 73.49. We note that the Fort Louise Augusta site, where WSTX(AM)'s antenna is located, is directly adjacent to a public beach. 47 C.F.R. 11.35. Broadcast stations which are co-owned and co-located with a combined studio may share EAS equipment. See 47 C.F.R. 11.51(j) and 11.52(c). 47 C.F.R. 73.3526. Federal Communications Commission FCC 01-44 Federal Communications Commission FCC 01-44 0 0 0 0 0 0 0 ` 0
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- for marine areas would be used in conjunction with special ``CCC'' codes. The special ``CCC'' codes have not yet been designated. SBE Petition at 8. NWS Petition at 1, 3-4. SBE Comments at 2-3. 47 C.F.R. 11.31(d). 47 C.F.R. 11.34; see also 47 C.F.R. Part 2, Subpart J. See 47 C.F.R. 2.1043. See 47 C.F.R. 11.51(l), 11.52(e)(2) and 11.61(a)(1)(v). SBE Petition at 3. NAB Comments at 3; Fox Comments at 1-2. Id. at 6. Id. NWS Petition at 1; NWS Letter at 3-4. 47 C.F.R. 11.33(a)(4) and (a)(5). Id. at 10-11. Id. Id. at 11. See 47 C.F.R. 11.51(j) and 11.52(c). SBE Petition at 14. 47 C.F.R. 11.32(a)(5). SBE Petition at 16. Memorandum from
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- (l) Broadcast stations and cable systems and wireless cable systems may employ a minimum delay feature, not to exceed 15 minutes, for automatic interruption of EAS codes. However, this may not be used for the EAN event which must be transmitted immediately. The delay time for an RMT message may not exceed 60 minutes. * * * * * Section 11.52 is amended by revising paragraph (e)(2) to read as follows: 11.52 EAS Code and Attention Signal Monitoring requirements. * * * * * (e) * * * (2) Manual interrupt of programming and transmission of EAS messages may be used. EAS messages with the EAN Event code must be transmitted immediately and Monthly EAS test messages within 60 minutes.
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- Investigation also appears to establish that CVES moved its antenna to another tower at the same location as the mast on which KAJP's former, non-conforming antenna was mounted, without a construction permit for the new antenna. We will specify an issue to determine whether Zawila, AES, or CVES willfully and/or repeatedly violated Section 73.1690(b)(2). 106. Sections 11.15, 11.35(a), 11.35(c), and 11.52(d) of our Rules require a licensee to have an Emergency Alert System (EAS) handbook, to make appropriate entries in the EAS log, to have EAS receiving equipment in operation, to make an entry in the log explaining why the EAS tests were not received and the date and time the EAS equipment had been removed from and returned to service,
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- EAS decoders are able to directly monitor and decode NWS SAME codes with the addition of any ordinary weather radio receiver and off-the-shelf connections to the EAS decoder. 47 C.F.R. 11.31(c). All broadcast stations and cable systems have EAS designations that describe their functions within EAS. See 47 C.F.R. 11.18. 47 C.F.R. 11.14. 47 C.F.R. 11.21, 11.52(d). The broadcast stations and cable systems must monitor at least two EAS sources to reduce the likelihood of a single point of failure preventing an EAS message from propagating through the system. The State Relay Network is composed of State Relay sources, leased common carrier communications facilities, or any other available communication facilities. In addition to EAS monitoring, satellites, microwave,
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- users in June 2005 and that number continues to decrease and (2) as HSD users receive programming directly from programmers, it would be very burdensome for HSD providers to distribute EAS messages to subscribers. Administrative Matters . and from the general FCC information number 1888-CALLFCC. Further, we amend section 11.41 to change "Operating Handbook" to "EAS Operating Handbook." In section 11.52(b) of our rules, we change the reference to 11.51(j)(2) to 11.51(m)(2). Section 11.53(c) provides that, prior to commencing operations, broadcast stations must determine whether the EAS has been activated by monitoring the assigned EAS sources. In order to clarify how EAS monitoring assignments are determined, we amend this section to add the following to the end of section 11.53(c): ``as
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- users in June 2005 and that number continues to decrease and (2) as HSD users receive programming directly from programmers, it would be very burdensome for HSD providers to distribute EAS messages to subscribers. Administrative Matters . and from the general FCC information number 1888-CALLFCC. Further, we amend section 11.41 to change "Operating Handbook" to "EAS Operating Handbook." In section 11.52(b) of our rules, we change the reference to 11.51(j)(2) to 11.51(m)(2). Section 11.53(c) provides that, prior to commencing operations, broadcast stations must determine whether the EAS has been activated by monitoring the assigned EAS sources. In order to clarify how EAS monitoring assignments are determined, we amend this section to add the following to the end of section 11.53(c): ``as
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- technology may be used to distribute state emergency messages. 47 C.F.R. 11.20. 47 C.F.R. 11.18(d). Upon activation of the national level EAS, NN sources are required to broadcast the EAS codes, Attention Signal, and the sign-off announcement in the EAS Operating Handbook, and then stop operating. All NN sources are required to comply with 47 C.F.R 11.51, 11.52 and 11.61. 47 C.F.R. 11.31. Under this protocol, an EAS alert uses a four-part message: (1) preamble and EAS header codes (these codes contain information regarding the identity of the sender, the type of emergency, its location and valid time period of the alert); (2) audio attention signal; (3) message; and (4) preamble and EAS end of message codes.
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- cost and benefits associated with ensuring that CAP-formatted EAS messages are converted into SAME-compliant messages? How could any requirements we might consider be tailored to impose the least amount of burden on those affected? To the extent feasible, what explicit performance objectives should we specify to facilitate monitoring the success of any potential course of action? CAP-Related Monitoring Requirements Section 11.52 sets forth the basic monitoring requirements that EAS Participants must follow to facilitate receipt of EAS alert messages. This section requires EAS Participants to monitor two EAS sources, which are assigned in the State Area EAS Plan. While the Second Report and Order codified in section 11.56 the general obligation of EAS Participants to receive CAP-formatted EAS alerts, it did
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- any interested party and procedures for amending the ECIG Implementation Guide moving forward. We encourage ECIG to review, and if necessary amend, its internal processes, bylaws, or other administrative governance documents to ensure that transparent participation for all interested parties is effectively institutionalized. We will revisit this issue if it becomes a problem in the future. CAP-Related Monitoring Requirements Section 11.52 sets forth the basic monitoring requirements that EAS Participants must follow to facilitate receipt of EAS alert messages. This section requires EAS Participants to monitor two EAS sources, which are assigned in the State EAS Plan. In the Third FNPRM, we observed that, although the Second Report and Order codified in section 11.56 the general obligation of EAS Participants to
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- and the originator of the alert message. Id. at 2, n. 4. National level EAS messages and EAS tests must be forwarded to the public upon receipt. EAS participants transmit state and local messages on a voluntary basis. Id. at 2. Specifically, EAS equipment must be able to perform the functions described in sections 11.31, 11.32, 11.33, 11.51, 11.52, and 11.61 of our rules. Class D noncommercial educational FM and LPTV stations are not required to install or operate encoders as defined in section 11.32, to have equipment capable of generating the EAS codes and Attention Signal specified in section 11.31, or to perform certain parts of EAS tests. Accordingly, we amend section 11.11(b) to provide that LPFM stations,
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- Status > 30 Days 0 0 0 0 0 0 0 0 0 0 PR-8-02-3100 Open Orders in a Hold Status > 90 Days 0 0 0 0 0 0 0 0 0 0 PR-9- Hot Cuts PR-9-01-3520 % On Time Performance Hot Cut 98.02 97.24 98.28 NA 99.31 PR-9-08-3520 Average Duration of Service Interruption 16.61 12.25 13.8 12.98 11.52 POTS & Complex Aggregate PR-2 Average Completed Interval 2-Wire Digital Services PR-2 Average Completed Interval PR-2-01-3341 Av. Interval Completed Total No Dispatch 1.75 6.02 1.84 3.67 b PR-2-02-3341 Av. Interval Completed Total Dispatch 4.4 5.82 4.46 6.29 PR-4 - Missed Appointments PR-4-02-3341 Average Delay Days Total 7.35 17.5 6.26 4.5 4.31 2.33 4.62 3 4.74
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- 15 47 C.F.R. 11.18. State EAS plans contain guidelines that must be followed by broadcast and cable personnel, emergency officials and National Weather Service personnel to activate the EAS for state and local emergency alerts. The state plans include the EAS header codes and messages to be transmitted by the primary state, local and relay EAS sources. 16 47 C.F.R. 11.52(d). 17 47 C.F.R. 11.11. 18 47 C.F.R. 11.35. 19 47 C.F.R. 11.61. The required monthly and weekly tests are required to conform with the procedures in the EAS Operational Handbook. See also, Amendment of Part 11 of the Commission's Rules Regarding the Emergency Alert System, EB Docket No. 01-66, Report and Order, FCC 02-64 (Feb. 26, 2002); 67 Fed Reg
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- NAL/Acct. No. 200332360005 South Haven, Michigan ) ) FRN: 0007 1714 32 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: April 17, 2003 By the District Director, Detroit Office, Enforcement Bureau: I. INTRODUCTION 1. In this Notice of Apparent Liability for Forfeiture ("NAL"), we find that WSJM, Inc., (?WSJM?), licensee of radio station WGMY, South Haven, Michigan, has apparently violated Sections 11.52(d), 11.61(a)(2)(i)(A), 17.4(a), 17.47(a)(1), 17.51(a), 73.1820(a)(1)(i), 73.1820(a)(1)(iii), and 73.1870(c)(3) of the Commission's Rules (?Rules?)1. Respectively, these sections require that the station monitor two EAS sources specified in the State EAS Plan; conduct tests of the EAS header and EOM codes at least once a week at random days and times; register the two antenna structures; observe the antenna structure's lights at
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- Niagara Falls, New York ) 200332280004 ) FRN: 0004-9421-24 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: January 28, 2003 By the Resident Agent, Buffalo Office, Enforcement Bureau: I. INTRODUCTION 1. In this Notice of Apparent Liability for Forfeiture (``NAL''), we find that M.J. Phillips Communications, Inc (``Phillips''), licensee of radio station WJJL, Niagara Falls, New York, apparently violated Sections 11.35(a), 11.52(d), 17.4(a), and 73.1560(a)(1)1 of the Commission's Rules (``Rules'') by failing to determine cause of any failure to receive the required EAS tests or activations and make the appropriate log entries, failing to monitor two EAS sources, failing to register the antenna structure, and failing to maintain operating power within 105 % of the authorized power. We conclude that Phillips is
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- LIABILITY FOR FORFEITURE Released: October 14, 2003 By the Enforcement Bureau, Tampa Office: I. INTRODUCTION 1. In this Notice of Apparent Liability for Forfeiture (``NAL''), we find Gore-Overgaard Broadcasting, Inc. (``Gore-Overgaard''), licensee of AM radio station WROD, Daytona Beach, Florida, apparently liable for a forfeiture in the amount of two thousand dollars ($2,000) for repeated and willful violation of Section 11.52(d) of the Commission's Rules (``Rules'').1 Specifically, we find Gore-Overgaard apparently liable for failing to monitor the required Emergency Alert System (``EAS'') sources. II. BACKGROUND 2. On February 7, 2002, agents from the FCC Enforcement Bureau's Tampa Field Office (``Tampa Office'') inspected station WROD (AM) in Daytona Beach, Florida. The agent found the station's EAS receivers not monitoring the assigned sources.
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- specified in paragraph (b) of this section.'' At the time of inspection, station WIMG-AM operated their Studio Transmitter Link ("STL") on 949.50 MHz at their main studio, which is an unauthorized location. WIMG-AM license, WMU826, specifies that Morris B/C Company of N.J., Inc. operate a STL on 949.50 MHz at 555 West Ingham Avenue, Ewing, New Jersey. b. 47 C.F.R. 11.52(d): ````Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'''' At the time of inspection, station WIMG-AM was monitoring station WPST-FM and the National Weather Service as EAS sources. However, the station must also monitor
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- the District Director, Detroit Office, Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Gerald Parks, licensee of radio station WEKC. 2. On December 16, 2003, an agent of the Commission's Detroit Office inspected radio station WEKC located at Williamsburg, Kentucky, and observed the following violation(s): 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, WEKC was monitoring one EAS source. 2.b. 47 C.F.R. 73.3526(e)(5): ``Contents of the file. The material required to be
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- actions to be taken by personnel at broadcast stations...A copy of the Handbook must be located at normal duty positions or EAS equipment locations when an operator is required to be on duty and be immediately available to staff responsible for authenticating messages and initiating actions.'' At the time of inspection, no EAS Operating Handbook was available. 2.b. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, one EAS source was being monitored. 2.c. 47 C.F.R. 11.61(a)(2)(i)(A): ``Tests of EAS procedures...Required Weekly Tests:...AM, FM and TV
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- Director, Detroit Office, Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Vernon R. Baldwin, Inc., licensee of radio station WWLT. 2. On December 16, 2003, an agent of the Commission's Detroit Office inspected radio station WWLT, licensed to Manchester, Kentucky, and observed the following violation(s): 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, the incorrect EAS sources were being monitored. 2.b. 47 C.F.R. 73.1820(a)(1)(iii): ``Station Log. Entries must be made in the
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- By the District Director, Chicago Office, Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to NM Licensing, LLC, licensee of radio station WLLI-FM. On January 8, 2004, an agent of the Commission's Chicago Office inspected radio station WLLI-FM, located in Joliet, Illinois and observed the following violation(s): 5.a. 47 C.F.R. 11.52(d): ``Broadcast stations ...must monitor two EAS sources. The monitoring assignments of each broadcast station...are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection there was no record of the station monitoring WGN, the designated LP-2 for that area. 5.b. 47 C.F.R. 11.61(a)(1)(v): ``...These monthly tests must be transmitted within 60 minutes of receipt by
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- the District Director, Chicago Office, Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to NM Licensing, LLC, licensee of radio station WRXQ. On January 8, 2004, an agent of the Commission's Chicago Office inspected radio station WRXQ, located in Crest Hill, Illinois, and observed the following violation(s): 5.a. 47 C.F.R. 11.52(d): ``Broadcast stations ...must monitor two EAS sources. The monitoring assignments of each broadcast station...are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection there was no record of the station monitoring WGN, the designated LP-2 for that area. 5.b. 47 C.F.R. 11.61(a)(1)(v): ``...These monthly tests must be transmitted within 60 minutes of receipt by
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- actions to be taken by personnel at broadcast stations...A copy of the Handbook must be located at normal duty positions or EAS equipment locations when an operator is required to be on duty and be immediately available to staff responsible for authenticating messages and initiating actions.'' At the time of inspection, no EAS Operating Handbook was available. 2.b. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, only one EAS source was being monitored and it was an incorrect EAS source. 2.c. 47 C.F.R. 11.61(a)(2)(i)(A): ``Tests
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- (``Comcast''), the operator of a cable system in Pennsauken, New Jersey. 2. On March 10, 2004, an agent of the Commission's Philadelphia Office inspected the Emergency Alert System (``EAS'') at Comcast's head-end in Audobon, New Jersey. This is the principal head-end that serves the Pennsauken, New Jersey community. During the inspection, the Philadelphia Office found the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station, cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' Comcast was monitoring WPST 97.5 MHz, WKDN 106.9 MHz and the National Weather Service
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- Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Cedar Creek Radio Company, Inc., licensee of station KCKL(FM) in Malakoff, Texas. 2. On December 17, 2003, an agent of the Commission's Dallas Office inspected FM broadcast station KCKL, licensed to Malakoff, Texas, and observed the following violations: 2)a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' During calendar year 2003, there were no weeks in which the station logs of station KCKL(FM) contained more than one entry of
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- and any other instrument of station authorization shall be posted in a conspicuous place. At the time of inspection no station authorization was posted or found at the station. The public file inspected at the public library did have a copy of the station authorization with expiration date of June 1, 1997. No renewal card was found. 2.b. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, only one EAS source, WIBW-FM, was being monitored and the station logs reflected receiving only one source. Logs from
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- Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to GB Enterprises Communications, Corp., licensee of the radio station WHNR (AM). 2. On March 22, 2004, agents of the Commission's Tampa Office inspected radio station WHNR (AM), licensed to Cypress Gardens, Florida and observed the following violations: 2.a. 47 C.F.R. 11.52 (d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection the station was not monitoring the two assigned EAS sources. 2.b. 47 C.F.R. 11.61(a)(1)(v): ``...monthly
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- an agent of the Commission's Kansas City Office inspected AM Broadcast radio station KXLQ, licensed to Indianola, Iowa and observed the following violations: 2.a. 47 C.F.R. 11.15: All stations are to maintain an EAS Operating Handbook. The handbook is to be available at All EAS control points. At the time of inspection no EAS Handbook was available. 2.b. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, only one EAS source, WHO-AM, was being monitored and the station logs reflected receiving only one source. Only three
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- 11.61(a)(1) and (2). Appropriate entries must be made in the broadcast station log as specified in 73.1820 and 73.1840 of this chapter ... indicating reasons why any tests were not received.'' No entries were made in KHPU's station logs to indicate why records were absent in the logs for the reception of the required second monitored source. 2)b. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of the inspection, only one of the three EAS receivers
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- Director, Detroit Office, Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Associated Christian Broadcasters, Inc., licensee of radio station WTGN. 2. On August 9, 2004, an agent of the Commission's Detroit Office inspected radio station WTGN, licensed to Lima, Ohio, and observed the following violations: a. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of inspection, WTGN was monitoring station WIMT(FM) and the National Weather Service as EAS sources. However, the station must also monitor station WUZZ-FM,
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- operated by Cox Communications, Inc.: Site Address Bell 1550 W. Deer Valley Rd., Phoenix, AZ East Mesa 4437 E. Holmes Ave., Mesa, AZ Fowler 6610 Van Buren St., Phoenix, AZ McDowell 3008 E. McDowell Rd., Phoenix, AZ Peoria 9534 W. Peoria Ave., Peoria, AZ Scottsdale North 28213 N. 64th St., Scottsdale, AZ The agent observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station, cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' Cox Communications, Inc. had the capability to monitor two EAS sources but failed to
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- Office, Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Rama Communications, Inc., licensee of radio station WTIR-AM. 2. On May 6, 2004, agents of the Commission's Tampa Office inspected radio station WTIR-AM located at 2365 Pluckebaum Road, Cocoa Beach, FL 32926, and observed the following violation(s): 47 C.F.R. 11.52 (d): EAS code and Attention Signal Monitoring requirements. ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Map book. At the time of the inspection the station was not monitoring the two
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- Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Qwest Broadband Services Inc., operator of a cable system serving Omaha, NE. 2. On March 1, 2005, an agent of the Commission's Kansas City Office inspected the cable system serving Omaha, Nebraska and observed the following violations: 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources.'' At the time of the inspection, only KFAB was monitored as evidenced by listening to input sources on the EAS encoder/decoder and observations made at the EAS receiver. 2.b. 47 C.F.R. 76.1702: ``(a) Every employment unit with six or more full-time employees shall maintain for public
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- Encoders, EAS Decoders and Attention Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation.4 Broadcast station licensees are also required to receive, interrupt normal program, and transmit certain EAS messages.5 When facilities are unattended, Sections 11.51 and 11.52 of the Rules require licensees to employ automatic systems to interrupt programming and transmit certain EAS messages.6 On March 1, 2005, the EAS unit for Station KNSX(FM) was installed at its unattended KNSX transmitter site and set in manual mode. The owner of Twenty-One Sound claimed to visit the site occasionally to transmit manually the required weekly and monthly EAS
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- located at 1884 Plain Avenue, Aurora, Illinois, and observed the following violation(s): 5.a. 47 C.F.R. 11.15: ``A copy of the EAS Operating Handbook must be located at normal duty positions ... and be immediately available to staff responsible for authenticating messages and initiating actions.'' At the time of the inspection, the EAS Operating Handbook was not available. 5.b. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system ... are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection, WKKD was not monitoring the assigned LP-1, WBBM, Chicago, Illinois. 5.c. 47 C.F.R. 73.1820(a)(1)(iii): ``An entry of each test and activation of the
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- knowingly.4 The term ``repeated'' means the commission or omission of such act more than once or for more than one day.5 6. Section 11.35(a) of the Rules states that broadcast stations are responsible for ensuring that EAS equipment is installed ``so that the monitoring and transmitting functions are available during the times the station and systems are in operation.'' Section 11.52(d) of the Rules states that broadcast stations must monitor two EAS sources.6 On March 17, 2005, station KTCM's only receiver attached to its EAS unit was turned off. Thus, its EAS unit was incapable of monitoring either of its two assigned EAS sources. Its EAS unit also could not transmit the required EAS messages, because it could not receive any
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- Bureau: 1. This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules,1 to Birmingham Christian Radio, Inc., licensee of radio station WLPH(AM). 2. On March 7, 2005, an agent of the Commission's Atlanta Office of the Enforcement Bureau inspected radio station WLPH(AM) located in Irondale, Alabama, and observed the following violations: 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station was monitoring only one broadcast source. 2.b. 47 C.F.R. 11.61(a): EAS ``[t]ests shall be made at regular intervals as indicated
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- of the EAS are installed so that the monitoring and transmitting functions are available during the time the stations and systems are in operation.'' At the time of inspection, the EAS encoder was activated for a test. The EAS equipment indicated that a test was being sent, but the test was not transmitted by the station over-the-air. 2.c. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station's EAS decoder was attached to two receivers, but neither receiver appeared to be functioning properly. The logs indicated that no
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- Bureau: 1. This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules,1 to Birmingham Christian Radio, Inc., licensee of radio station WRAG(AM). 2. On March 8, 2005, an agent of the Commission's Atlanta Office of the Enforcement Bureau inspected radio station WRAG(AM) located in Carrollton, Alabama, and observed the following violations: 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' One of the two receivers utilized for the station's EAS system was tuned to 87.5 MHz, which is neither an assigned source
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- Bureau: 1. This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules,1 to Birmingham Christian Radio, Inc., licensee of radio station WLPH(AM). 2. On March 7, 2005, an agent of the Commission's Atlanta Office of the Enforcement Bureau inspected radio station WLPH(AM) located in Irondale, Alabama, and observed the following violations: 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station was monitoring only one broadcast source. 2.b. 47 C.F.R. 11.61(a): EAS ``[t]ests shall be made at regular intervals as indicated
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- the contents of the public inspection file and found it missing the issues/programs lists for the third and fourth quarters of 2004. No employee at the station could find the lists or make them available to the agent. 3. On August 25, 2005, the Atlanta Office issued BCR a Notice of Violation (``NOV'') for violating, among other things, Sections 11.35(a), 11.52(d), and 73.3526(c) of the Rules.5 In its reply to the NOV, received September 21, 2005, BCR stated that the EAS encoder and receivers had been incorrectly installed at the time of the March 7, 2005 inspection, but that the equipment had been installed correctly on or about August 30, 2005. BCR also stated that it had placed the missing issues/programs
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- authorization granted by the Commission under the provisions of this part, except as specified in paragraph (b) of this section.'' The license for station WMG542 authorizes WZK to operate on the frequency 946.0 MHz. During the inspection on August 15, 2005, the agent found that WZK was operating station WMG542 on the unauthorized frequency of 946.5 MHz. 2.b. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' During the inspection, the agent found that WCZT was monitoring only one EAS
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- ORDERED that a copy of this Notice of Apparent Liability for Forfeiture shall be sent by Certified Mail, Return Receipt Requested, and regular mail, to WSKQ Licensing, Inc. and WPAT Licensing, Inc. at their address of record. FEDERAL COMMUNICATIONS COMMISSION Daniel W. Noel District Director, New York Office Northeast Region Enforcement Bureau _________________________ 147 C.F.R. 11.35(a). 247 U.S.C. 503(b). 3Section 11.52(c) of the Rules provides that ``[b]roadcast stations . . . that are co-owned and co-located with a combined studio or control facility . . . may comply with the EAS monitoring requirements contained in this section for the combined station or system with one EAS Decoder.'' 47 C.F.R. 11.52(c). 4We also note that the corporate engineer for the Spanish Broadcasting
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- 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Rama Communications, Inc., licensee of radio station WNTF (AM). 2. On February 17, 2006, agents of the Commission's Tampa Office of the Enforcement Bureau inspected radio station WNTF (AM) located in Bithlo, Florida and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection the station was monitoring only one of the assigned EAS sources. b. 47 C.F.R. S 11.61(a): EAS
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- 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Charter Communications Inc., operator of a cable system serving Marshall, Texas. 2. On June 6, 2006, an agent of the Commission's Dallas Office inspected your cable television EAS system located in Marshall, Texas, and observed the following violation: a. 47 C.F.R. S 11.52(d): Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS plans and the FCC Mapbook. The EAS equipment was observed to be monitoring two radio frequencies. One of the frequencies was 87.5 MHz. No United States
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- 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Charter Communications LLC, operator of a cable system in Grand Haven, Michigan. 2. On May 10, 2006, an agent of the Commission's Detroit Office inspected the cable television system located at Grand Haven, Michigan, and observed the following violation: 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each...are specified in the State EAS Plan and the FCC Mapbook." At the time of the inspection, the agent observed that the station was not monitoring WLHT, 95.7 MHz, one of its two monitoring assignments. 3. Pursuant to Section 403 of the
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- that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. 8. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. 9. Section 11.61(a)(1) and (2) of
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- Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Entercom Providence Licensing, LLC licensee of radio station WEEI-FM in Providence, RI. 2. On July 19, 2006, an agent of the Commission's Boston Office inspected radio station WEEI-FM located in Providence, RI, and observed the following violation(s): a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable carriers must monitor two EAS sources." At the time of inspection, only one EAS source was being monitored. 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Section 1.89 of the Commission's Rules, Entercom Providence Licensing, LLC, must submit a written statement concerning this matter within twenty
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- shall be reviewed ..."at least once a week to determine if required entries are being made correctly. ...Upon completion of the review, the chief operator or his designee must date and sign the log..." At the time of the inspection, the chief operator was not signing the station logs to indicate that they had been reviewed. c. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." The station's EAS decoder was attached to two receivers, but station logs revealed that EAS tests and other activations were being received
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- New York. 2. On August 22, 2006, an agent of the Commission's Buffalo Office inspected the directional array for radio station WACK, the main studios for radio stations WACK and WUUF and antenna structures 1008084, 1008085, 1008086, 1008087, 1008088 and 1008089, which are located at 187 Vienna Road, Newark, New York., and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable carriers must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC-EAS Mapbook." At the time of inspection, the agent observed that stations WACK and WUUF were not monitoring the correct Emergency Alert System ("EAS")
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- shall be reviewed ..."at least once a week to determine if required entries are being made correctly. ...Upon completion of the review, the chief operator or his designee must date and sign the log..." At the time of the inspection, the chief operator was not signing the station logs to indicate that they had been reviewed. c. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." The station's EAS decoder was attached to two receivers, however one of the receivers was not operational. Additionally, station logs revealed that
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- 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Bresnan Communications, LLC ("Bresnan"), operator of a cable system in Sheridan, Wyoming. 2. On August 31, 2006, agents of the Enforcement Bureau's Denver Office inspected the Bresnan cable system located at Sheridan, Wyoming, and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each...are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, agents observed Bresnan was not monitoring KYTI, 93.7 MHz, its primary EAS assignment, or KROE, 930 kHz, its secondary EAS assignment. b. 47 C.F.R. S 76.605(a)(12): "As
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- the following violation(s): a. 47 C.F.R. S 73.1125(e): "Each AM, FM, TV and Class A TV broadcast station shall maintain a local telephone number in its community of license or a toll free number." A review of telephone directory listings in Las Vegas revealed that there was no listing for Nevada Channel 6 Inc. and/or KNBX-CA. b. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS plan and FCC mapbook. They are developed in accordance with FCC monitoring priorities." Los Angeles agents inspected the EAS equipment installed at the KNBX-CA transmitter site and noted that the
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- Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules (the "Rules"), to CBS Radio East, Inc. ("CBS"), licensee of radio station WNEW (FM). 2. On September 27, 2006, an agent of the Commission's New York Office inspected radio station WNEW (FM) located at 888 7^th Avenue, New York, New York and observed the following violation: 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook..." At the time of inspection the station was monitoring only one of the assigned EAS sources. 3. Pursuant to Section 308(b) of
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- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Mendocino Environmental Center, licensee of radio station KMEC in Ukiah, California. 2. On August 25, 2006, an agent of the Enforcement Bureau's San Francisco Office Inspected radio station KMEC located at 106 West Standley Street, Ukiah, California and observed the following violation(s): a. 47 C.F.R. S 11.52(d) "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments for each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of inspection a review of the station's EAS log indicated
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- that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. 8. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. 9. Section 11.61(a)(1) and (2) of
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- ,operator of cable system in Lanett, Alabama. 2. On January 22, 2007, an agent of the Commission's Atlanta Office of the Enforcement Bureau, accompanied by the cable system's technical supervisor and two headend technicians, inspected the cable television system's Emergency Alert System ("EAS") located at 401 South 6^th Street, Lanett, Alabama, and observed the following violation(s): a. 47 C.F.R. S 11.52(d): "...cable systems ...must monitor two EAS sources." Charter was monitoring only one EAS source. b. 47 C.F.R. S 11.61(a): "All cable systems are to conduct required monthly tests (RMT) once a month as coordinated by the Emergency Communications Committee for each state." Charter was not conducting required monthly tests. All tests were marked as weekly tests. The headend technicians could
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- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Bresnan Communications, LLC ("Bresnan"), operator of a cable system in Grand Junction, Colorado. 2. On January 4 and 5, 2007, agents of the Enforcement Bureau's Denver Office inspected the Bresnan cable system located at Grand Junction, Colorado, and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, Bresnan was monitoring only one of its assigned EAS sources. b. 47 C.F.R. S 11.61(a)(1)(v): "Required Monthly
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- This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Cumulus Licensing, LLC ("Cumulus"), licensee of radio station KKNN in Delta, Colorado. 2. On January 3, 2007, agents of the Enforcement Bureau's Denver Office inspected KKNN, located at 315 Kennedy Avenue, Grand Junction, Colorado, and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, KKNN was monitoring only one of the assigned EAS sources. b. 47 C.F.R. S 11.61(a)(1)(v): "Required Monthly
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- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Eastern New Mexico University ("ENMU"), licensee of radio station KENW-FM in Portales, New Mexico. 2. On January 9, 2007, an agent of the Enforcement Bureau's Denver Office inspected KENW-FM located at 52 Broadcast Center, Portales, New Mexico, and observed the following violation: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, an agent observed that the station was not monitoring the two EAS sources required by the New
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- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Eastern New Mexico University ("ENMU"), licensee of television station KENW in Portales, New Mexico. 2. On January 9, 2007, an agent of the Enforcement Bureau's Denver Office inspected KENW located at 52 Broadcast Center, Portales, New Mexico, and observed the following violation: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, an agent observed that the station was not monitoring the two EAS sources required by the New
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- Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Entravision Holdings, LLC, licensee of Class A television station K28FK in San Luis Obispo, California. 2. On February 28, 2007, an agent of the Enforcement Bureau's Los Angeles Office inspected radio station K28FK's main studio located in Goleta, California, and observed the following violation: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable systems are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with the FCC monitoring priorities." The EAS receivers were not tuned to any of the LP stations
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- of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Entravision Holdings, LLC, licensee of Class A television station K17GD in Paso Robles, California. 2. On February 28, 2007, an agent of the Enforcement Bureau's Los Angeles Office inspected radio station K17GD's main studio located in Goleta, California, and observed the following violation: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable systems are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with the FCC monitoring priorities." The EAS receivers were not tuned to any of the LP stations
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- Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules ("Rules"), to Fannin County Broadcasting, licensee of radio station WPPL(FM) in Blue Ridge, Georgia. 2. On January 17, 2007, agents of the Commission's Atlanta Office of the Enforcement Bureau inspected the main studio of station WPPL(FM) located in Blue Ridge, Georgia and observed the following violation: 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems....must monitor two EAS sources." WPPL(FM) was only monitoring one EAS source. 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Section 1.89 of the Rules, Fannin County Broadcasting must submit a written statement concerning this matter within 20 days of release of this Notice. The response must fully explain the
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- S76.609(h) and shall be limited as follows: Over 54 MHz, and less than and including 216 MHz - 20 micro-volts per meter measured at 3 meters." At the time of inspection signal leakage was observed on the frequency 127.2625 MHz as follows: 1) Measured 100 uV/m, near power pole, front of 112 Market Street, Needles, CA b. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plans and the FCC Mapbook." At the time of the inspection, the EAS equipment was observed to be monitoring only the designated first local primary (LP-1)
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- issues were given significant treatment. The description of the programs shall include, but shall not be limited to the time, date, duration, and the title of each program in which the issue was treated." The issues/program lists for KAEH were not drafted in a format that provided all the information as required by this rule section. b. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the designated second local primary (LP-2), radio station KGGI - Riverside, CA (92.1 MHz) was not being
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- pursuant to Section 1.89 of the Commission's Rules (the "Rules"), to Cablevision of New Jersey ("Cablevision"), PSID # 07311, operator of a cable system serving Bergen County, New Jersey. 2. On March 28, 2007, an agent of the Commission's New York Office inspected Cablevision's cable system located in Cresskill, New Jersey, and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook..." At the time of inspection, Cablevision's logs showed that only one of the assigned EAS sources was monitored during the weeks of
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- 1.89 of the Commission's Rules, to Common Ground Broadcasting, Inc.("CGB"), licensee of radio stations KKNT - Phoenix, Arizona and KPXQ - Glendale, Arizona. 2. On April 25, 2007, an agent of the Enforcement Bureau's San Diego Office inspected KKNT and KPXQ, located at 2425 E. Camelback Road, Suite #570, Phoenix, Arizona, and observed the following violation: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the designated first local primary (LP-1), radio station KTAR, Phoenix, Arizona, was not being monitored. 3. Pursuant
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- that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. 6. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. 7. Section 11.61(a)(1) and (2) of
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- ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Atlantic Broadband, operator of cable system serving Grampian, Pennsylvania (Community Unit No. PA-2531). 2. On August 14, 2007 and August 16, 2007, an agent of the Commission's Philadelphia Office inspected the Atlantic Broadband cable system located in Grampian, Pennsylvania and observed the following violations: a. S: 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." The EAS equipment for Atlantic Broadband was configured to monitor only one broadcast
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- First Media Radio, LLC ("First Media"), the licensee of radio station WCPA and owner of antenna structures 1026521, 1026522 and 1026523 in Clearfield, Pennsylvania. 2. On August 14, 2007, an agent of the Commission's Philadelphia Office inspected radio station WCPA and antenna structure 1026521, 1026522 and 1026523 located in Clearfield, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, First Media was not monitoring the designated Second Local Primary (LP-2) broadcast station WPSX on Television Channel
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- Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation." At the time of inspection, the designated co-local primary (LP1) station, KUZZ (107.9 MHz) Bakersfield, California, could not be heard on the EAS receiver. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the designated co-local primary (LP1) station, KCOES (Kern County Office of Emergency Services) was not being monitored. 3. Pursuant to Section 403 of the
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- ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to. CBS Radio Holdings, Inc. ("CBS Radio"), licensee of FM Broadcast radio station KEZN, Palm Desert, California. 2. On August 15, 2007, an agent of the Enforcement Bureau's San Diego Office inspected KEZN, located at 72-915 Parkview Drive, Palm Desert, California and observed the following violation: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the designated first local primary (LP-1), radio station KDES-FM, Palm Springs, CA, was not being monitored. KEZN
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- pursuant to Section 1.89 of the Commission's Rules (the "Rules"), to Margaretville Telephone Company, Inc ("MTC"), PSID # 06437, operator of a cable system serving Delaware County, New York. 2. On September 20, 2007, an agent of the Commission's New York Office inspected MTC's cable system located in Margaretville, New York, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook..." A review of the station's EAS logs showed that, except during the weeks of June 17 and August 26, 2007 when the
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- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Bentleyville Telephone Company ("BTC"), operator of a cable system serving Bentleyville, Pennsylvania (Community Unit No. PA-3297). 2. On September 13, 2007, an agent of the Commission's Philadelphia Office inspected the BTC cable system located in Bentleyville, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, BTC was not monitoring the designated second local primary ("LP2") station, WQED on 89.3 MHz. BTC was monitoring station WFHM, Cleveland, Ohio and the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-277917A1.html
- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Bentleyville Telephone Company ("BTC"), operator of a cable system serving Bentleyville, Pennsylvania (Community Unit No. PA-3297). 2. On September 13, 2007, an agent of the Commission's Philadelphia Office inspected the BTC cable system located in Bentleyville, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, BTC was not monitoring the designated second local primary ("LP2") station, WQED on 89.3 MHz. BTC was monitoring station WFHM, Cleveland, Ohio and the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-277919A1.html
- 11.35(a): "... Appropriate entries indicating reasons why any tests were not received must be made in the broadcast station log as specified in S:S:73.1820 ... of this chapter." A review of the log back through December 1, 2006 found no reception of test or activations. There were no entries indicating why the tests were not received. b. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources." At the time of the inspection there was only one audio source connected to the EAS Decoder. c. 47 C.F.R. S: 73.1870(c)(3): "The chief operator is responsible for completion of the following duties specified in this paragraph below. When these duties are delegated to other persons, the chief operator shall maintain supervisory oversight
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-277920A1.html
- 11.35(a): "... Appropriate entries indicating reasons why any tests were not received must be made in the broadcast station log as specified in S:S:73.1820 ... of this chapter." A review of the log back through December 1, 2006 found no reception of test or activations. There were no entries indicating why the tests were not received. b. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources." At the time of the inspection there was only one audio source connected to the EAS Decoder. c. 47 C.F.R. S: 73.1870(c)(3): "The chief operator is responsible for completion of the following duties specified in this paragraph below. When these duties are delegated to other persons, the chief operator shall maintain supervisory oversight
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-279731A1.html
- Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to LaGrange Broadcasting Corporation, licensee of AM radio station KHLT in Hallettsville, Texas. 2. On December 14, 2007, an agent of the Commission's Houston Office inspected radio station KHLT located in Hallettsville, Texas, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two Emergency Alert System ("EAS") sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, station KHLT was not monitoring station KRNX, one of the required EAS sources. b.
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-280569A1.html
- records, as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the broadcast station records contained no entries documenting the transmission of the required monthly test (RMT) for the months of October and November of 2007. No system record entries were found indicating the reasons why the tests had not been received or transmitted. b. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two Emergency Alert System ("EAS") sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, station KGIC-LP was not monitoring the second local primary (LP-2) station KGGI, 99.1 MHz,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-281013A1.html
- Participant records, as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the broadcast station records contained no entries documenting the transmission of the required monthly test ("RMT") for the months of January 2008. No entries were found in the EAS records indicating the reasons why the RMT had not been received or transmitted. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two Emergency Alert System ("EAS") sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, station KLHU-CA was not receiving the second local primary ("LP-2") station KNLB, 99.1 MHz, Lake Havasu City, AZ. c. 47 C.F.R.
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-281364A1.html
- as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the broadcast station records contained no entries documenting the transmissions from November, 2007, to January, 2008, from the first local primary ("LP-1") station KTAR - Phoenix. No system record entries were found indicating the reasons why the tests had not been received or transmitted. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, station KUPD(FM) was not monitoring the LP-1 station KTAR - Phoenix. 3. Pursuant to Section 403 of the Communications Act of 1934, as amended,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-281366A1.html
- Participant records, as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the cable system records contained no entries documenting the transmission of the first local primary ("LP-1") station KTAR(AM) or (FM) - Phoenix, for over 12 months. No system record entries were found indicating the reasons why the tests had not been received. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, Cox Communications was not monitoring the LP-1 station KTAR. 3. Pursuant to Section 403 of the Communications Act of 1934, as amended, and Section
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-282189A1.html
- pursuant to Section 1.89 of the Commission's Rules, to Prescott Valley Broadcasting Co., Inc., ("PVBC") licensee of FM Broadcast station KPKR, Parker, Arizona. 2. On April 22, 2008, an agent of the Enforcement Bureau's San Diego Office inspected PVBC's emergency alert system ("EAS"), located at 1713 Kofa Avenue, Suite E, Parker, AZ, and observed the following violation: 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, KPKR was not monitoring the designated local primary (LP) radio stations, LP-1 station KFLG, 94.7 MHz, Kingman, AZ, or LP-2 station KNLB, 91.1 MHz,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-282770A1.html
- operating in the correct power mode. 22. Section 11.35(a) of the Rules provides that "EAS Participants are responsible for ensuring that EAS Encoders, EAS Decoders and Attention Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation..." Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. Section 11.61(a)(1) of the Rules requires broadcast stations to (a) receive monthly EAS tests from designated local primary EAS sources and retransmit the monthly test within 60 minutes of its receipt and (b) conduct tests of the EAS header and EOM codes at least once a week
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-282775A1.html
- station's most significant treatment of community issues during the preceding three month period. . . .." At the time of the inspection, the issues/programs list for first quarter 2008 was not in the station's public inspection file. The list for each calendar quarter is to be filed by the tenth day of the succeeding calendar quarter. e. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, WXRK was not monitoring the designated local primary (LP) radio station, LP-1 station WFAN, 660 kHz, New York, NY. WXRK was monitoring WCBS, 880
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-283664A1.html
- pursuant to Section 1.89 of the Commission's Rules, to D.T.V. LLC, licensee of Class A TV Station KBOP-CA in San Diego, California. 2. On April 24, 2008, agents of the Enforcement Bureau's San Diego Office inspected the emergency alert system ("EAS") of KBOP-CA, located atop Mount San Miguel near El Cajon, California, and observed the following violation: 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, KBOP-CA was not monitoring the designated local primary (LP-1) radio station, KOGO, 600 kHz, San Diego, CA. KBOP-CA was monitoring only one of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-287208A1.html
- ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Embry-Riddle Aeronautical University, licensee of radio station WIKD-LP in Daytona Beach, FL. 2. On October 31, 2008, agents of the Commission's Tampa Office of the Enforcement Bureau ("Tampa Office") inspected radio station WIKD-LP's main studio located in Daytona Beach, FL, and observed the following violations: a. 47 C.F.R. S: 11.52 (d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of inspection, WIKD-LP was not monitoring the two EAS sources specified in the State EAS Plan.
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-287327A1.html
- so that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. 11. Section 11.61(a)(1) and (2) of
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-289520A1.html
- records failed to show entries of weekly tests conducted during November 2008, the week of December 21, 2008, and the weeks of January 4 and 18, 2009. The broadcast station records contained no reasons why tests were not received or transmitted. Records for received tests indicate that the station was not consistently monitoring two EAS sources, as required by Section 11.52(d). 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Section 1.89 of the Commission's Rules, Pacifica Foundation, Inc. must submit a written statement concerning this matter within twenty (20) days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-293422A1.html
- Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Nassau Broadcasting II, LLC, the licensee of radio station WVPO in Stroudsburg, Pennsylvania. 2. On August 5, 2009, agents of the Commission's Philadelphia Office inspected radio station WVPO located in Stroudsburg, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook..." A review of the station's EAS logs revealed that WVPO was monitoring station WVIA and the National Weather Service as its monitoring sources. However, the Pennsylvania State EAS Plan
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295458A1.html
- Broadcasting LLC, the licensee of AM Radio Stations WQWK and WRSC in State College, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On September 17, 2009, an agent of the Commission's Philadelphia Office inspected radio stations WQWK and WRSC located in State College, Pennsylvania, and observed the following violation: 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." The agent found that stations WQWK and WRSC, which are co-located and share EAS equipment, were monitoring only one
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295595A1.html
- & Achieve Family and Educational Center, Inc.,("Believe & Achieve"), licensee of AM radio station WZUM in Carnegie, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On September 16, 2009, agents of the Commission's Philadelphia Office inspected radio station WZUM located in Carnegie, Pennsylvania, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...." A review of the station's EAS logs revealed that WZUM was monitoring only one EAS source. b. 47 C.F.R. S: 11.61(b): ""Entries
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295634A1.html
- Mount San Antonio Community College District, licensee of Noncommercial Educational FM Broadcast station KSAK in Walnut, CA. This Notice may be combined with a further action, if further action is warranted. 2. On September 28, 2009, an agent of the Enforcement Bureau's Los Angeles Office inspected radio station KSAK in Walnut, CA, and observed the following violations: 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of the inspection, the agent found that KSAK was only monitoring one assigned source, KFI (AM). Neither KFWB (AM) nor KNX (AM) was being monitored as
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295639A1.html
- of each program in which the issue was treated...." At the time of the inspection, the agents found that the issues/program lists in the public inspection files for KKSM were not drafted in a format that provided all the information as required by this rule section, and that the issues/programs lists for several quarters were missing. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the agents found that KKSM was not monitoring the second designated local primary (LP-2) radio station KLSD, San Diego, California. c. 47 C.F.R. S:
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295640A1.html
- for all broadcast streams . . . . " At the time of the inspection, the agents found that there were no entries in the station log indicating why Required Weekly Tests (RWTs) and Required Monthly Test (RMTs) had been sporadically missed and what corrective actions were taken over the three months prior to the inspection. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the agents found that there was no record that EAS equipment was receiving the second designated local primary (LP-2) radio station KLSD, 1360 kHz,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295833A1.html
- Mountain Broadcasting LLC, licensee of AM broadcast station KOHI in Saint Helens, Oregon. This Notice may be combined with a further action, if further action is warranted. 2. On October 15, 2009, an agent of the Enforcement Bureau's Portland Resident Agent Office inspected radio broadcast station KOHI in Saint Helens, Oregon and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of the inspection, the agent found that KOHI was monitoring only one EAS source and was not monitoring the required local primary (LP-1) station. b. 47
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295908A1.html
- WFRM and owner of antenna structure number 1026692 in Coudersport, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On October 13 and 14, 2009, an agent of the Commission's Philadelphia Office inspected radio station WFRM and antenna structure number1026692 located in Coudersport, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...." A review of WFRM's EAS logs revealed that WFRM was properly monitoring only one EAS source. b. 47 C.F.R. S: 17.50(a): "Antenna
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295909A1.html
- the Commission's Rules to L-Com Inc., the licensee of AM Radio Stations WHKS in Port Allegany, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On October 15, 2009, an agent of the Commission's Philadelphia Office inspected radio station WHKS located in Port Allegany, Pennsylvania and observed the following violation: 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook..." A review of WFRM's EAS logs revealed that WFRM was properly monitoring only one EAS source. 3. As the nation's emergency warning
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- 80% of the authorized power. d. 47 C.F.R. S: 73.1745(a): "No broadcast station shall operate at times, or with modes or power, other than those specified and made a part of the license." On the evening of August 18, 2009, the station did not reduce power from daytime levels to nighttime levels for over an hour. e. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources." The second monitoring receiver on the EAS unit was not working at the time of inspection; the station was only monitoring one EAS source. The EAS logs showed that the last time the second receiver had worked was in March of 2009. During the inspection, the licensee found that the antenna had been
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-296581A1.html
- than thirty days, as required by 47 C.F.R. S: 73.1560(d). b. 47 C.F.R. S: 11.61 (a)(2): "EAS participants shall conduct...required weekly tests." A review of the station's EAS logs revealed that entries were not made in the EAS logs to show required weekly EAS tests for the period between January 1, 2010 and January 14, 2010. c. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." A review of WZSK's EAS logs revealed that WZSK was properly monitoring only one EAS source. There was no evidence that the station's EAS equipment was receiving the second
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-296712A1.html
- Clarion County Broadcasting Corp. ("Clarion"), the licensee of AM Radio Station WKQW in Oil City, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On August 12, 2009, an agent of the Commission's Philadelphia Office inspected radio station WKQW located in Oil City, Pennsylvania, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...." The agent found that station WKQW was monitoring only one EAS source. b. 47 C.F.R. S: 11.61(b): "Entries shall be made in
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-296842A1.html
- licensee of AM radio station WTHE in Mineola, New York. This Notice may be combined with a further action, if further action is warranted. 2. On December 2, 2009, an agent of the Enforcement Bureau's New York Office inspected WTHE's main studio located at 260 E. 2nd Street, Mineola, NY 11501, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." The agent found that station WTHE was monitoring only one of its assigned EAS sources. b. 47 C.F.R. S:11.61(b):
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-298343A1.html
- to Section 1.89 of the Commission's Rules to WLFM, LLC, licensee of television station WLFM-LP in Northfield, Illinois. This Notice may be combined with a further action, if further action is warranted. 2. On January 28, 2010, agents of the Commission's Chicago Office inspected television Station WLFM-LP located at Northfield, Illinois, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable systems and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." A review of the station's EAS logs revealed that WLFM-LP was monitoring only one EAS source. b. 47 C.F.R.
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-298527A1.html
- of FM radio station WSOU in South Orange, New Jersey. This Notice may be combined with a further action, if further action is warranted. 2. On May 6, 2010, an agent of the Enforcement Bureau's New York Office inspected WSOU's main studio located at 400 South Orange Avenue, South Orange, NJ 07079, and observed the following violations: 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." At the time of inspection, the agent determined that WSOU was monitoring only one source. 3. As the nation's
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-301056A1.html
- issued pursuant to Section 1.89 of the Commission's Rules to MPS Media of Tennessee, LLC, licensee of digital TV station WFLI-TV, Cleveland, TN. 2. On July 28, 2010, agents of the Enforcement Bureau's Atlanta Office monitored WFLI-TV, and then inspected the station's main studio in Chattanooga, TN on July 29, 2010 and observed the following violation(s): a. 47 C.F.R. S: 11.52(d): EAS participants must monitor two assigned EAS sources." The station was monitoring only one of the two assigned monitoring sources. b. 47 C.F.R. S: 73.1870(c)(3): The designated chief operator must review and sign the station logs on a weekly basis. The chief operator was not reviewing or signing the logs on a weekly basis. c. 47 C.F.R. S: 73.1201(a)(2): "Broadcast
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-301057A1.html
- This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to New Age Media of Tennessee License, LLC, licensee of television station WDSI-TV, Chattanooga,TN. 2. On July 29, 2010, agents from the Enforcement Bureau's Atlanta Office inspected the station's main studio located in Chattanooga, TN and observed the following violation(s): a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two assigned EAS sources." The station was monitoring only one of the two assigned EAS sources. b. 47 C.F.R. S: 11.61: "(a)... All tests will conform with the procedures in the EAS Operating Handbook. ... (b) Entries shall be made in EAS Participant records, as specified in Sections 11.35(a) and 11.54(b)(13)." The EAS Operating Handbook requires
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-301059A1.html
- District. ("SMCCD"), licensee of radio station KCRU(FM), Oxnard, California. This Notice may be combined with a further action, if further action is warranted. 2. On June 17, 2010, an agent of the Enforcement Bureau's Los Angeles Office inspected KCRU(FM) at its main studio location at 1900 Pico Blvd. Santa Monica, California and observed the following violation: a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of the inspection, the agent observed that KCRU(FM) was not monitoring the correct local primary stations as required by the California and Ventura County EAS plan.
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-302946A1.html
- ("Hero"), licensee of television station KBEH(TV), Oxnard, California. This Notice may be combined with a further action, if further action is warranted. 2. On September 14, 2010, an agent of the Enforcement Bureau's Los Angeles Office inspected KBEH(TV) at its main studio location at 5757 W. Century Blvd., Los Angeles, California and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of the inspection, KBEH(TV) was not monitoring the correct local primary stations as required by the California and Ventura County EAS plan. b. 47 C.F.R. S:
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303042A1.html
- River TV"), operator of a cable system in Iron River, Michigan. This Notice may be combined with a further action, if further action is warranted. 2. On November 3, 2010, an agent of the Enforcement Bureau's Detroit Office inspected Iron River TV located at 316 North 2nd Avenue, Iron River, Michigan, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities..." At the time of the inspection, Iron River TV was monitoring only one source, LP1, WNMU. b. 47 C.F.R. S:
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303222A1.html
- WHKB(FM) and WCCY(AM) in Houghton, Michigan. This Notice may be combined with further action, if further action is warranted. 2. On August 3, 2010, an agent of the Enforcement Bureau's Detroit Office inspected co-located radio stations WOLV(FM), WHKB(FM) and WCCY(AM) at the stations' main studio at 313 Montezuma Avenue, Houghton, Michigan, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities..." Stations WOLV, WHKB, and WCCY share Emergency Alert System ("EAS") equipment. At the time of inspection, Heartland was not monitoring
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303695A1.html
- Section 1.89 of the Commission's Rules, to Oasis Christian Radio, Inc. ("Oasis"), licensee of radio station KAVS-LP in Fallon, Nevada. This Notice may be combined with a further action, if further action is warranted. 2. On September 28, 2010, agents of the Enforcement Bureau's San Francisco Office inspected radio station KAVS-LP and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of the inspection, agents observed that the station KAVS-LP was monitoring only one EAS assigned source, the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303811A1.html
- Communication & Development ("CFCD"), licensee of Station KMOJ in Minneapolis, Minnesota. This Notice may be combined with further action, if further action is warranted. 2. On December 1, 2010, an agent of the Enforcement Bureau's Chicago Office inspected Station KMOJ at the station's main studio at 2123 West Broadway, Minneapolis, Minnesota, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of inspection, Station KMOJ was monitoring only one EAS source. b. 47. C.F. R. S: 11.61(b): "Entries
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303989A1.html
- entries indicating reasons why any tests were not received or sent must be made in the broadcast station log as specified in Sections 73.1820 and 73.1840 of this chapter for all broadcast streams . . . "At the time of inspection, the agents observed that the logs did not indicate why no monthly test was received. c. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of the inspection, the agents observed that KRBS-LP was monitoring only one EAS source. d. 47 C.F.R.
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- 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Cumulus Licensing L.L.C. ("Cumulus"), the licensee of radio station WWIZ in Mercer, Pennsylvania. 2. On November 17, 2009, an agent of the Commission's Philadelphia Office inspected radio station WWIZ located in Mercer, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities..." At the time of inspection, Cumulus was not monitoring Local Primary 2 station WKPL. The Pennsylvania State Plan specifies that WWIZ must monitor Local
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- the Commission's Rules to Enrico S. Brancadora, licensee of AM Station WIBG in Ocean City, New Jersey. This Notice may be combined with a further action, if further action is warranted. 2. On January 25, 2011, agents of the Commission's Philadelphia Office inspected AM Station WIBG in Ocean City, New Jersey and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities..." The Emergency Alert System Plan for New Jersey specifies that WIBG must monitor a Primary Entry Point Station and WFPG 96.9 MHz. At the time
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- 1.89 of the Commission's Rules to Clear Communications, Inc., licensee of FM Station WVLT in Vineland, New Jersey. This Notice may be combined with a further action, if further action is warranted. 2. On May 31, 2011, agents of the Commission's Philadelphia Office inspected FM Station WVLT in Vineland, New Jersey and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities..." The Emergency Alert System Plan for New Jersey specifies that WVLT must monitor a Primary Entry Point Station and WENJ 97.3 MHz. At the time
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- Plains, Inc. ("Knology"), operator of a cable system in Watertown, South Dakota. This Notice may be combined with a further action, if further action is warranted. 2. On June 21 and June 23, 2011, an agent of the Enforcement Bureau's Denver Office inspected a cable system located at Watertown, South Dakota, and observed the following violation(s): a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan..." The State Plan, revised as of December 15, 2009, specified the LP-2 assignment to be KXLG-FM, Milbank, SD, on 99.1 MHz versus KIXX-FM, Watertown, SD, on 96.1 MHz. b. 47 C.F.R. S:
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- Commission's Rules, to Mediacom California, LLC ("Mediacom"), operator of a cable system in Ridgecrest, California. This Notice may be combined with a further action, if further action is warranted. 2. On September 28, 2011, an agent of the Enforcement Bureau's Los Angeles Office inspected a cable system located at Ridgecrest, California, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ..." At the time of the inspection the EAS encoder decoder was not monitoring either of the LP-1 sources and was only receiving the LP-2 broadcast station KRAJ as a source for
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- a Notice of Violation ("Notice") issued pursuant to section 1.89 of the Commission's Rules to Lake Michigan Broadcasting Inc, licensee of Station WKLA-FM in Ludington, Michigan. 2. On September 15, 2011, an agent of the Commission's Detroit Office inspected radio station WKLA-FM located at 5941 West U.S. 10 in Ludington, Michigan, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of inspection, Station WKLA-FM was monitoring only one EAS source. b. 47 C.F.R. S: 11.35: "(a) Appropriate
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- Inc., licensee of AM Station WRIV in Mineola, New York. This Notice may be combined with a further action, if further action is warranted. 2. On October 17, 2011, an agent of the Enforcement Bureau's New York Office inspected Station WRIV's main studio located at 40 West Main Street, Riverhead, New York, and observed the following violation: 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." The agent found that Station WRIV was monitoring only one of its assigned EAS sources. 3. As the nation's
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- This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's rules to Cantroair Communications Inc. ("Cantroair"), licensee of AM Station WTZN in Troy, Pennsylvania. 2. On November 3, 2011, agents of the Enforcement Bureau's Philadelphia Office inspected Station WTZN located at 1233 Redington Avenue, Troy, Pennsylvania, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...." According to the Pennsylvania State EAS Plan, Station WTZN is required to monitor WGGY-FM and WVIA-FM. At the time of inspection, WTZN
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- KPAM, in Troutdale, Oregon, was experiencing interference from KTRB, a co-channel station (860 kHz), in San Francisco, California. 3. On October 21, 2011, agents of the Enforcement Bureau's San Francisco Office investigated the allegation. During the course of the investigation, the agents inspected radio station KTRB(AM) located at San Francisco, California, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of the inspection, agents observed that station KTRB(AM) was monitoring only one EAS assigned source, the LP-1
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- 11.61(a)(1) and (a)(2). Appropriate entries indicating reasons why any tests were not received must be made in the . . . cable system records as specified in Sections 76.1700, 76.1708, and 76.1711 of this chapter." At the time of the inspection, personnel were unable to demonstrate to agents that the EAS encoder and decoder were functional. c. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." A review of Cequel's EAS logs revealed that Cequel was monitoring only one EAS source. d. 47 C.F.R. S: 76.605(a)(12):
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- Commission's Rules, to CALNEVA Broadband, LLC ("CALNEVA"), operator of a cable system in Westwood, California. This Notice may be combined with a further action, if further action is warranted. 2. On August 25, 2011, an agent of the Enforcement Bureau's San Francisco Office inspected a cable system located at Westwood, California, and observed the following violation(s): a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan..." The State Plan specifies the LP-1 assignment as KKOH-AM, Reno, NV, which was not being monitored by the cable system. b. 47 C.F.R. S: 11.61(a): "EAS Participants shall conduct tests at regular
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- ("KM Radio"), licensee of radio station KBKY in Merced, California. This Notice may be combined with a further action, if further action is warranted. 2. On July 14, 2011, an agent of the Enforcement Bureau's San Francisco Office inspected KM Radio's main studio located at 2855 G Street, Merced, California 95340, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan..." The State Plan specified the LP-2 assignment to be KFSN-TV Channel 30, Fresno, CA. At the time of inspection KBKY was not monitoring the LP2 station. b. 47 C.F.R. S: 11.35(a): "EAS
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- the Commission's Rules, to Brahmin Broadcasting Corporation ("Brahmin"), licensee of radio station KANT, Guernsey, WY. This Notice may be combined with a further action, if further action is warranted. 2. On August 16, 2011, an agent of the Enforcement Bureau's Denver Office inspected the KANT main studio, located in Wheatland, WY, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ..." At the time of the inspection, the KANT was monitoring a source other than those authorized as LP-2 sources for Wyoming EAS Area 5 within the Wyoming State EAS Plan. b.
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- the Commission's Rules, to Brahmin Broadcasting Corporation ("Brahmin"), licensee of radio station KPAD, Wheatland, WY. This Notice may be combined with a further action, if further action is warranted. 2. On August 16, 2011, an agent of the Enforcement Bureau's Denver Office inspected the KPAD main studio located in Wheatland, WY, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ..." At the time of the inspection, KPAD was monitoring a source other than those authorized as LP-2 sources for Wyoming EAS Area 5 within the Wyoming State EAS Plan. b. 47
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- of the Commission's Rules, to Brahmin Broadcasting Corporation, licensee of radio station KRQU, Chugwater, WY. This Notice may be combined with a further action, if further action is warranted. 2. On August 16, 2011, an agent of the Enforcement Bureau's Denver Office inspected the KRQU main studio, located in Wheatland, WY, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ..." At the time of the inspection, KRQU was monitoring a source other than those authorized as LP-2 sources for Wyoming EAS Area 5 within the Wyoming State EAS Plan. b. 47
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- 73.1820 and 73.1840 of this chapter for all broadcast streams . . . . " At the time of the inspection, the agent found that there were no entries in the station logs indicating why tests had not been received from the station's monitoring sources for the period between August 1, 2011 and October 26, 2011. d. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." At the time of inspection, the agents determined that Station WFAI was monitoring only one of its assigned EAS
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- Office, South Central Region, Enforcement Bureau: 1. This is a Notice of Violation (Notice) issued pursuant to Section 1.89 of the Commission's rules to Wagenvoord Advertising Group, Inc., licensee of Station KLRG-AM in Sheridan, Arkansas. 2. On January 25, 2012, an agent of the Commission's New Orleans Office inspected Station KLRG-AM and observed the following violations: a. 47 CFR S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of inspection, Station KLRG-AM was monitoring the National Weather Service but was not monitoring the two assignments
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- 1. This is a Notice of Violation (Notice) issued pursuant to Section 1.89 of the Commission's Rules, to Wings Communications, Inc., licensee of AM Station WELE, Ormond Beach, Florida. 2. On December 15, 2011, agents of the Enforcement Bureau's Tampa Office (Tampa Office) inspected Station WELE located in Ormond Beach, Florida, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ..." At the time of the inspection, Station WELE was monitoring two LP2 sources, rather than the LP1 and LP2 stations assigned in the Florida State EAS Plan. b. 47 C.F.R. S:
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- the broadcast station log as specified in Sections 73.1820 and 73.1840 of this chapter for all broadcast streams... " At the time of the inspection, there were no entries in the station's logs indicating why KBEN-FM did not receive numerous Required Weekly Tests from KZMQ-FM during the period from May 29, 2011, to August 13, 2011. b. 47 C.F.R. S: 11.52(d): "...EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan...." At the time of inspection, KBEN-FM was monitoring an incorrect source as its LP-2. KBEN was found monitoring KPOW-AM, 1230 kHz, instead of Wyoming Public Radio (KUWP-FM) as required in the WY
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- the broadcast station log as specified in Sections 73.1820 and 73.1840 of this chapter for all broadcast streams... " At the time of the inspection, there were no entries in the station's logs indicating why KWHO did not receive numerous Required Weekly Tests from KZMQ-FM during the period from May 29, 2011, to August 13, 2011. b. 47 C.F.R. S: 11.52(d): "...EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan...." At the time of inspection, KWHO was monitoring an incorrect source as its LP-2. KWHO was found monitoring KPOW-AM, 1230 kHz, instead of Wyoming Public Radio (KUWP-FM) as required in the WY
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- This is a Notice of Violation (Notice) issued pursuant to Section 1.89 of the Commission's rules to KCBD License Subsidiary, LLC, licensee of station KCBD-TV in Lubbock, Texas. 2. On February 2 2012, an agent of the Commission's Dallas Office inspected the main studio of Station KCBD-TV located at Lubbock, Texas, and observed the following violation(s): a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station, cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of the inspection, Station KCBD-TV was not monitoring the assigned LP2 Station, KRIA (103.9 MHz, FM). b. 47
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- unsuccessfully attempted to have its State EAS Coordinator change its two assigned EAS sources. Accordingly, Cherokee Broadcasting asks us to rescind or substantially reduce the proposed forfeiture. 5. We do not believe that rescission or reduction of the forfeiture is warranted because Cherokee Broadcasting allegedly could not get the State EAS Coordinator to change its two assigned EAS sources. Section 11.52(d)(1) of the Rules states as follows: If the required EAS sources cannot be received, alternative arrangements or a waiver may be obtained by written request to the FCC EAS office. In an emergency, a waiver may be issued over the telephone with a follow up letter to confirm temporary or permanent reassignment. Cherokee Broadcasting presents no evidence that it attempted
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- a period of more than 30 days. 47 C.F.R. 73.1560(d). 47 C.F.R. 73.49. We note that the Fort Louise Augusta site, where WSTX(AM)'s antenna is located, is directly adjacent to a public beach. 47 C.F.R. 11.35. Broadcast stations which are co-owned and co-located with a combined studio may share EAS equipment. See 47 C.F.R. 11.51(j) and 11.52(c). 47 C.F.R. 73.3526. Federal Communications Commission FCC 01-44 Federal Communications Commission FCC 01-44 ` $ %0 %0
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- for marine areas would be used in conjunction with special ``CCC'' codes. The special ``CCC'' codes have not yet been designated. SBE Petition at 8. NWS Petition at 1, 3-4. SBE Comments at 2-3. 47 C.F.R. 11.31(d). 47 C.F.R. 11.34; see also 47 C.F.R. Part 2, Subpart J. See 47 C.F.R. 2.1043. See 47 C.F.R. 11.51(l), 11.52(e)(2) and 11.61(a)(1)(v). SBE Petition at 3. NAB Comments at 3; Fox Comments at 1-2. Id. at 6. Id. NWS Petition at 1; NWS Letter at 3-4. 47 C.F.R. 11.33(a)(4) and (a)(5). Id. at 10-11. Id. Id. at 11. See 47 C.F.R. 11.51(j) and 11.52(c). SBE Petition at 14. 47 C.F.R. 11.32(a)(5). SBE Petition at 16. Memorandum from
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- No. 200232480001 ) Ashland City, TN ) FRN 0003-7542-56 FORFEITURE ORDER Adopted: August 13, 2002 Released: August 15, 2002 By the Chief, Enforcement Bureau: I. INTRODUCTION 1. In this Forfeiture Order (``Order''), we issue a monetary forfeiture in the amount of four thousand ($4,000) to Sycamore Valley Broadcasting, Inc. (``Sycamore''), Ashland City, Tennessee, for repeated and willful violation of Sections 11.52(d), 11.61(a), 17.50, 73.1400 and 73.1745(a) of the Commission's Rules (``Rules''),1 The noted violations involve Sycamore's failure: to monitor two Emergency Alert System (``EAS'') sources; to send and receive the required EAS tests; to repaint its antenna structure as often as necessary to maintain good visibility; to maintain sufficient transmission system monitoring and control; and to reduce transmitter power after sunset.
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- Enforcement Bureau: I. INTRODUCTION 1. In this Memorandum Opinion and Order (``Order''), we cancel the proposed monetary forfeiture in the amount of eight thousand dollars ($8,000) issued to Faith Mountain Communications, Inc. (``Faith Mountain''), licensee of radio station WRRL(AM), Rainelle, West Virginia for failure to install Emergency Alert System (``EAS'') equipment at station WRRL(AM) in apparent willful violation of Section 11.52(a) of the Commission's Rules.1 However, we conclude that Faith Mountain willfully violated Section 11.52(a) and admonish Faith Mountain for this violation. 2. On June 19, 2002, the Commission's Columbia, Maryland Field Office (``Columbia Office'') issued a Notice of Apparent Liability for Forfeiture (``NAL'')2 in the amount of eight thousand dollars ($8,000) to Faith Mountain. Faith Mountain filed a response on
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- Broadcast stations and cable systems and wireless cable systems may employ a minimum delay feature, not to exceed 15 minutes, for automatic interruption of EAS codes. However, this may not be used for the EAN event which must be transmitted immediately. The delay time for an RMT message may not exceed 60 minutes. * * * * * 100. Section 11.52 is amended by revising paragraph (e)(2) to read as follows: 11.52 EAS Code and Attention Signal Monitoring requirements. * * * * * (e) * * * (2) Manual interrupt of programming and transmission of EAS messages may be used. EAS messages with the EAN Event code must be transmitted immediately and Monthly EAS test messages within 60 minutes. All
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- will continue to refer to the operator of the Huntington cable system as Adelphia. 2 47 C.F.R. 11.61(a). 3 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200232340003 (Enf. Bur., Columbia Office, released July 19, 2002). 4 Broadcast stations and cable television stations are required to monitor two EAS sources, which are specified in the state EAS plan. 47 C.F.R. 11.52(d). 5 The NAL noted that there is no base forfeiture amount specified in the rules for failure to conduct required EAS tests. However, the NAL found that failure to conduct required EAS tests is similar in both nature and severity to failure to make required measurements or conduct required monitoring, which has a base forfeiture amount of $2,000. See 47
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- the day before the inspection. We find that Clarke's replacement of the Chief Operator prior to the inspection demonstrates good faith and warrants mitigation of the proposed monetary forfeiture to $6,000. 11. No mitigation is warranted for a history of overall compliance. On August 2, 2001, the San Francisco Office issued an NOV to Clarke for violations of Sections 11.35(a), 11.52(d), 11.61(a) and 73.182(a)(1) of the Rules9 (radio stations KVLM and KZSQ, Sonora, California) and, on August 16, 2001, the San Francisco Office issued an NOV to Clarke for violations of Section 11.52(b) and 73.182(a)(1) of the Rules (radio station KKBN, Sonora, California). Clarke, therefore, has no history of overall compliance.10 12. Nor is mitigation warranted on the basis of Clarke's
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- away from Moberly. Thus, it is clearly not a local telephone number either. 6 See KASA Radio Hogar, Inc., 17 FCC Rcd 6256 (2002) (quoting Emery Telephone, 13 FCC Rcd 23854, 23859-60 (1998), recon. denied, 15 FCC Rcd 7181 (1999)). 7 On March 21, 2000, the Columbia Office issued an NOV to AFA for the following violations at WARN-FM: Sections 11.52(d) (failure to monitor two EAS sources), 11.61(b) (failure to log EAS tests received), 73.1560(b) (failure to maintain the transmitter output power between 90% and 105% of the authorized power), and 73.1870(c)(3) (failure to have the chief operator review the station logs at least once each week to determine if the required entries are made correctly). File No. EB-99-CF-035. In its
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- dollars ($22,000) issued to MRJ, Inc. (``MRJ''), the licensee of WWYO, Pineville, West Virginia. We find that MRJ failed to conduct weekly EAS tests of the EAS header and EOM codes, failed to register its antenna structure with the Commission and failed to enclose the AM antenna in an effective locked fence in apparent willful and repeated violation of Sections 11.52(a), 17.4, and 73.49 and failed to allow access to the public inspection file in apparent willful violation of 73.3256(c) of the Commission's Rules (``Rules'')1. While we cancel the forfeiture for a demonstrated inability to pay, we admonish MRJ for its willful and repeated violation of Sections 11.52(a), 17.4, 73.49 of the Rules and its willful violation of Section 73.3526(c) of
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- Bureau: I. INTRODUCTION 1. In this Forfeiture Order (``Order''), we issue a monetary forfeiture in the amount of ten thousand dollars ($10,000) to M.J. Phillips Communications, Inc. (``M.J. Phillips''), licensee of AM Station WJJL, Niagara Falls, New York, for its willful and repeated violations of the power restriction, Emergency Alert System (``EAS'') and antenna structure requirements of Sections 73.1560(a)(1), 11.35(a), 11.52(d) and 17.4(a) of the Commission's Rules (``Rules'').1 II. BACKGROUND 2. On September 17 and 18, 2002, the Commission's Buffalo, New York Office (``Buffalo Office'') conducted on-site inspections of Station WJJL. The inspections revealed that the station had been exceeding its authorized power limits by more than 105 percent,2 that its Emergency Alert System (``EAS'') equipment had not been fully operational,3
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- sufficient economic hardship to warrant temporary waivers of section 11.11(a) of the Rules for the 153 cable systems listed in Appendix A, and grant Charter a waiver of these rules until October 1, 2005.10 5. Accordingly, IT IS ORDERED that, pursuant to Sections 0.111, 0.204(b) and 0.311 of the Rules,11 Charter Communications, Inc. IS GRANTED a waiver of Sections 11.11(a), 11.52(d) and 11.61 of the Rules as specified herein and the request for a declaratory ruling IS DISMISSED AS MOOT because it was withdrawn by Charter Communications, Inc. 6. IT IS FURTHER ORDERED that Charter Communications, Inc. place a copy of this waiver in its system files. 7. IT IS FURTHER ORDERED that a copy of this Order shall be sent
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- Michigan, for willful violation of numerous sections of the Commission's Rules (``Rules''). The noted violations involve, respectively: 1) failure to maintain required records, in violation of Sections 73.1820(a)(1)(i), 73.1820(a)(1)(iii) and 73.1870(c)(3) of the Rules;1 2) failure to make required measurements or conduct required monitoring regarding EAS monitoring sources, EAS tests, and observation of antenna structures' lights, in violation of Sections 11.52(d), 11.61(a)(2)(i)(A) and 17.47(a)(1);2 3) failure to file required forms or information regarding the registration of two antenna structures, in violation of Section 17.4(a);3 and 4) failure to exhibit red obstruction lighting from sunset to sunrise, in violation of Section 17.51(a).4 II. BACKGROUND 2. On September 23, 2002, the Commission's Detroit Office received information that the top flashing obstruction lights on
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- control override. WPWC's EAS set-up is consistent with Section 11.51(m) of the Rules which permits automatic operation of the EAS system by broadcast stations that use remote control. Further, although the NAL appears to cite JMK for not monitoring its primary EAS source and having its EAS equipment improperly tuned to its secondary EAS source, no separate violation of Section 11.52(d) of the Rules6 was noted. We agree with JMK that there was no violation of Section 11.35(a) of the Rules. Therefore, we cancel the portion of the forfeiture assessed for violation of Section 11.35(a) of the Rules and reduce the forfeiture amount by $8,000. 6. Section 73.1745(a) of the Rules states, in pertinent part, that no broadcast station shall operate
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- EAS decoders are able to directly monitor and decode NWS SAME codes with the addition of any ordinary weather radio receiver and off-the-shelf connections to the EAS decoder. 29 47 C.F.R. 11.31(c). 30 All broadcast stations and cable systems have EAS designations that describe their functions within EAS. See 47 C.F.R. 11.18. 31 47 C.F.R. 11.14. 32 47 C.F.R. 11.21, 11.52(d). The broadcast stations and cable systems must monitor at least two EAS sources to reduce the likelihood of a single point of failure preventing an EAS message from propagating through the system. 33 The State Relay Network is composed of State Relay sources, leased common carrier communications facilities, or any other available communication facilities. In addition to EAS monitoring, satellites,
- http://transition.fcc.gov/eb/Orders/2005/DA-05-2065A1.html
- Encoders, EAS Decoders and Attention Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation.8 Broadcast station licensees are also required to receive, interrupt normal program, and transmit certain EAS messages.9 When facilities are unattended, Sections 11.51 and 11.52 of the Rules require licensees to employ automatic systems to interrupt programming and transmit certain EAS messages.10 On March 1, 2005, the EAS unit for Station KNSX(FM) was installed at its unattended KNSX transmitter site and set in manual mode. The owner of Twenty-One Sound claimed to visit the site occasionally to transmit manually the required weekly and monthly EAS
- http://transition.fcc.gov/eb/Orders/2005/FCC-05-191A1.html
- EAS rules are in order. Accordingly, we amend our EAS rules to delete all reference to the ``FCC EAS mailing list'' which we no longer maintain.191 EAS information may now be obtained from our web site. www.fcc.gov/eb/eas. and from the general FCC information number 1888-CALLFCC. Further, we amend section 11.41 to change "Operating Handbook" to "EAS Operating Handbook."192 In section 11.52(b) of our rules, we change the reference to 11.51(j)(2) to 11.51(m)(2).193 Section 11.53(c) provides that, prior to commencing operations, broadcast stations must determine whether the EAS has been activated by monitoring the assigned EAS sources.194 In order to clarify how EAS monitoring assignments are determined, we amend this section to add the following to the end of section 11.53(c): ``as
- http://transition.fcc.gov/eb/Orders/2006/DA-06-102A1.html
- (``Order''), we grant in part and deny in part the petition for reconsideration filed by M.J. Phillips Communications, Inc. (``M.J. Phillips''), licensee of AM Station WJJL, Niagara Falls, New York. M.J. Phillips seeks reconsideration of a Forfeiture Order1 issued on June 23, 2004, in the amount of ten thousand dollars ($10,000) for willful and repeated violations of Sections 73.1560(a)(1), 11.35(a), 11.52(d) and 17.4(a) of the Commission's Rules (``Rules'').2 The noted violations involve M.J. Phillips' use of excessive power; its failure to have fully operational Emergency Alert System (``EAS'') equipment; its failure to monitor, test and log the tests of its EAS equipment on a regular basis; and its failure to register its antenna structure. For the reasons discussed below, we reduce
- http://transition.fcc.gov/eb/Orders/2010/DA-10-24A1.html
- so that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. Section 11.61(a)(1) and (2) of the
- http://transition.fcc.gov/eb/Orders/da00897.doc http://transition.fcc.gov/eb/Orders/da00897.html http://transition.fcc.gov/eb/Orders/da00897.txt
- WGUL-FM, Inc. an Official Notice of Violation ("NOV") citing the above noted violations of the Rules. On April 14, 1998, the Tampa Office received a written response to the NOV. On June 1, 1998, the District Director of the Tampa Office issued an NAL to WGUL-FM, Inc. in the amount of $10,000 for the willful and continuous violation of Sections 11.52(d), 11.61(a), 73.1590(a)(6), and 73.3526(c) of the Rules. 4. WGUL-FM, Inc. filed a Request for Remission or Reduction of Forfeiture. The Compliance and Information Bureau issued a Forfeiture Order for three of the violations and ruled that the forfeiture attributable to the Section 73.1590(a)(6) violation for equipment performance measurements should be eliminated. Therefore, the Forfeiture Order reduced the forfeiture amount to
- http://transition.fcc.gov/eb/Orders/fcc00420.doc http://transition.fcc.gov/eb/Orders/fcc00420.html http://transition.fcc.gov/eb/Orders/fcc00420.txt
- Order issued by the Enforcement Bureau in this proceeding. Pursuant to Section 503(b) of the Communications Act of 1934, as amended (``the Act'') and Section 1.80 of the Commission's Rules (``the Rules'') the former Compliance and Information Bureau ("CIB") found WGUL-FM, Inc. liable for a monetary forfeiture in the amount of $7,000 for willful and continuous violation of rule sections 11.52(d) (EAS code and attention signal monitoring requirements), 11.61(a) (tests of EAS procedures), and 73.3526(c) (availability of public inspection file for public inspection). For the reasons discussed below, we lower the forfeiture to $5,000. BACKGROUND 2. In response to a complaint concerning unintentional emissions, the Tampa Florida Field Office ("Field Office") inspected WINV(AM)'s operating facilities. The inspection revealed the aforementioned violations.
- http://transition.fcc.gov/eb/Public_Notices/DA-02-1238A1.html
- NOV or Citation must do so in accordance with the instructions and by the deadline set forth in the NAL, NOV or Citation. NOTICES OF APPARENT LIABILITY 47 C.F.R. Part 11 Emergency Alert System (EAS) Rules * 47 C.F.R. 11.35 Equipment Operations Readiness * WHYZ Radio L.P., Radio Station WCSZ(AM). $8,000 NAL. Atlanta, GA District Office (4/18/02). * 47 C.F.R. 11.52 EAS Code and Attention Signal Monitoring Requirements * Sycamore Valley Broadcasting, Inc., WQSV, Ashland City, TN. $25,000 NAL. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 17.50 (Cleaning and Repainting), 73.1400 (Transmission System Monitoring and Control), and 73.1745 (Unauthorized Operation). Atlanta, GA District Office (4/30/02). 47 C.F.R. Part 17 Antenna Structure Construction, Marking, and Lighting of Antenna Structures *
- http://transition.fcc.gov/eb/Public_Notices/DA-02-1689A1.html
- Atlantic Beach, SC.. $12,000 NAL. Other violation: 47 C.F.R. 73.1745 (Unauthorized Operation). Atlanta, GA District Office (6/24/02). * KGGF-KUSN, Inc., Coffeyville, KS, Springfield, MO. $23,000 NAL. Other violations: 47 C.F.R. 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 17.50 (Cleaning and Repainting) and 73.49 (AM Transmission System Fencing Requirements). Kansas City, MO District Office (6/28/02). * 47 C.F.R. 11.52 EAS Code and Attention Monitoring Requirements * Faith Mountain Communications, Inc., WRRL, Rainelle, WV. $8,000 NAL. Columbia, MD District Office (6/19/02). * 47 C.F.R. 11.61 Tests of EAS Procedures * Reef Broadcasting, Inc., WRRA, WAXJ and WDHP, Christianstead, USVI. $2,000 NAL. San Juan, PR Resident Agent Office (6/18/02). * First National Broadcasting Corporation, KXOL(AM) and KSOS(AM) - Brigham City, UT.
- http://transition.fcc.gov/eb/Public_Notices/DA-02-197A1.html
- Notice of Violation * Larry Birch DBA Birches Communications, Mays Landing, NJ. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration Number) and 17.21 (Painting and Lighting, When Required). Philadelphia, PA District Office (12/21/01). 47 C.F.R. Part 11 Emergency Alert System * 47 C.F.R. 11.15 EAS Operating Handbook * KM Radio of Merced, LLC, Merced, CA (KBKY(FM)). Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.267 (Determining Operating Power), 73.1125 (Station Main Studio Location), 73.1225 (Station Inspection by FCC), 73.1226 (Availability to FCC of Station Logs and Records), 73.1230 (Posting of Station Licenses) and 73.1870 (Chief Operator). San Francisco, CA District Office (12/17/01). * 47 C.F.R. 11.35 Equipment Operational Readiness * King Broadcasting Company, Roswell, NM, KBIM(AM) (Facility
- http://transition.fcc.gov/eb/Public_Notices/DA-02-402A1.html
- WA (KSUH, Puyallup & KWYZ, Everett). Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 17.50 (Cleaning and Repainting), 73.1590 (Equipment Performance Measurements), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Seattle, WA District Office (1/22/02). * 47 C.F.R. 11.52 EAS Code and Attention Signal Monitoring Requirements * Mega Communications, Silver Spring, MD. Other violation: 47 C.F.R. 11.61 (Tests of EAS Procedures). Philadelphia, PA District Office (1/22/02). * 47 C.F.R. 11.61 Tests of EAS Procedures * Quality Broadcasting Corp., Delray Beach, FL. Tampa, FL District Office (1/16/02). * Morgan State College, WEAA, Baltimore, MD. Other violations: 47 C.F.R. 73.1560 (Operating
- http://transition.fcc.gov/eb/Public_Notices/DA-02-724A1.html
- Douglas SMR Works, Inc., Woodinville, WA. Philadelphia, PA District Office (2/14/02). 47 C.F.R. Part 11 Emergency Alert System * 47 C.F.R. 11.15 EAS Operating Handbook * CableVision, Lake Havasu City, AZ. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness) and 11.61 (Tests of EAS Procedures). San Diego, CA District Office (2/19/02). * Adelphia Cable, Durven, PA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 11.61 (Tests of EAS Procedures). Philadelphia, PA District Office (2/14/02). * Genesis Communications I, Inc, Atlanta, FL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 17.4(a) (Antenna Structure Registration). Tampa, FL District Office (2/28/02). * 47 C.F.R. 11.35 Equipment Operational Readiness * Steven M. Greeley, Lake Havasu
- http://transition.fcc.gov/eb/Public_Notices/DA-02-929A1.html
- Antenna Structure Light Inspections in the Owner Record), 73.1125 (Station Main Studio Location), 73.1400 (Transmission System Monitoring and Control) and 73.1870 (Chief Operator). Los Angeles, CA District Office (3/12/02). NOTICES OF VIOLATION 47 C.F.R. Part 1 Practice and Procedure * 47 C.F.R. 1.903 Authorization Required * Fennessey Broadcasting Stations Corp., Scranton, PA. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 73.51 (Determining Operating Power), 73.58 (Indicating Instruments), 73.1225 (Station Inspections by FCC), 73.1350 (Transmission System Operations), 73.1560 (Operating Power and Mode Tolerances), 73.1590 (Equipment Performance Measurements), 73.1800 (General Requirements Related to the Station Log), 73.1840 (Retention of Logs), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for
- http://transition.fcc.gov/eb/Public_Notices/DA-03-1446A1.html
- (General Operating Requirements) and 90.425 (Station Identification). San Diego, CA District Office (3/31/03). 47 C.F.R. Part 11 Emergency Alert System (EAS) Rules * 47 C.F.R. 11.35 Equipment Operational Readiness * Charles R. Meeker, KDPX-LP, Cathedral City, CA. $8,000 NAL. San Diego, CA District Office (1/31/03). * M.J. Phillips Communications, Inc., WJJL, Niagara Falls, NY. $10,000 NAL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 17.4(a) (Antenna Structure Registration) and 73.1560 (Operating Power and Mode Tolerances). Buffalo, NY Resident Agent Office (1/28/03). * Pittman Broadcasting Services, L.L.C., KAOK(AM), KAOK-FM, Covington, Louisiana. $15,000 NAL. Other violation: 47 C.F.R. 73.49 (AM Transmission Fencing Requirements). New Orleans, LA District Office (2/14/03). * Victory & Power Ministries, Inc., WPFC, Baton Rouge, Louisiana.
- http://transition.fcc.gov/eb/Public_Notices/DA-03-404A1.html
- Park, NJ. $10,000 NAL. Other violation: 47 C.F.R. 90.425 (Station Identification). Philadelphia, PA District Office (12/5/02). 47 C.F.R. Part 11 Emergency Alert System (EAS) Rules * 47 C.F.R. 11.35 Equipment Operational Readiness * Minority Business and Housing Development, Inc., WYGG, Uniondale, NY. $13,000 NAL. Other violation: 47 C.F.R. 73.1350 (Transmission System Operation). Philadelphia, PA District Office (12/30/02). * 47 C.F.R. 11.52 -- EAS Code and Attention Signal Monitoring Requirements * MRJ, Inc., Pineville, WV. $22,000 NAL. Other violations: 47 C.F.R. 17.4 (Antenna Structure Registration), 73.49 (AM Transmission Fencing Requirements) and 73.3526 (Local Public Inspection File for Commercial Stations). Columbia, MD District Office (12/26/02). * 47 C.F.R. 11.61 Tests of EAS Procedures * Radio Station WWAM, Inc., WWAM(AM), Lakeland, FL. $2,000 NAL.
- http://transition.fcc.gov/eb/Public_Notices/da001311.doc http://transition.fcc.gov/eb/Public_Notices/da001311.html
- 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 73.49 (AM Transmission System Fencing Requirements), 73.62 (Directional Antenna System Tolerances), 73.1213 (Antenna Structure Marking and Lighting), 73.1230 (Posting of Station License), 73.1870 (Chief Operators), and 73.3526 (Public Inspection File). New Orleans, LA Office (5/11/00). Broadcast Investment Associates, Inc., Rome, GA. NOV also issued for violation of 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 73.1545(a) (Carrier Frequency Departure Tolerances) and 73.3526 (Public Inspection File). Atlanta, GA Office (5/16/00). Michael Radio Group, Glendo, Wyoming. NOV also issued for violation of 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.267 (Determining Operational Power), 73.1125 (Station Main Studio
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- GA District Office (6/6/00). Chancellor Media Radio Licensees, LLC, Chicago, IL, WGCI(AM) and WGCI-FM. Chicago, IL District Office (6/8/00). Canton Broadcasters, Inc. Dallas, TX District Office (6/9/00). Columbia College, Chicago, Illinois, WCRX. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures). Chicago, IL District Office (6/12/00). St. George Broadcasting LLC, Michigan City, Indiana, WIMS. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 11.61 (Tests of EAS Procedures). Chicago, IL District Office (6/12/00). University of AK, on Behalf of University of AK, Fairbanks, KSUA(FM), Fairbanks, AK. Other violations: 47 C.F.R. 73.1230 (Posting of Station License), 73.1870 (Chief Operators), and 73.3527 (Public Inspection File for Noncommercial Educational Stations). Anchorage, AK Resident Agent Office (6/13/00). AT&T
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- C.F.R. 73.1820 (Station Log). Chicago, IL District Office (7/18/00). 47 C.F.R. 11.35 - Equipment Operations Readiness Birach Broadcasting Corp., Southfield, MI (WNWI(AM), Riverdale, IL). Other violations: 47 C.F.R. 73.1560 (Operating Power and Mode Tolerances) and 73.3526 (Public Inspection File). Chicago, IL District Office (7/3/00). Full Gospel Church of God, Lumber City, GA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirments), 11.61 (Tests of EAS Procedures), and 17.4 (Antenna Structure Registration). Atlanta, GA District Office (7/13/00). Tri-County Broadcasting, Inc., Hawkinsville, GA. Other violation: 47 C.F.R. 11.61 (Tests of EAS Procedures). Atlanta, GA District Office (7/13/00). Vidalia Communications Corporation, Vidalia, GA. Atlanta, GA District Office (7/13/00). 47 C.F.R. 11.61 -Tests of EAS Procedures
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- Atlanta Gas Light Company, Atlanta, GA. Other violations: 47 C.F.R. 90.233 (Base/Mobile Non-Voice Operations) and 90.403 (General Operating Requirements). Atlanta, GA District Office (8/29/00). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook Cherokee Broadcasting Company, Inc. Other violations: 47 C.F.R. 11.32 (EAS Encoder), 11.33 (EAS Decoder), 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4 (Antenna Structure Registration), 17.50 (Cleaning and Repainting), and 73.1230 (Posting of Station License). Norfolk, VA Resident Agent Office (8/01/00). AT&T Broadband, Des Moines, IA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.54 (EAS Operation During National Level Emergency) and 11.61 (Tests
- http://transition.fcc.gov/eb/Public_Notices/da002408.doc http://transition.fcc.gov/eb/Public_Notices/da002408.html
- Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook T & W Communications Corp., Columbus, MS. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 73.49 (AM Transmission System Fencing Requirements), 73.1820(Station Log), and 73.3526(Local Public Inspection File for Commercial Stations). New Orleans, LA District Office (9/5/00). Priority Communications, L.L.C., WYAM, Hoover, AL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 17.4(g) (Antenna Structure Registration Number Posting), 73.51 (Determining Operating Power), 73.58 (Indicating Instruments), 73.1230 (Posting of Station License), 73.1590 (Equipment Performance Measurements) 73.1820(Station Log), and 73.3526 (Local Public Inspection File of Commercial Stations). Atlanta, GA District Office (9/7/00). Tele Media Co. of Vermont, L.L.C., WKVT, Brattleboro, VT. Other violation: 47 C.F.R. 11.35
- http://transition.fcc.gov/eb/Public_Notices/da002635.doc http://transition.fcc.gov/eb/Public_Notices/da002635.html
- and 90.215 (Transmitter Measurements). Detroit, MI District Office (10/26/00). 47 C.F.R. 1.955 - Termination of Authorization Lyon Sand and Gravel Company, Wixom, MI. Detroit, MI District Office (10/26/00). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.11 - The Emergency Alert System (EAS) Dilip Viswanath (K44FO, Dallas, TX), East Elmhurst, NY. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 74.765 (Posting of Station and Operator Licenses), and 74.783 (Station Identification). Dallas, TX District Office (10/30/00). 47 C.F.R. 11.15 - EAS Operating Handbook Sheyenne Valley Broadcasting Inc. Lisbon ND. Other violations: 47 C. F. R. 11.35 (Equipment Operations Readiness), 11.61 (Tests of EAS Procedures), 17.4(g) (Antenna
- http://transition.fcc.gov/eb/Public_Notices/da002855.doc http://transition.fcc.gov/eb/Public_Notices/da002855.html
- Commercial Stations). Detroit, MI District Office (11/20/00). 47 C.F.R. Part 1 - Practice and Procedure 47 C.F.R. 1.903 - Authorization Required Whitemarsh Community Ambulance, Lafayette Hill, PA. Philadelphia, PA District Office (11/20/00). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook Discussion Radio, Inc., WDIS, Norfolk, MA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4 (Antenna Structure Registration), 17.50 (Cleaning and Repainting), 73.49 (AM Transmission System Fencing Requirements), 73.58 (Indicating Instruments), 73.1230 (Posting of Station Licenses)), 73.1590 (Equipment Performance Measurements), 73.1870 (Chief Operators) and 73.3526 (Local Public Inspection File for Commercial Stations). Boston, MA District Office (11/16/00). Fifth Avenue Broadcasting Co., Inc.,
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- NY Office (3/31/00). 47 C.F.R. Part 11 (Emergency Alert System (EAS) Rules) 47 C.F.R. 11.15 (EAS Operating Handbook) Cablevision of Massachusetts, Allston, MA. NOV also issued for violation of 47 C.F.R. 11.21, and 11.61. New England District Office (3/10/00). Booth-Newsome Broadcasting, Inc., WKTE, King, North Carolina. NOV also issued for violation of 47 C.F.R. 11.32, 11.33, 11.35, 11.52, 11.61, 73.49, 73.51, 73.1225, 73.1400 73.1350, 73.1560, 73.1590, 73.1870, and 73.3526. Norfolk, VA Office (3/13/00). KICO/AM 1490 kHz, Hanson Broadcasting Co. San Diego, CA Office (3/27/00). First Assembly of God, Gainesville, FL. NOV also issued for violation of 47 C.F.R. 11.52 and 11.61. Tampa, FL Office (3/28/00). KGBA/FM, 100.1 MHz, The Voice of International Christian. San Diego, CA Office
- http://transition.fcc.gov/eb/Public_Notices/da00996.doc http://transition.fcc.gov/eb/Public_Notices/da00996.html
- Page (WPMG359), Naranjito, Puerto Rico. NOV also issued for violation of 47 C.F.R. 90.403(e) (avoidance of harmful interference). San Juan, PR Office (4/13/00). 47 C.F.R. Part 11 (Emergency Alert System (EAS) Rules) 47 C.F.R. 11.15 (EAS Operating Handbook) M.J. Phillips Communications, Inc., Niagara Falls, NY. NOV also issued for violation of 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4 (Antenna Structure Registration), 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 73.51 (Determining Operating Power), 73.58 (Indicating Instruments), 73.1125 (Station Main Studio Location), 73.1560 (Operating Power and Mode Tolerances), 73.1820 (Station Log), and 73.3526 (Public Inspection File). Buffalo, NY Office (4/13/00). 47 C.F.R. 11.35
- http://transition.fcc.gov/eb/Public_Notices/da011019.doc http://transition.fcc.gov/eb/Public_Notices/da011019.html
- CA. Other violations: 47 C.F.R. 90.203 (Certification Required) and 90.437 (Posting Station Licenses). Los Angeles, CA District Office (3/20/01). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook The Board of Education, West Bloomfield School District, Orchard Lake, MI, WBLD-FM (West Bloomfield, MI). Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 11.62 (Closed Circuit Tests of National Legal EAS Facilities), 73.1350 (Transmission System Operation), 73.1400 Transmission System Monitoring and Control), 73.1560 (Operating Power and Mode Tolerances), 73.1660 (Acceptability of Broadcast Transmitters), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator), and 73.3527 (Local Public Inspection File for
- http://transition.fcc.gov/eb/Public_Notices/da01102.doc http://transition.fcc.gov/eb/Public_Notices/da01102.html
- Measurements), 73. 1230 (Posting of Station License), 73.1350 (Transmission System Operation), 73.1545 (Carrier Frequency Departure Tolerances), 73.1560 (Operating Power and Mode Tolerances), 73.1590 (Equipment Performance Measurements), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations). San Diego, CA District Office (12/19/00). AT&T Broadband and Internet Services, Burien WA. Other violations: 47 C.F.R. 11.35 (Equipment Operations Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements)), 17.4(g) (Posting of Antenna Structure Registration Number), 76.305 (Records to be Maintained Locally by Cable System Operators for Public Inspection) and 76.605 (Technical Standards). Seattle, WA District Office (12/26/00). 47 C.F.R. 11.35 - Equipment Operations Readiness AT&T Broadband, Chico, CA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring
- http://transition.fcc.gov/eb/Public_Notices/da011314.doc http://transition.fcc.gov/eb/Public_Notices/da011314.html
- Lights and Associated Control Equipment), 17.57 (Report of Radio Transmitting Antenna Construction, Alteration and/or Removal), 73.49 (AM Transmission System Fencing Requirements), 73.1350 (Transmission System Operation), 73.1590 (Equipment Performance Measurements), 73.1820 (Station Log), 73.1870 (Chief Operator), and 73.2526 (Local Public Inspection File for Commercial Stations). Philadelphia, PA District Office (4/23/01). Four Him Enterprises, L.L.C., Potosi, MO. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 11.61 (Tests of EAS Procedures). Kansas City, MO District Office (4/17/01). Union Broadcasting, Inc. Anna, IL. 47 C.F.R. 73.267 (Determining Operating Power), 73.1125 (Station Main Studio Location), 73.1350 (Transmission System Operation), 73.1560 (Operating Power and Mode Tolerances), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Kansas City,
- http://transition.fcc.gov/eb/Public_Notices/da011644.doc http://transition.fcc.gov/eb/Public_Notices/da011644.html
- Procedures), 73.1225 (Station Inspections by FCC), 73.1226 (Availability to FCC of Station Logs and Records), 73.1230 (Posting of Station License), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Anchorage, AK Resident Agent Office (5/1/01). Lindsay Broadcasting, Garden Grove, CA. Other violations: 47 C.F.R. 11.35 (Equipment Operations Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.1125 (Station Main Studio Location), 73.1225 (Station Inspections by FCC), 73.1226 (Availability to FCC of Station Logs and Records), 73.1230 (Posting of Station License), 73.1560 (Operating Power and Mode Tolerances), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations). San Francisco, CA
- http://transition.fcc.gov/eb/Public_Notices/da011756.doc http://transition.fcc.gov/eb/Public_Notices/da011756.html
- - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook Edmission & Eubank Communications, Inc., WDKN(AM), Dickson, TN. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 73.51 (Determining Operating Power), 73.1230 (Posting of Station License), and 73.1400 (Transmission System Monitoring). Atlanta, GA District Office (6/18/01). Wilson Broadcasting Co., Inc., WAGF(AM), Dothan, AL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.1230 (Posting of Station License), 73.1350 (Transmission System Operations), 73.1400 (Transmission System Monitoring), 73.1690 (Modification of Transmission Systems), 73.1745 (Unauthorized Operation) and 73.1820 (Station Log). Atlanta, GA District Office (6/18/01). Christian Broadcasting Group, Ceiba, PR. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 73.1230 (Posting of Station License), 73.1800 (General Requirements
- http://transition.fcc.gov/eb/Public_Notices/da012031.doc http://transition.fcc.gov/eb/Public_Notices/da012031.html
- ID #1153). Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 17.4(a) (Antenna Structure Registration), 73.1125 (Station Main Studio Location), 73.1201 (Station Identification), 73.1400 (Transmission System Monitoring and Control), 73.1820 (Station Log) and 73.3526 (Local Public Inspection File for Commercial Stations). Denver, CO District Office (7/30/01). KJUL License, LLC, KJUL-FM, North Las Vegas, NV. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures) and 73.1870 (Chief Operator). Los Angeles, CA District Office (7/31/01). KJUL License, LLC, KKLZ-FM, Las Vegas, NV. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures) and 73.1870 (Chief Operator). Los Angeles, CA District Office (7/31/01). KJUL License, LLC,
- http://transition.fcc.gov/eb/Public_Notices/da012273.html http://transition.fcc.gov/eb/Public_Notices/da012273.pdf
- Corp., WPPH856, New York, NY. New York, NY District Office (8/22/01). * 47 C.F.R. 1.923 - Content of Applications * Ocean City Volunteer Fire Department, Inc., KXI892, Ocean City, MD. Columbia, MD District Office (8/1/01). 47 C.F.R. Part 11 Emergency Alert System * 47 C.F.R. 11.15 EAS Operating Handbook * Lifeline Radio Corporation, WANL, Albany, GA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.44 (AM Transmission System Emission Limitations), 73.1230 (Posting of Station License), 73.1350 (Transmission System Operation), 73.1590 (Equipment Performance Measurements), 73.1745 (Unauthorized Operation), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Atlanta, GA District Office (8/9/01). * Bartow Broadcasting Co., Inc. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention
- http://transition.fcc.gov/eb/Public_Notices/da012540.html http://transition.fcc.gov/eb/Public_Notices/da012540.pdf
- Period). Denver, CO District Office (9/18/01). 47 C.F.R. Part 1 Practice and Procedure * 47 C.F.R. 1.903 Authorization Required * Town of Oyster Bay Public Works Department, KBL758, Svosset, NY. New York, NY District Office (9/20/01). 47 C.F.R. Part 11 Emergency Alert System * 47 C.F.R. 11.15 EAS Operating Handbook * Margate Communications, Atlantic City, NJ. Other violation: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements). Philadelphia, PA District Office (9/21/01). * Creative Educational Media Corp., Inc., Branson, MO. Other violation: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements). Kansas City, MO District Office (9/24/01). * Vera R. Baldwin, Inc., WDLW(AM), Fairfield, OH. Other violation: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements). Detroit, MI
- http://transition.fcc.gov/eb/Public_Notices/da012818.html http://transition.fcc.gov/eb/Public_Notices/da012818.pdf
- Operator) and 73.3527 (Local Public Inspection File for Noncommercial Educational Stations). Kansas City, MO District Office (10/1/01). * CB Radio, Inc., WBEJ, Elizabethton, TN. Other violations: 17.4(g) (Posting of Antenna Structure Registration Number), 73.51 (Determining Operating Power), and 73.1590 (Equipment Performance Measurements). Atlanta, GA District Office (10/4/01). * Charter Communications, Dalton, GA. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures) and 73.1820 (Station Log). Atlanta, GA District Office (10/23/01). * 47 C.F.R. 11.35 Equipment Operational Readiness * Gold Coast Broadcasting Company, KKZZ(AM), Santa Paula, CA. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures) and 73.1870 (Chief Operator). Los Angeles, CA District Office (10/1/01). * Gold Coast Broadcasting
- http://transition.fcc.gov/eb/Public_Notices/da012948.html http://transition.fcc.gov/eb/Public_Notices/da012948.pdf
- and Procedure * 47 C.F.R. 1.903 Authorization Required * Amquip Corporation, Bensalem, PA. Philadelphia, PA District Office (11/7/01). * Aeronautical Radio, Inc., WPC8, DFW International Airport, TX. Dallas, TX District Office (11/19/01). 47 C.F.R. Part 11 Emergency Alert System * 47 C.F.R. 11.15 EAS Operating Handbook * Beacon Broadcasting, Inc., Greenville, PA. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4(g) (Posting of Antenna Structure Registration Number), 17.23 (Specifications for Painting and Lighting of Antenna Structures), 17.48 (Notification of Extinguishment and Improper Functioning of Lights), 17.50 (Cleaning and Repainting), 73.58 (Indicating Instruments), 73.1201 (Station Identification), 73.1350 (Transmission System Operation), 73.1560 (Operating Power and Mode Tolerances), 73.1590 (Equipment Performance
- http://transition.fcc.gov/eb/Public_Notices/da01541.doc http://transition.fcc.gov/eb/Public_Notices/da01541.html
- District Office (1/12/01). Saga Communications of Iowa, Inc., dba KRNT(AM), KXTK(AM), KIOA-FM and KSTZ(FM), Des Moines, IA, KAZR(FM), Pella, IA and KLTI(FM), Ames, IA. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 73.62 (Directional Antenna System Tolerances), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations). Kansas City, MO District Office (1/25/01). 47 C.F.R. 11.52 - EAS Code and Attention Signal Monitoring Requirements Clear Channel Broadcasting Licenses, Inc., Midland, TX. Other violation: 47 C.F.R. 11.61 (Tests of EAS Procedures). Dallas, TX District Office (1/12/01). 47 C.F.R. 11.61 -Tests of EAS Procedures Cumulus Licensing Corp., WLOV(AM)/WXKT(FM), Washington, GA. Other violations: 47 C.F.R. 17.4(g) (Posting of Antenna Structure Registration Number), 17.50 (Cleaning and Repainting),
- http://transition.fcc.gov/eb/Public_Notices/da01711.doc http://transition.fcc.gov/eb/Public_Notices/da01711.html
- EAS Procedures) and 73.1870 (Chief Operator). Columbia, MD District Office (2/16/01). Dabney-Adamson Broadcasting, Inc., WDAB(AM), Travelers Rest, SC. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 17.50 (Cleaning and Repainting), and 73.1230 (Posting of Station License). Atlanta, GA District Office (2/26/01). 47 C.F.R. 11.35 - Equipment Operational Readiness WADV Radio, Inc, Birdsboro, PA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4(g) (Posting of Antenna Structure Registration Numbers), 73.51 (Determining Operating Power), 73.1201 (Station Identification), 73.1350 Transmission System Operation), 73.1560 (Operating Power and Mode Tolerances), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations), Philadelphia, PA District Office (2/12/01). AT&T Broadband, Kalispell, Montana. Other violations: 47
- http://transition.fcc.gov/eb/bc-chklsts/EB18LPFM06_2008.pdf
- can be alerted immediately when EAS messages are received. Only one EAS decoder is required for combined facilities operating from one common location, such as a co-owned and co-located AM and FM studio. All decoder devices are to be certified by the Commission in accordance with Part 2 Subpart J of the Commission's rules. [See 11.31, 11.33, 11.34, 11.35 and 11.52] 27. CERTIFIED EQUIPMENT: Does the station use only certified EAS equipment at each location utilized for EAS monitoring? [See 11.34] 28. EQUIPMENT STATUS: Is the required EAS decoding/receiving equipment currently installed and in operational condition? [See 11.35] 29. INSTANTANEOUS ALERT RECEPTION: For manually operated EAS decoding equipment, is the decoder installed in a way that enables broadcast station staff to
- http://transition.fcc.gov/pshs/docs/services/eas/Second.pdf
- assigned EAS sources is not possible at the remote location, automatic operation is required. If automatic operation is used, the remote control location may be used to override the transmission of an EAS alert. Broadcast stations and cable systems and wireless cable systems may change back and forth between automatic and manual operation. * * * * * L.. Section 11.52 is amended by revising the third sentence of paragraph (a), paragraphs (b) through (d)(2), and the introductory sentence of paragraph (e) to read as follows: 11 11.52 EAS code and Attention Signal Monitoring requirements. (a) * * *The effective dates for cable and wireless cable systems to install and operate EAS equipment are set forth in 11.11. *
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ref99.pdf
- Residential Rate* % RUS Borrower Lines% RUS Borrower ExchangesNo. RUS Borrowers % RUS Borrowers 1-400 $16.03 $12.58 0.11% 0.54% 23 2.92% 401 - 1,000 16.31 11.73 1.27% 3.90% 103 13.05% 1001- 2,000 17.11 11.19 4.69% 10.70% 182 23.07% 2001 - 4,000 19.06 11.74 8.59% 15.94% 170 21.55% 4001 - 8,000 18.73 11.03 15.30% 23.24% 155 19.65% 8001 - 12,000 19.33 11.52 11.03% 12.32% 64 8.11% 12001 - 20,000 22.77 12.30 11.80% 11.03% 44 5.58% 20001 - 30,000 21.74 10.23 8.10% 5.08% 19 2.41% over 30,000 23.75 12.04 39.21% 17.36% 30 3.80% all borrowers 19.42 11.59 100.00 100.00 790 100.00 * Average rates do not include subscriber line charges, surcharges, 911 charges or taxes. 39 Table 1.24 Average Monthly Rates for RUS
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ror00.pdf
- 10.32 11.63 13.38 13.01 12.91 11.80 10.75 4 Ameritech Operating Companies 29.71 28.93 22.59 18.22 18.27 16.78 13.39 14.80 12.79 13.00 5 Nevada Bell 22.07 19.26 16.02 19.47 17.75 17.31 17.92 17.44 14.51 12.98 6 Pacific Bell 19.30 21.01 16.50 11.98 17.68 15.76 14.93 12.89 12.68 11.85 7 Southern New England Telephone Company 23.91 12.12 10.99 12.70 11.64 11.58 11.34 11.52 12.90 8.56 Verizon Companies 8 Bell Atlantic dba Verizon Communications 13.36 13.66 (Former Bell Atlantic Companies) Bell Atlantic 13.88 14.73 11.24 13.74 14.00 14.01 12.50 12.83 Bell Atlantic (NYNEX) 11.40 13.72 15.23 12.12 11.79 12.55 12.50 New England Telephone and Telegraph Co. 8.54 New York Telephone 9.82 (Former GTE Companies) 9 GTE South Inc. (Kentucky - COKY) 32.50 9.55 5.97
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ror96.pdf
- 10.61 107GTE MTO INC. - WISCONSIN 15.01 12.45 19.69 17.87 (23.71) 19.20 18.17 108HAWAIIAN TELEPHONE COMPANY 12.80 12.45 12.85 9.76 (19.71) 22.23 13.14 109ILLINOIS CONSOLIDATED TELEPHONE COMPANY 12.25 12.20 8.35 13.11 10.00 13.13 13.12 110INLAND TELEPHONE COMPANY 15.32 12.38 (6.98) 28.05 - 26.59 27.56 111KALONA COOPERATIVE TELEPHONE COMPANY 16.63 12.38 15.85 22.99 - (3.45) 21.74 112KERMAN TELEPHONE COMPANY 12.66 12.38 11.52 10.18 - 37.49 13.39 113LAKESIDE TELEPHONE COMPANY 13.81 12.38 (1.86) 28.42 - (0.64) 17.46 114LEAF RIVER TELEPHONE COMPANY 2/ 8.19 12.52 - 22.13 (61.33) 41.21 (6.00) 115MATANUSKA TELEPHONE ASSOCIATION, INC. 10.36 12.38 5.31 3.89 - (15.95) 1.90 116MIDLAND TELEPHONE COMPANY 14.97 12.38 (2.62) 29.54 - 21.12 25.79 117MOULTRIE INDEPENDENT TELEPHONE COMPANY 6.51 12.38 - 5.20 - (21.74) (8.24) 118NORTH DAKOTA
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ror97.pdf
- FOR 1991, 1992, 1993, 1994, 1995, 1996 AND INITIAL REPORT FOR 1997 AS OF MAY 1, 1998. REPORTING ENTITY 1997 1996 1995 1994 1993 1992 1991 50 GTE SOUTHWEST INC. (OKLAHOMA ONLY - GTOK) 16/ 18.46 10.77 6.70 6.44 51 GTE SOUTHWEST INC. (TEXAS ONLY - GTTX) 16/ 15.04 11.53 7.11 7.24 GTE SOUTHWEST INC. (TOTAL SOUTHWEST GTE) 16/ 9.00 11.52 10.22 52 GTE SOUTHWEST INC. (TEXAS CONTEL) 10/ 18.27 22.42 14.62 8.29 17.89 9.64 10.22 53 GTE SOUTHWEST INC. (CONTEL NEW MEXICO) 17/ 48.86 42.53 47.29 27.57 CONTEL OF THE WEST dba GTE WEST (ARIZONA ONLY - COWZ) 17/ 14.86 GTE WEST (WEST CONTEL) 17/ 17.26 13.81 10.51 54 MICRONESIAN TELECOMMUNICATIONS CORP. 18/ 20.06 15.49 7.49 2.53 GTE NEW YORK
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ror98.pdf
- TELEPHONE COMPANIES 20.80 17.91 16.40 15.78 15.92 13.68 12.80 12.62 SBC COMMUNICATIONS, INC. 3/ 5 SOUTHWESTERN BELL TELEPHONE COMPANY 8.54 10.32 11.63 13.38 13.01 12.91 11.80 10.75 6 NEVADA BELL 12.30 19.47 17.75 17.31 17.92 17.44 14.51 12.98 7 PACIFIC BELL 14.22 11.98 17.68 15.76 14.93 12.89 12.68 11.85 8 SOUTHERN NEW ENGLAND TELEPHONE COMPANY 10.99 12.70 11.64 11.58 11.34 11.52 12.90 8.56 9 U.S. WEST COMMUNICATIONS, INC. 16.54 15.41 13.64 12.00 12.40 13.62 12.41 12.40 GTE 4/ 5/ 10 GTE SOUTH INC. (KENTUCKY - COKY) 6/ 7.52 6.62 4.49 4.79 5.56 11 GTE SOUTH INC. (N. CAROLINA - CONC) 6/ 14.47 16.63 11.98 14.16 10.75 12 GTE SOUTH INC. (S. CAROLINA - COSC) 6/ 27.74 25.09 17.40 12.32 9.77 13
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ror99.pdf
- 10.32 11.63 13.38 13.01 12.91 11.80 10.75 5 Ameritech Operating Companies 5/ 28.93 22.59 18.22 18.27 16.78 13.39 14.80 12.79 13.00 6 Nevada Bell 5/ 18.99 16.02 19.47 17.75 17.31 17.92 17.44 14.51 12.98 7 Pacific Bell 5/ 20.87 16.50 11.98 17.68 15.76 14.93 12.89 12.68 11.85 8 Southern New England Telephone Company 5/ 12.12 10.99 12.70 11.64 11.58 11.34 11.52 12.90 8.56 9 U S WEST Communications, Inc. 6/ 19.09 16.56 15.41 13.64 12.00 12.40 13.62 12.41 12.40 GTE 7/ 8/ 9/ 10 GTE South Inc. (Kentucky - COKY) 10/ 9.65 5.97 6.62 4.49 4.79 5.56 11 GTE South Inc. (N. Carolina - CONC) 10/ 19.90 12.78 16.63 11.98 14.16 10.75 GTE South Inc. (S. Carolina - COSC) 10/ 18/
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend100.pdf
- 17.91 16.40 15.78 15.92 13.68 12.80 12.62 SBC Communications, Inc. 4/ 5 Southwestern Bell Telephone Company 5/ 9.91 10.32 11.63 13.38 13.01 12.91 11.80 10.75 6 Nevada Bell 5/ 16.02 19.47 17.75 17.31 17.92 17.44 14.51 12.98 7 Pacific Bell 5/ 15.48 11.98 17.68 15.76 14.93 12.89 12.68 11.85 8 Southern New England Telephone Company 10.99 12.70 11.64 11.58 11.34 11.52 12.90 8.56 9 U S WEST Communications, Inc. 6/ 16.53 15.41 13.64 12.00 12.40 13.62 12.41 12.40 GTE 7/ 8/ 9/ 10 GTE South Inc. (Kentucky - COKY) 10/ 5.81 6.62 4.49 4.79 5.56 11 GTE South Inc. (N. Carolina - CONC) 10/ 12.56 16.63 11.98 14.16 10.75 12 GTE South Inc. (S. Carolina - COSC) 10/ 26.22 25.09 17.40
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend199.pdf
- GTE SOUTHWEST INC. (ARKANSAS ONLY - GTAR) 16/ 3.55 (1.97) (1.57) 0.65 49 GTE SOUTHWEST INC. (NEW MEXICO ONLY - GTNM) 16/ 24.24 24.60 17.18 10.00 50 GTE SOUTHWEST INC. (OKLAHOMA ONLY - GTOK) 16/ 18.46 10.77 6.70 6.44 51 GTE SOUTHWEST INC. (TEXAS ONLY - GTTX) 16/ 15.04 11.53 7.11 7.24 GTE SOUTHWEST INC. (TOTAL SOUTHWEST GTE) 16/ 9.00 11.52 10.22 52 GTE SOUTHWEST INC. (TEXAS CONTEL) 10/ 18.27 22.42 14.62 8.29 17.89 9.64 10.22 53 GTE SOUTHWEST INC. (CONTEL NEW MEXICO) 17/ 48.86 42.53 47.29 27.57 CONTEL OF THE WEST dba GTE WEST (ARIZONA ONLY - COWZ) 17/ 14.86 GTE WEST (WEST CONTEL) 17/ 17.26 13.81 10.51 54 MICRONESIAN TELECOMMUNICATIONS CORP. 18/ 20.06 15.49 7.49 2.53 GTE NEW YORK
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend200.pdf
- 10.32 11.63 13.38 13.01 12.91 11.80 10.75 5 Ameritech Operating Companies 5/ 28.93 22.59 18.22 18.27 16.78 13.39 14.80 12.79 13.00 6 Nevada Bell 5/ 18.99 16.02 19.47 17.75 17.31 17.92 17.44 14.51 12.98 7 Pacific Bell 5/ 20.87 16.50 11.98 17.68 15.76 14.93 12.89 12.68 11.85 8 Southern New England Telephone Company 5/ 12.12 10.99 12.70 11.64 11.58 11.34 11.52 12.90 8.56 9 U S WEST Communications, Inc. 6/ 19.09 16.56 15.41 13.64 12.00 12.40 13.62 12.41 12.40 GTE 7/ 8/ 9/ 10 GTE South Inc. (Kentucky - COKY) 10/ 9.65 5.97 6.62 4.49 4.79 5.56 11 GTE South Inc. (N. Carolina - CONC) 10/ 19.90 12.78 16.63 11.98 14.16 10.75 GTE South Inc. (S. Carolina - COSC) 10/ 18/
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend298.pdf
- GTE SOUTHWEST INC. (ARKANSAS ONLY - GTAR) 16/ 3.55 (1.97) (1.57) 0.65 49 GTE SOUTHWEST INC. (NEW MEXICO ONLY - GTNM) 16/ 24.24 24.60 17.18 10.00 50 GTE SOUTHWEST INC. (OKLAHOMA ONLY - GTOK) 16/ 18.46 10.77 6.70 6.44 51 GTE SOUTHWEST INC. (TEXAS ONLY - GTTX) 16/ 15.04 11.53 7.11 7.24 GTE SOUTHWEST INC. (TOTAL SOUTHWEST GTE) 16/ 9.00 11.52 10.22 52 GTE SOUTHWEST INC. (TEXAS CONTEL) 10/ 18.27 22.42 14.62 8.29 17.89 9.64 10.22 53 GTE SOUTHWEST INC. (CONTEL NEW MEXICO) 17/ 48.86 42.53 47.29 27.57 CONTEL OF THE WEST dba GTE WEST (ARIZONA ONLY - COWZ) 17/ 14.86 GTE WEST (WEST CONTEL) 17/ 17.26 13.81 10.51 54 MICRONESIAN TELECOMMUNICATIONS CORP. 18/ 20.06 15.49 7.49 2.53 GTE NEW YORK
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend299.pdf
- 17.91 16.40 15.78 15.92 13.68 12.80 12.62 SBC Communications, Inc. 4/ 5 Southwestern Bell Telephone Company 5/ 9.91 10.32 11.63 13.38 13.01 12.91 11.80 10.75 6 Nevada Bell 5/ 16.02 19.47 17.75 17.31 17.92 17.44 14.51 12.98 7 Pacific Bell 5/ 15.48 11.98 17.68 15.76 14.93 12.89 12.68 11.85 8 Southern New England Telephone Company 10.99 12.70 11.64 11.58 11.34 11.52 12.90 8.56 9 U S WEST Communications, Inc. 6/ 16.53 15.41 13.64 12.00 12.40 13.62 12.41 12.40 GTE 7/ 8/ 9/ 10 GTE South Inc. (Kentucky - COKY) 10/ 5.81 6.62 4.49 4.79 5.56 11 GTE South Inc. (N. Carolina - CONC) 10/ 12.56 16.63 11.98 14.16 10.75 12 GTE South Inc. (S. Carolina - COSC) 10/ 26.22 25.09 17.40
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend801.pdf
- 12.91 13.01 13.38 11.63 10.32 9.91 10.22 14.56 4 Ameritech Operating Companies 5/ 13.00 12.79 14.80 13.39 16.78 18.27 18.22 22.59 28.93 29.71 5 Nevada Bell 5/ 12.98 14.51 17.44 17.92 17.31 17.75 19.47 16.02 19.26 22.07 6 Pacific Bell 5/ 11.85 12.68 12.89 14.93 15.76 17.68 11.98 16.50 21.01 19.30 7 Southern New England Telephone Company 5/ 8.56 12.90 11.52 11.34 11.58 11.64 12.70 10.99 12.12 23.91 Verizon Companies 6/ 8 Bell Atlantic dba Verizon Communications 7/ 13.66 13.36 (Former Bell Atlantic Companies) Bell Atlantic 12.83 12.50 14.01 14.00 13.74 11.24 14.73 13.88 Bell Atlantic (NYNEX) 8/ 12.50 12.55 11.79 12.12 15.23 13.72 11.40 New England Telephone and Telegraph Co. 8.54 New York Telephone 9.82 (Former GTE Companies) 9/ 10/
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr03-3.pdf
- TELCOM 7.37 1.58 5.70 9.19 381610 C DAKOTA CENTRAL TELECOMMUNICATIONS COOPERATIVE 13.46 -2.06 15.85 27.85 381611 C DICKEY RURAL TEL COOP. 9.20 1.92 7.14 16.15 381614 A POLAR TELECOMMUNICATIONS, INC. 3.24 -2.02 5.36 6.58 381615 A GRIGGS COUNTY TELEPHONE COMPANY 9.56 -1.14 10.82 39.14 381616 C INTER-COMMUNITY TELEPHONE COMPANY 14.63 0.37 14.20 29.22 381617 C MIDSTATE TELEPHONE COMPANY 9.31 -1.99 11.52 30.65 381622 A MOORE & LIBERTY TELEPHONE COMPANY 9.49 0.60 8.83 28.68 3 - 195 Table 3.32 High-Cost Loop Support Percentage Changes from 2000 to 2001 by Study Area Unseparated High Cost Study Unseparated Number NTS Revenue Loop Support Area NTS Revenue of Requirement Payments in Code Type Study Area Name Requirement Loops per Loop Later Year* NORTH DAKOTA (CONT.)
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr04-3.pdf
- -5.86 4.75 -0.52 512290 C ALL WEST COMMUNICATIONS-WY -29.20 -7.16 -23.74 -74.67 512291 C DUBOIS TELEPHONE EXCHANGE INC. -1.23 -0.04 -1.19 -4.17 512295 C SILVER STAR TEL. CO.- WY 12.31 2.76 9.30 16.52 512296 C TRI-COUNTY TEL. ASSN. INC.-WY 4.95 0.71 4.21 4.96 512297 C UNION TELEPHONE CO. -5.59 0.39 -5.96 -17.05 512299 C CENTURYTEL OF WYOMING, INC. 11.11 -0.37 11.52 42.47 515108 C QWEST CORPORATION - WY -0.16 -3.07 3.01 0.00 INDUSTRY Total -1.48 -2.95 1.52 1.24 Total Number of Study Areas: -0.14 Total Number of Reporting Areas: 0.21 * Percentage changes from 2003 to 2004. Source: Calculated from National Exchange Carrier Association data. 3 - 193 Study Area CodeStudy Area Name 1998 1999 2000 2001 2002 ALABAMA Total 668,647,749
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mrs01-0.pdf
- 17.62 5.08 11.93 80.43 351309 A TERRIL TELEPHONE COOPERATIVE 10.29 -0.60 10.96 72.23 351310 A TITONKA TEL. CO. 11.76 2.94 8.57 67.40 351316 C UNITED FARMERS TEL. CO. -6.03 -12.39 7.26 0.00 351319 A VAN BUREN TEL. CO., INC. 15.37 4.35 10.57 75.76 351320 A VAN HORNE COOP. TEL. CO. 13.96 4.55 8.99 70.53 351322 A VENTURA TEL. CO., INC. 11.52 2.20 9.12 69.38 351324 A VILLISCA FARMERS TEL. CO. 10.29 1.59 8.57 66.46 351326 A WALNUT TEL. CO. 5.95 1.78 4.09 34.60 351327 C WEBB-DICKENS TEL. CORP. -10.46 0.45 -10.86 0.00 351328 A WEBSTER-CALHOUN COOP. TEL. ASSN. 16.08 2.77 12.95 80.59 351329 A WELLMAN COOP. TEL. ASSN. -1.39 3.23 -4.47 0.00 351331 A WEST IOWA TEL. CO. 5.68 2.58 3.02
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mrs02-0.pdf
- -0.08 2.28 26.49 340983 A CAMBRIDGE TEL. CO.-IL 12.47 2.32 9.92 304.69 340984 C CASS COUNTY TEL. CO. 11.22 -0.35 11.61 77.59 340990 A CLARKSVILLE MUTUAL TEL. CO. 17.76 10.50 6.57 55.90 340993 A CROSSVILLE TEL. CO. 7.29 -1.27 8.68 125.53 340998 A FRONTIER COMM. OF DEPUE, INC. 8.78 -0.82 9.67 195.66 341003 C EGYPTIAN TEL. COOP. ASSN. 7.46 -3.64 11.52 37.46 341004 C EL PASO TEL. CO. 17.39 4.80 12.01 256.24 341009 C C-R TEL. CO. -2.82 -1.00 -1.84 -2.42 3 - 188 Table 3.33 High-Cost Loop Support Percentage Changes from 1999 to 2000 by Study Area Unseparated High Cost Study Unseparated Number NTS Revenue Loop Support Area NTS Revenue of Requirement Payments in Code Type Study Area Name Requirement
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/01socc.pdf
- 274.8 143.3 131.6 78.9 52.7 12.58 5.29 12.07 29.94 22.7MD Massachusetts 249.2 110.1 139.1 66.2 72.9 11.37 7.91 26.17 45.45 27.4MA Michigan 221.5 187.1 34.4 15.2 19.2 3.01 1.92 0.83 5.76 13.5MI Minnesota 153.4 74.1 79.2 57.2 22.1 11.28 1.71 0.72 13.71 8.4MN Mississippi 148.4 24.8 123.6 118.0 5.7 (0.50) (0.21) 0.46 (0.26) 5.9MS Missouri 479.6 363.8 115.8 84.1 31.7 11.52 3.51 5.02 20.05 11.6MO Montana 10.4 9.4 1.0 (0.3) 1.3 0.03 (0.17) (0.37) (0.51) 1.8MT Nebraska 131.3 49.5 81.8 60.4 21.4 8.13 3.37 6.21 17.71 3.7NE Nevada 122.2 77.0 45.2 31.6 13.6 2.57 2.17 0.67 5.40 8.2NV New Hampshire 38.9 17.7 21.2 8.4 12.8 3.43 1.49 3.06 7.98 4.8NH New Jersey 366.9 224.3 142.6 55.9 86.7 25.34 8.39 19.28 53.01
- http://www.fcc.gov/Bureaus/Enforcement/Orders/2000/da000814.doc
- NY Office (3/31/00). 47 C.F.R. Part 11 (Emergency Alert System (EAS) Rules) 47 C.F.R. 11.15 (EAS Operating Handbook) Cablevision of Massachusetts, Allston, MA. NOV also issued for violation of 47 C.F.R. 11.21, and 11.61. New England District Office (3/10/00). Booth-Newsome Broadcasting, Inc., WKTE, King, North Carolina. NOV also issued for violation of 47 C.F.R. 11.32, 11.33, 11.35, 11.52, 11.61, 73.49, 73.51, 73.1225, 73.1400 73.1350, 73.1560, 73.1590, 73.1870, and 73.3526. Norfolk, VA Office (3/13/00). KICO/AM 1490 kHz, Hanson Broadcasting Co. San Diego, CA Office (3/27/00). First Assembly of God, Gainesville, FL. NOV also issued for violation of 47 C.F.R. 11.52 and 11.61. Tampa, FL Office (3/28/00). KGBA/FM, 100.1 MHz, The Voice of International Christian. San Diego, CA Office
- http://www.fcc.gov/Bureaus/Enforcement/Orders/2000/da000897.doc
- WGUL-FM, Inc. an Official Notice of Violation ("NOV") citing the above noted violations of the Rules. On April 14, 1998, the Tampa Office received a written response to the NOV. On June 1, 1998, the District Director of the Tampa Office issued an NAL to WGUL-FM, Inc. in the amount of $10,000 for the willful and continuous violation of Sections 11.52(d), 11.61(a), 73.1590(a)(6), and 73.3526(c) of the Rules. 4. WGUL-FM, Inc. filed a Request for Remission or Reduction of Forfeiture. The Compliance and Information Bureau issued a Forfeiture Order for three of the violations and ruled that the forfeiture attributable to the Section 73.1590(a)(6) violation for equipment performance measurements should be eliminated. Therefore, the Forfeiture Order reduced the forfeiture amount to
- http://www.fcc.gov/Bureaus/Enforcement/Public_Notices/2000/da000813.doc
- NY Office (3/31/00). 47 C.F.R. Part 11 (Emergency Alert System (EAS) Rules) 47 C.F.R. 11.15 (EAS Operating Handbook) Cablevision of Massachusetts, Allston, MA. NOV also issued for violation of 47 C.F.R. 11.21, and 11.61. New England District Office (3/10/00). Booth-Newsome Broadcasting, Inc., WKTE, King, North Carolina. NOV also issued for violation of 47 C.F.R. 11.32, 11.33, 11.35, 11.52, 11.61, 73.49, 73.51, 73.1225, 73.1400 73.1350, 73.1560, 73.1590, 73.1870, and 73.3526. Norfolk, VA Office (3/13/00). KICO/AM 1490 kHz, Hanson Broadcasting Co. San Diego, CA Office (3/27/00). First Assembly of God, Gainesville, FL. NOV also issued for violation of 47 C.F.R. 11.52 and 11.61. Tampa, FL Office (3/28/00). KGBA/FM, 100.1 MHz, The Voice of International Christian. San Diego, CA Office
- http://www.fcc.gov/Bureaus/Enforcement/Public_Notices/2000/da000996.doc
- Page (WPMG359), Naranjito, Puerto Rico. NOV also issued for violation of 47 C.F.R. 90.403(e) (avoidance of harmful interference). San Juan, PR Office (4/13/00). 47 C.F.R. Part 11 (Emergency Alert System (EAS) Rules) 47 C.F.R. 11.15 (EAS Operating Handbook) M.J. Phillips Communications, Inc., Niagara Falls, NY. NOV also issued for violation of 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4 (Antenna Structure Registration), 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 73.51 (Determining Operating Power), 73.58 (Indicating Instruments), 73.1125 (Station Main Studio Location), 73.1560 (Operating Power and Mode Tolerances), 73.1820 (Station Log), and 73.3526 (Public Inspection File). Buffalo, NY Office (4/13/00). 47 C.F.R. 11.35
- http://www.fcc.gov/Bureaus/Enforcement/Public_Notices/2000/da001311.doc
- 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 73.49 (AM Transmission System Fencing Requirements), 73.62 (Directional Antenna System Tolerances), 73.1213 (Antenna Structure Marking and Lighting), 73.1230 (Posting of Station License), 73.1870 (Chief Operators), and 73.3526 (Public Inspection File). New Orleans, LA Office (5/11/00). Broadcast Investment Associates, Inc., Rome, GA. NOV also issued for violation of 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 73.1545(a) (Carrier Frequency Departure Tolerances) and 73.3526 (Public Inspection File). Atlanta, GA Office (5/16/00). Michael Radio Group, Glendo, Wyoming. NOV also issued for violation of 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.267 (Determining Operational Power), 73.1125 (Station Main Studio
- http://www.fcc.gov/Bureaus/Enforcement/Public_Notices/2000/da001683.doc http://www.fcc.gov/Bureaus/Enforcement/Public_Notices/2000/da001683.html
- GA District Office (6/6/00). Chancellor Media Radio Licensees, LLC, Chicago, IL, WGCI(AM) and WGCI-FM. Chicago, IL District Office (6/8/00). Canton Broadcasters, Inc. Dallas, TX District Office (6/9/00). Columbia College, Chicago, Illinois, WCRX. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures). Chicago, IL District Office (6/12/00). St. George Broadcasting LLC, Michigan City, Indiana, WIMS. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 11.61 (Tests of EAS Procedures). Chicago, IL District Office (6/12/00). University of AK, on Behalf of University of AK, Fairbanks, KSUA(FM), Fairbanks, AK. Other violations: 47 C.F.R. 73.1230 (Posting of Station License), 73.1870 (Chief Operators), and 73.3527 (Public Inspection File for Noncommercial Educational Stations). Anchorage, AK Resident Agent Office (6/13/00). AT&T
- http://www.fcc.gov/Bureaus/Enforcement/Public_Notices/2000/da001850.doc
- C.F.R. 73.1820 (Station Log). Chicago, IL District Office (7/18/00). 47 C.F.R. 11.35 - Equipment Operations Readiness Birach Broadcasting Corp., Southfield, MI (WNWI(AM), Riverdale, IL). Other violations: 47 C.F.R. 73.1560 (Operating Power and Mode Tolerances) and 73.3526 (Public Inspection File). Chicago, IL District Office (7/3/00). Full Gospel Church of God, Lumber City, GA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirments), 11.61 (Tests of EAS Procedures), and 17.4 (Antenna Structure Registration). Atlanta, GA District Office (7/13/00). Tri-County Broadcasting, Inc., Hawkinsville, GA. Other violation: 47 C.F.R. 11.61 (Tests of EAS Procedures). Atlanta, GA District Office (7/13/00). Vidalia Communications Corporation, Vidalia, GA. Atlanta, GA District Office (7/13/00). 47 C.F.R. 11.61 -Tests of EAS Procedures
- http://www.fcc.gov/Bureaus/Enforcement/Public_Notices/2000/da002136.doc
- Atlanta Gas Light Company, Atlanta, GA. Other violations: 47 C.F.R. 90.233 (Base/Mobile Non-Voice Operations) and 90.403 (General Operating Requirements). Atlanta, GA District Office (8/29/00). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook Cherokee Broadcasting Company, Inc. Other violations: 47 C.F.R. 11.32 (EAS Encoder), 11.33 (EAS Decoder), 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4 (Antenna Structure Registration), 17.50 (Cleaning and Repainting), and 73.1230 (Posting of Station License). Norfolk, VA Resident Agent Office (8/01/00). AT&T Broadband, Des Moines, IA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.54 (EAS Operation During National Level Emergency) and 11.61 (Tests
- http://www.fcc.gov/Bureaus/Enforcement/Public_Notices/2000/da002408.doc
- Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook T & W Communications Corp., Columbus, MS. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 73.49 (AM Transmission System Fencing Requirements), 73.1820(Station Log), and 73.3526(Local Public Inspection File for Commercial Stations). New Orleans, LA District Office (9/5/00). Priority Communications, L.L.C., WYAM, Hoover, AL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 17.4(g) (Antenna Structure Registration Number Posting), 73.51 (Determining Operating Power), 73.58 (Indicating Instruments), 73.1230 (Posting of Station License), 73.1590 (Equipment Performance Measurements) 73.1820(Station Log), and 73.3526 (Local Public Inspection File of Commercial Stations). Atlanta, GA District Office (9/7/00). Tele Media Co. of Vermont, L.L.C., WKVT, Brattleboro, VT. Other violation: 47 C.F.R. 11.35
- http://www.fcc.gov/Bureaus/Mass_Media/Orders/2000/fcc00019.doc http://www.fcc.gov/Bureaus/Mass_Media/Orders/2000/fcc00019.pdf http://www.fcc.gov/Bureaus/Mass_Media/Orders/2000/fcc00019.txt
- and the originator of the alert message. Id. at 2, n. 4. National level EAS messages and EAS tests must be forwarded to the public upon receipt. EAS participants transmit state and local messages on a voluntary basis. Id. at 2. Specifically, EAS equipment must be able to perform the functions described in sections 11.31, 11.32, 11.33, 11.51, 11.52, and 11.61 of our rules. Class D noncommercial educational FM and LPTV stations are not required to install or operate encoders as defined in section 11.32, to have equipment capable of generating the EAS codes and Attention Signal specified in section 11.31, or to perform certain parts of EAS tests. Accordingly, we amend section 11.11(b) to provide that LPFM stations,
- http://www.fcc.gov/Bureaus/Wireline_Competition/Orders/2002/fcc02118.pdf
- Status > 30 Days 0 0 0 0 0 0 0 0 0 0 PR-8-02-3100 Open Orders in a Hold Status > 90 Days 0 0 0 0 0 0 0 0 0 0 PR-9- Hot Cuts PR-9-01-3520 % On Time Performance Hot Cut 98.02 97.24 98.28 NA 99.31 PR-9-08-3520 Average Duration of Service Interruption 16.61 12.25 13.8 12.98 11.52 POTS & Complex Aggregate PR-2 Average Completed Interval 2-Wire Digital Services PR-2 Average Completed Interval PR-2-01-3341 Av. Interval Completed Total No Dispatch 1.75 6.02 1.84 3.67 b PR-2-02-3341 Av. Interval Completed Total Dispatch 4.4 5.82 4.46 6.29 PR-4 - Missed Appointments PR-4-02-3341 Average Delay Days Total 7.35 17.5 6.26 4.5 4.31 2.33 4.62 3 4.74
- http://www.fcc.gov/Daily_Releases/Daily_Digest/1999/dd990330.html
- CSB Internet URL: [10]http://www.fcc.gov/Bureaus/Cable/Orders/1999/fcc99057.wp ADDENDA: The following items, released March 26, 1999, did not appear in Digest No. 58: ----------------------------------------------------------------------- --- TEXTS ----------------------------------------------------------------------- --- WGUL-FM, INC. RADIO STATION WINV INVERNESS, FL. Reduced monetary forfeiture issued on June 1, 1999, to WGUL-FM, Inc., licenseee of AM Station WINV, Inverness, FL, from $10,000 to $7,000 for willful and continuous violation of Sections 11.52(d), 11.61(a), 73.1590(a)(6), and 73.3526(d) of the Rules. Action by Director, Legal Services Group, Compliance and Information Bureau. Adopted: March 24, 1999. by Forfeiture Order. (DA No. 99-588). CIB Internet URL: [11]http://www.fcc.gov/Bureaus/Compliance/Orders/1999/da990588.wp [12][icon bar] References 1. http://www.fcc.gov/Bureaus/Mass_Media/Public_Notices/Brdcst_Actions/ac990330.txt 2. http://www.fcc.gov/Bureaus/Mass_Media/Public_Notices/Brdcst_Applications/ap990330.txt 3. http://www.fcc.gov/Bureaus/Mass_Media/Public_Notices/ITFS_Notices/pnmm9034.html 4. http://www.fcc.gov/Bureaus/Mass_Media/Orders/1999/fcc99055.wp 5. http://www.fcc.gov/Bureaus/Wireless/Orders/1999/da990596.wp 6. http://www.fcc.gov/Bureaus/Wireless/Orders/1999/da990589.wp 7. http://www.fcc.gov/Bureaus/Cable/News_Releases/1999/nrcb9004.wp 8. http://www.fcc.gov/Bureaus/Cable/News_Releases/1999/nrcb9005.wp 9. http://www.fcc.gov/Bureaus/Miscellaneous/Public_Notices/1999/pnmc9024.wp 10. http://www.fcc.gov/Bureaus/Cable/Orders/1999/fcc99057.wp 11. http://www.fcc.gov/Bureaus/Compliance/Orders/1999/da990588.wp 12. http://www.fcc.gov/fcc-bin/htimage/pub/www/pub/opa.map
- http://www.fcc.gov/Daily_Releases/Daily_Digest/1999/dd990406.html
- re: unlicensed broadcast stations. Action by Director, Legal Services Group. Adopted: March 31, 1999. by Forfeiture Order. (DA No. 99-646). CIB Internet URL: [4]http://www.fcc.gov/Bureaus/Compliance/Orders/1999/da990646.wp STATION KJTT(AM), OAK HARBOR, WA. Affirmed the $19,000 forfeiture issued on November 18, 1998, to AM Station KJTT, Oak Harbor, Washington, and its licensee, Oak Harbor Communications, Inc, for willful and repeated violation of Sections 11.51, 11.52, 17.50, 73.1213 and 73.1400 of the Commission's Rules re: antenaa structure painting and lighting, EAS System equipment, and operating without the remote control or metering equipment required for the operator on duty to perform his required duties. Action by Director, Legal Services Group. Adopted: March 31, 1999. by Forfeiture Order. (DA No. 99-645). CIB Internet URL: [5]http://www.fcc.gov/Bureaus/Compliance/Orders/1999/da990645.wp ADDENDA: The following
- http://www.fcc.gov/Daily_Releases/Daily_Digest/2000/dd000421.html
- Action by Chief, Network Services Division, Common Carrier Bureau. Adopted: April 20, 2000. by Order. (DA No. 00-902). CCB Internet URL: [11]http://www.fcc.gov/Bureaus/Common_Carrier/Orders/2000/da000902.doc WGUL-FM, INC., RADIO STATION WINV(AM), INVERNESS, FL. Affirmed the imposition of a $7,000 forfeiture pursuant to Section 503(b) of the Communications Act of 1934, as amended and Section 1.80 of the Commission's Rules for willful violation of Sections 11.52(d), 11.61(a), and Section 73.3526(c) of the Rules. Action by Chief, Enforcement Bureau. Adopted: April 19, 2000. by MO&O. (DA No. 00-897). ENF Internet URL: [12]http://www.fcc.gov/Bureaus/Enforcement/Orders/2000/da000897.doc NORFOLK, VIRGINIA. Proposed amending TV Table by substitution of DTV Channel 40 for DTV Channel 58. Comments Due: June 12, 2000, Reply Comments Due: June 27, 2000. Dkt No.: MM-00-68. Action by Chief, Video Services
- http://www.fcc.gov/eb/FieldNotices/2002/DOC-237919A1.html
- The agents could not easily distinguish between white and red painted sections of the structure. The condition of the paint reduced the visibility of the tower. The agents further determined that the antenna structure was not registered with the Commission. 6. On July 17, 2002, the Columbia Office issued a Notice of Violation to Grass Roots for violation of Sections 11.52(d), 11.61(d), 17.4(a)(2), 17.50, 73.1125(a), 73.1225(d)(1), 73.1545(a), 73.1560(b), 73.1590(b), 73.3526(b) and 73.3526(e)(12) of the Rules2. In response by letter dated August 5, 2002, Grass Roots stated that the antenna registration issue had been brought to its attention by an FCC inspector in December 2001 and that an FAA study, required before the structure can be registered, commenced on June 20, 2002.
- http://www.fcc.gov/eb/FieldNotices/2002/DOC-237920A1.html
- ) ) File No. EB-02-CF-569 ) MRJ, Inc. ) NAL/Acct. No. 200332340002 WWYO ) Pineville, West Virginia ) FRN: 0005-9955-50 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: December 26, 2002 By the District Director, Columbia Office, Enforcement Bureau: I. INTRODUCTION 1. In this Notice of Apparent Liability for Forfeiture ("NAL"), we find that MRJ, Inc (``MRJ'') has apparently violated Sections 11.52(a), 17.4, 73.49, and 73.3526(c) of the Commission's Rules1 (``Rules''), by failing to conduct weekly EAS tests of the EAS header and EOM codes, by failing to register its antenna structure with the Commission, failing to enclose the AM antenna in an effective locked fence, and failing to allow access to the public inspection file. We conclude that MRJ is apparently
- http://www.fcc.gov/eb/FieldNotices/2002/DOC-238220A1.html
- ORDERED THAT a copy of this Notice of Apparent Liability shall be sent by regular mail and Certified Mail Return Receipt Requested to KGGF-KUSN, Inc. at P.O. Box 4584, Springfield, MO 65808-4584. FEDERAL COMMUNICATIONS COMMISSION Robert C. McKinney District Director, Kansas City Office Enforcement Bureau _________________________ 1 47 C.F.R. 11.35(a), 17.47(a)(1), 17.50 and 73.49. 2 See 47 C.F.R. 11.51(j) and 11.52(c). 3 Section 312(f)(1) of the Act, 47 U.S.C. 312(f)(1), which applies equally to Section 503(b) of the Act, provides that ``[t]he term `willful,' when used with reference to the commission or omission of any act, means the conscious and deliberate commission or omission of such act, irrespective of any intent to violate any provision of this Act ....'' See Southern
- http://www.fcc.gov/eb/FieldNotices/2002/DOC-238254A1.html
- latest ownership report, a copy of The Public and Broadcasting, and current issues/programs lists were not available in the public file. III. DISCUSSION 3. Section 11.35(a) of the Rules requires that broadcast stations install EAS equipment such that monitoring and transmitting functions are available during the times the stations are in operation. As part of the EAS monitoring requirement, Section 11.52 of the Rules2 requires broadcast stations to monitor two EAS sources as specified in the State EAS Plan and FCC Mapbook. At the inspection on July 17, 2002, station KAUF's two EAS receivers were turned off and, when turned on, were tuned to default settings rendering them unable to monitor the required EAS sources. Section 11.35(b) of the Rules3 provides
- http://www.fcc.gov/eb/FieldNotices/2002/DOC-238300A1.html
- EB-02-CF-277 ) Faith Mountain Communications, Inc. ) NAL/Acct. No. 200232340001 WRRL ) Rainelle, West Virginia ) FRN: 0007-2317-80 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: June 19, 2002 By the District Director, Columbia Office, Enforcement Bureau: I. Introduction 1. In this Notice of Apparent Liability for Forfeiture ("NAL"), we find that Faith Mountain Broadcasting, Inc. (``Faith'') has apparently violated Section 11.52(a)1 of the Commission's Rules (``Rules''), by failing to install Emergency Alert System (``EAS'') equipment. We conclude that Faith is apparently liable for a forfeiture in the amount of eight thousand dollars ($8,000). II. Background 2. On April 25, 2002, an agent from the Commission's Columbia, Maryland office conducted an EAS inspection at broadcast station WRRL in Rainelle, West Virginia. The
- http://www.fcc.gov/eb/FieldNotices/2002/DOC-239067A1.html
- EB-02-AT-050 Inc. ) NAL/Acct. No. 200232480001 Radio Station WQSV ) FRN 0003-7542-56 P. O. Box 619 ) Ashland City, TN 37015 ) NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: April 30, 2002 By the Enforcement Bureau, Atlanta Office: I. INTRODUCTION 1. In this Notice of Apparent Liability for Forfeiture, we find that Sycamore Valley Broadcasting, Inc. ("Sycamore") apparently violated Sections 11.52(d), 11.61(a), 17.50, 73.1400, and 73.1745(a) of the Commission's Rules.1 WQSV failed to: monitor two Emergency Alert System (``EAS'') sources, send and receive required EAS tests, re-paint its antenna structure to restore good visibility, maintain operating transmission system monitoring equipment, and reduce transmitter power between the times of local sunset and sunrise. We conclude that Sycamore Valley Broadcasting, Inc. is apparently
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-237657A1.html
- 15 47 C.F.R. 11.18. State EAS plans contain guidelines that must be followed by broadcast and cable personnel, emergency officials and National Weather Service personnel to activate the EAS for state and local emergency alerts. The state plans include the EAS header codes and messages to be transmitted by the primary state, local and relay EAS sources. 16 47 C.F.R. 11.52(d). 17 47 C.F.R. 11.11. 18 47 C.F.R. 11.35. 19 47 C.F.R. 11.61. The required monthly and weekly tests are required to conform with the procedures in the EAS Operational Handbook. See also, Amendment of Part 11 of the Commission's Rules Regarding the Emergency Alert System, EB Docket No. 01-66, Report and Order, FCC 02-64 (Feb. 26, 2002); 67 Fed Reg
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-237824A1.html
- NAL/Acct. No. 200332360005 South Haven, Michigan ) ) FRN: 0007 1714 32 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: April 17, 2003 By the District Director, Detroit Office, Enforcement Bureau: I. INTRODUCTION 1. In this Notice of Apparent Liability for Forfeiture ("NAL"), we find that WSJM, Inc., (?WSJM?), licensee of radio station WGMY, South Haven, Michigan, has apparently violated Sections 11.52(d), 11.61(a)(2)(i)(A), 17.4(a), 17.47(a)(1), 17.51(a), 73.1820(a)(1)(i), 73.1820(a)(1)(iii), and 73.1870(c)(3) of the Commission's Rules (?Rules?)1. Respectively, these sections require that the station monitor two EAS sources specified in the State EAS Plan; conduct tests of the EAS header and EOM codes at least once a week at random days and times; register the two antenna structures; observe the antenna structure's lights at
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-238353A1.html
- Niagara Falls, New York ) 200332280004 ) FRN: 0004-9421-24 NOTICE OF APPARENT LIABILITY FOR FORFEITURE Released: January 28, 2003 By the Resident Agent, Buffalo Office, Enforcement Bureau: I. INTRODUCTION 1. In this Notice of Apparent Liability for Forfeiture (``NAL''), we find that M.J. Phillips Communications, Inc (``Phillips''), licensee of radio station WJJL, Niagara Falls, New York, apparently violated Sections 11.35(a), 11.52(d), 17.4(a), and 73.1560(a)(1)1 of the Commission's Rules (``Rules'') by failing to determine cause of any failure to receive the required EAS tests or activations and make the appropriate log entries, failing to monitor two EAS sources, failing to register the antenna structure, and failing to maintain operating power within 105 % of the authorized power. We conclude that Phillips is
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-239920A1.html
- LIABILITY FOR FORFEITURE Released: October 14, 2003 By the Enforcement Bureau, Tampa Office: I. INTRODUCTION 1. In this Notice of Apparent Liability for Forfeiture (``NAL''), we find Gore-Overgaard Broadcasting, Inc. (``Gore-Overgaard''), licensee of AM radio station WROD, Daytona Beach, Florida, apparently liable for a forfeiture in the amount of two thousand dollars ($2,000) for repeated and willful violation of Section 11.52(d) of the Commission's Rules (``Rules'').1 Specifically, we find Gore-Overgaard apparently liable for failing to monitor the required Emergency Alert System (``EAS'') sources. II. BACKGROUND 2. On February 7, 2002, agents from the FCC Enforcement Bureau's Tampa Field Office (``Tampa Office'') inspected station WROD (AM) in Daytona Beach, Florida. The agent found the station's EAS receivers not monitoring the assigned sources.
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- specified in paragraph (b) of this section.'' At the time of inspection, station WIMG-AM operated their Studio Transmitter Link ("STL") on 949.50 MHz at their main studio, which is an unauthorized location. WIMG-AM license, WMU826, specifies that Morris B/C Company of N.J., Inc. operate a STL on 949.50 MHz at 555 West Ingham Avenue, Ewing, New Jersey. b. 47 C.F.R. 11.52(d): ````Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'''' At the time of inspection, station WIMG-AM was monitoring station WPST-FM and the National Weather Service as EAS sources. However, the station must also monitor
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- the District Director, Detroit Office, Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Gerald Parks, licensee of radio station WEKC. 2. On December 16, 2003, an agent of the Commission's Detroit Office inspected radio station WEKC located at Williamsburg, Kentucky, and observed the following violation(s): 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, WEKC was monitoring one EAS source. 2.b. 47 C.F.R. 73.3526(e)(5): ``Contents of the file. The material required to be
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- actions to be taken by personnel at broadcast stations...A copy of the Handbook must be located at normal duty positions or EAS equipment locations when an operator is required to be on duty and be immediately available to staff responsible for authenticating messages and initiating actions.'' At the time of inspection, no EAS Operating Handbook was available. 2.b. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, one EAS source was being monitored. 2.c. 47 C.F.R. 11.61(a)(2)(i)(A): ``Tests of EAS procedures...Required Weekly Tests:...AM, FM and TV
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- Director, Detroit Office, Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Vernon R. Baldwin, Inc., licensee of radio station WWLT. 2. On December 16, 2003, an agent of the Commission's Detroit Office inspected radio station WWLT, licensed to Manchester, Kentucky, and observed the following violation(s): 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, the incorrect EAS sources were being monitored. 2.b. 47 C.F.R. 73.1820(a)(1)(iii): ``Station Log. Entries must be made in the
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- By the District Director, Chicago Office, Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to NM Licensing, LLC, licensee of radio station WLLI-FM. On January 8, 2004, an agent of the Commission's Chicago Office inspected radio station WLLI-FM, located in Joliet, Illinois and observed the following violation(s): 5.a. 47 C.F.R. 11.52(d): ``Broadcast stations ...must monitor two EAS sources. The monitoring assignments of each broadcast station...are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection there was no record of the station monitoring WGN, the designated LP-2 for that area. 5.b. 47 C.F.R. 11.61(a)(1)(v): ``...These monthly tests must be transmitted within 60 minutes of receipt by
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- the District Director, Chicago Office, Enforcement Bureau: This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to NM Licensing, LLC, licensee of radio station WRXQ. On January 8, 2004, an agent of the Commission's Chicago Office inspected radio station WRXQ, located in Crest Hill, Illinois, and observed the following violation(s): 5.a. 47 C.F.R. 11.52(d): ``Broadcast stations ...must monitor two EAS sources. The monitoring assignments of each broadcast station...are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection there was no record of the station monitoring WGN, the designated LP-2 for that area. 5.b. 47 C.F.R. 11.61(a)(1)(v): ``...These monthly tests must be transmitted within 60 minutes of receipt by
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- actions to be taken by personnel at broadcast stations...A copy of the Handbook must be located at normal duty positions or EAS equipment locations when an operator is required to be on duty and be immediately available to staff responsible for authenticating messages and initiating actions.'' At the time of inspection, no EAS Operating Handbook was available. 2.b. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, only one EAS source was being monitored and it was an incorrect EAS source. 2.c. 47 C.F.R. 11.61(a)(2)(i)(A): ``Tests
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- (``Comcast''), the operator of a cable system in Pennsauken, New Jersey. 2. On March 10, 2004, an agent of the Commission's Philadelphia Office inspected the Emergency Alert System (``EAS'') at Comcast's head-end in Audobon, New Jersey. This is the principal head-end that serves the Pennsauken, New Jersey community. During the inspection, the Philadelphia Office found the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station, cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' Comcast was monitoring WPST 97.5 MHz, WKDN 106.9 MHz and the National Weather Service
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- and (2). Appropriate entries must be made in the broadcast station log as specified in 73.1820 and 73.1840 of this chapter ... indicating reasons why any tests were not received.'' There were no entries made in the station logs indicating why records of reception of EAS tests were absent in the logs for the second monitored source. 2)b. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of the inspection the audio level from the second receiver
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- Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Cedar Creek Radio Company, Inc., licensee of station KCKL(FM) in Malakoff, Texas. 2. On December 17, 2003, an agent of the Commission's Dallas Office inspected FM broadcast station KCKL, licensed to Malakoff, Texas, and observed the following violations: 2)a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' During calendar year 2003, there were no weeks in which the station logs of station KCKL(FM) contained more than one entry of
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- and any other instrument of station authorization shall be posted in a conspicuous place. At the time of inspection no station authorization was posted or found at the station. The public file inspected at the public library did have a copy of the station authorization with expiration date of June 1, 1997. No renewal card was found. 2.b. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, only one EAS source, WIBW-FM, was being monitored and the station logs reflected receiving only one source. Logs from
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- Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to GB Enterprises Communications, Corp., licensee of the radio station WHNR (AM). 2. On March 22, 2004, agents of the Commission's Tampa Office inspected radio station WHNR (AM), licensed to Cypress Gardens, Florida and observed the following violations: 2.a. 47 C.F.R. 11.52 (d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection the station was not monitoring the two assigned EAS sources. 2.b. 47 C.F.R. 11.61(a)(1)(v): ``...monthly
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- an agent of the Commission's Kansas City Office inspected AM Broadcast radio station KXLQ, licensed to Indianola, Iowa and observed the following violations: 2.a. 47 C.F.R. 11.15: All stations are to maintain an EAS Operating Handbook. The handbook is to be available at All EAS control points. At the time of inspection no EAS Handbook was available. 2.b. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities...'' At the time of inspection, only one EAS source, WHO-AM, was being monitored and the station logs reflected receiving only one source. Only three
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- 11.61(a)(1) and (2). Appropriate entries must be made in the broadcast station log as specified in 73.1820 and 73.1840 of this chapter ... indicating reasons why any tests were not received.'' No entries were made in KHPU's station logs to indicate why records were absent in the logs for the reception of the required second monitored source. 2)b. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of the inspection, only one of the three EAS receivers
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- Director, Detroit Office, Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Associated Christian Broadcasters, Inc., licensee of radio station WTGN. 2. On August 9, 2004, an agent of the Commission's Detroit Office inspected radio station WTGN, licensed to Lima, Ohio, and observed the following violations: a. 47 C.F.R. 11.52(d): ``Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' At the time of inspection, WTGN was monitoring station WIMT(FM) and the National Weather Service as EAS sources. However, the station must also monitor station WUZZ-FM,
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- operated by Cox Communications, Inc.: Site Address Bell 1550 W. Deer Valley Rd., Phoenix, AZ East Mesa 4437 E. Holmes Ave., Mesa, AZ Fowler 6610 Van Buren St., Phoenix, AZ McDowell 3008 E. McDowell Rd., Phoenix, AZ Peoria 9534 W. Peoria Ave., Peoria, AZ Scottsdale North 28213 N. 64th St., Scottsdale, AZ The agent observed the following violation: 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station, cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' Cox Communications, Inc. had the capability to monitor two EAS sources but failed to
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- Office, Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Rama Communications, Inc., licensee of radio station WTIR-AM. 2. On May 6, 2004, agents of the Commission's Tampa Office inspected radio station WTIR-AM located at 2365 Pluckebaum Road, Cocoa Beach, FL 32926, and observed the following violation(s): 47 C.F.R. 11.52 (d): EAS code and Attention Signal Monitoring requirements. ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Map book. At the time of the inspection the station was not monitoring the two
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- Enforcement Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules,1 to Qwest Broadband Services Inc., operator of a cable system serving Omaha, NE. 2. On March 1, 2005, an agent of the Commission's Kansas City Office inspected the cable system serving Omaha, Nebraska and observed the following violations: 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources.'' At the time of the inspection, only KFAB was monitored as evidenced by listening to input sources on the EAS encoder/decoder and observations made at the EAS receiver. 2.b. 47 C.F.R. 76.1702: ``(a) Every employment unit with six or more full-time employees shall maintain for public
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- Encoders, EAS Decoders and Attention Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation.4 Broadcast station licensees are also required to receive, interrupt normal program, and transmit certain EAS messages.5 When facilities are unattended, Sections 11.51 and 11.52 of the Rules require licensees to employ automatic systems to interrupt programming and transmit certain EAS messages.6 On March 1, 2005, the EAS unit for Station KNSX(FM) was installed at its unattended KNSX transmitter site and set in manual mode. The owner of Twenty-One Sound claimed to visit the site occasionally to transmit manually the required weekly and monthly EAS
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- located at 1884 Plain Avenue, Aurora, Illinois, and observed the following violation(s): 5.a. 47 C.F.R. 11.15: ``A copy of the EAS Operating Handbook must be located at normal duty positions ... and be immediately available to staff responsible for authenticating messages and initiating actions.'' At the time of the inspection, the EAS Operating Handbook was not available. 5.b. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system ... are specified in the State EAS Plan and FCC Mapbook.'' At the time of the inspection, WKKD was not monitoring the assigned LP-1, WBBM, Chicago, Illinois. 5.c. 47 C.F.R. 73.1820(a)(1)(iii): ``An entry of each test and activation of the
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- knowingly.4 The term ``repeated'' means the commission or omission of such act more than once or for more than one day.5 6. Section 11.35(a) of the Rules states that broadcast stations are responsible for ensuring that EAS equipment is installed ``so that the monitoring and transmitting functions are available during the times the station and systems are in operation.'' Section 11.52(d) of the Rules states that broadcast stations must monitor two EAS sources.6 On March 17, 2005, station KTCM's only receiver attached to its EAS unit was turned off. Thus, its EAS unit was incapable of monitoring either of its two assigned EAS sources. Its EAS unit also could not transmit the required EAS messages, because it could not receive any
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- Bureau: 1. This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules,1 to Birmingham Christian Radio, Inc., licensee of radio station WLPH(AM). 2. On March 7, 2005, an agent of the Commission's Atlanta Office of the Enforcement Bureau inspected radio station WLPH(AM) located in Irondale, Alabama, and observed the following violations: 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station was monitoring only one broadcast source. 2.b. 47 C.F.R. 11.61(a): EAS ``[t]ests shall be made at regular intervals as indicated
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- of the EAS are installed so that the monitoring and transmitting functions are available during the time the stations and systems are in operation.'' At the time of inspection, the EAS encoder was activated for a test. The EAS equipment indicated that a test was being sent, but the test was not transmitted by the station over-the-air. 2.c. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station's EAS decoder was attached to two receivers, but neither receiver appeared to be functioning properly. The logs indicated that no
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- Bureau: 1. This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules,1 to Birmingham Christian Radio, Inc., licensee of radio station WRAG(AM). 2. On March 8, 2005, an agent of the Commission's Atlanta Office of the Enforcement Bureau inspected radio station WRAG(AM) located in Carrollton, Alabama, and observed the following violations: 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' One of the two receivers utilized for the station's EAS system was tuned to 87.5 MHz, which is neither an assigned source
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- Bureau: 1. This is a Notice of Violation (``Notice'') issued pursuant to Section 1.89 of the Commission's Rules,1 to Birmingham Christian Radio, Inc., licensee of radio station WLPH(AM). 2. On March 7, 2005, an agent of the Commission's Atlanta Office of the Enforcement Bureau inspected radio station WLPH(AM) located in Irondale, Alabama, and observed the following violations: 2.a. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook.'' The station was monitoring only one broadcast source. 2.b. 47 C.F.R. 11.61(a): EAS ``[t]ests shall be made at regular intervals as indicated
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- the contents of the public inspection file and found it missing the issues/programs lists for the third and fourth quarters of 2004. No employee at the station could find the lists or make them available to the agent. 3. On August 25, 2005, the Atlanta Office issued BCR a Notice of Violation (``NOV'') for violating, among other things, Sections 11.35(a), 11.52(d), and 73.3526(c) of the Rules.5 In its reply to the NOV, received September 21, 2005, BCR stated that the EAS encoder and receivers had been incorrectly installed at the time of the March 7, 2005 inspection, but that the equipment had been installed correctly on or about August 30, 2005. BCR also stated that it had placed the missing issues/programs
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- authorization granted by the Commission under the provisions of this part, except as specified in paragraph (b) of this section.'' The license for station WMG542 authorizes WZK to operate on the frequency 946.0 MHz. During the inspection on August 15, 2005, the agent found that WZK was operating station WMG542 on the unauthorized frequency of 946.5 MHz. 2.b. 47 C.F.R. 11.52(d): ``Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities.'' During the inspection, the agent found that WCZT was monitoring only one EAS
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- ORDERED that a copy of this Notice of Apparent Liability for Forfeiture shall be sent by Certified Mail, Return Receipt Requested, and regular mail, to WSKQ Licensing, Inc. and WPAT Licensing, Inc. at their address of record. FEDERAL COMMUNICATIONS COMMISSION Daniel W. Noel District Director, New York Office Northeast Region Enforcement Bureau _________________________ 147 C.F.R. 11.35(a). 247 U.S.C. 503(b). 3Section 11.52(c) of the Rules provides that ``[b]roadcast stations . . . that are co-owned and co-located with a combined studio or control facility . . . may comply with the EAS monitoring requirements contained in this section for the combined station or system with one EAS Decoder.'' 47 C.F.R. 11.52(c). 4We also note that the corporate engineer for the Spanish Broadcasting
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- the frequency 133.2625 MHz as follows: 1) 1049 Lower Line Street 69 uV/m 2) S. Reynolds between E. Morse and E. 102 uV/m Salm Streets 3) 934 E. Walnut Street 176 uV/m 4) E. Fannin at N. Madison 133 uV/m 5) N. Washington at E. Guadalupe 58 uV/m 6) N. Main at W. Fannin 136 uV/m b. 47 C.F.R. S 11.52(d): Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plans and the FCC Mapbook. The EAS equipment was observed to be monitoring two sources in the Austin EAS District. Since this system also serves customers
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- 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Rama Communications, Inc., licensee of radio station WNTF (AM). 2. On February 17, 2006, agents of the Commission's Tampa Office of the Enforcement Bureau inspected radio station WNTF (AM) located in Bithlo, Florida and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection the station was monitoring only one of the assigned EAS sources. b. 47 C.F.R. S 11.61(a): EAS
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- 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Charter Communications Inc., operator of a cable system serving Marshall, Texas. 2. On June 6, 2006, an agent of the Commission's Dallas Office inspected your cable television EAS system located in Marshall, Texas, and observed the following violation: a. 47 C.F.R. S 11.52(d): Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS plans and the FCC Mapbook. The EAS equipment was observed to be monitoring two radio frequencies. One of the frequencies was 87.5 MHz. No United States
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- 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Charter Communications LLC, operator of a cable system in Grand Haven, Michigan. 2. On May 10, 2006, an agent of the Commission's Detroit Office inspected the cable television system located at Grand Haven, Michigan, and observed the following violation: 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each...are specified in the State EAS Plan and the FCC Mapbook." At the time of the inspection, the agent observed that the station was not monitoring WLHT, 95.7 MHz, one of its two monitoring assignments. 3. Pursuant to Section 403 of the
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- that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. 8. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. 9. Section 11.61(a)(1) and (2) of
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- Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Entercom Providence Licensing, LLC licensee of radio station WEEI-FM in Providence, RI. 2. On July 19, 2006, an agent of the Commission's Boston Office inspected radio station WEEI-FM located in Providence, RI, and observed the following violation(s): a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable carriers must monitor two EAS sources." At the time of inspection, only one EAS source was being monitored. 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Section 1.89 of the Commission's Rules, Entercom Providence Licensing, LLC, must submit a written statement concerning this matter within twenty
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- shall be reviewed ..."at least once a week to determine if required entries are being made correctly. ...Upon completion of the review, the chief operator or his designee must date and sign the log..." At the time of the inspection, the chief operator was not signing the station logs to indicate that they had been reviewed. c. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." The station's EAS decoder was attached to two receivers, but station logs revealed that EAS tests and other activations were being received
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- New York. 2. On August 22, 2006, an agent of the Commission's Buffalo Office inspected the directional array for radio station WACK, the main studios for radio stations WACK and WUUF and antenna structures 1008084, 1008085, 1008086, 1008087, 1008088 and 1008089, which are located at 187 Vienna Road, Newark, New York., and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable carriers must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC-EAS Mapbook." At the time of inspection, the agent observed that stations WACK and WUUF were not monitoring the correct Emergency Alert System ("EAS")
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- shall be reviewed ..."at least once a week to determine if required entries are being made correctly. ...Upon completion of the review, the chief operator or his designee must date and sign the log..." At the time of the inspection, the chief operator was not signing the station logs to indicate that they had been reviewed. c. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." The station's EAS decoder was attached to two receivers, however one of the receivers was not operational. Additionally, station logs revealed that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-267715A1.html
- 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Bresnan Communications, LLC ("Bresnan"), operator of a cable system in Sheridan, Wyoming. 2. On August 31, 2006, agents of the Enforcement Bureau's Denver Office inspected the Bresnan cable system located at Sheridan, Wyoming, and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each...are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, agents observed Bresnan was not monitoring KYTI, 93.7 MHz, its primary EAS assignment, or KROE, 930 kHz, its secondary EAS assignment. b. 47 C.F.R. S 76.605(a)(12): "As
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-267717A1.html
- the following violation(s): a. 47 C.F.R. S 73.1125(e): "Each AM, FM, TV and Class A TV broadcast station shall maintain a local telephone number in its community of license or a toll free number." A review of telephone directory listings in Las Vegas revealed that there was no listing for Nevada Channel 6 Inc. and/or KNBX-CA. b. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS plan and FCC mapbook. They are developed in accordance with FCC monitoring priorities." Los Angeles agents inspected the EAS equipment installed at the KNBX-CA transmitter site and noted that the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-268348A1.html
- Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules (the "Rules"), to CBS Radio East, Inc. ("CBS"), licensee of radio station WNEW (FM). 2. On September 27, 2006, an agent of the Commission's New York Office inspected radio station WNEW (FM) located at 888 7^th Avenue, New York, New York and observed the following violation: 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook..." At the time of inspection the station was monitoring only one of the assigned EAS sources. 3. Pursuant to Section 308(b) of
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-268626A1.html
- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Mendocino Environmental Center, licensee of radio station KMEC in Ukiah, California. 2. On August 25, 2006, an agent of the Enforcement Bureau's San Francisco Office Inspected radio station KMEC located at 106 West Standley Street, Ukiah, California and observed the following violation(s): a. 47 C.F.R. S 11.52(d) "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments for each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of inspection a review of the station's EAS log indicated
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-270269A1.html
- that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. 8. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. 9. Section 11.61(a)(1) and (2) of
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-270632A1.html
- ,operator of cable system in Lanett, Alabama. 2. On January 22, 2007, an agent of the Commission's Atlanta Office of the Enforcement Bureau, accompanied by the cable system's technical supervisor and two headend technicians, inspected the cable television system's Emergency Alert System ("EAS") located at 401 South 6^th Street, Lanett, Alabama, and observed the following violation(s): a. 47 C.F.R. S 11.52(d): "...cable systems ...must monitor two EAS sources." Charter was monitoring only one EAS source. b. 47 C.F.R. S 11.61(a): "All cable systems are to conduct required monthly tests (RMT) once a month as coordinated by the Emergency Communications Committee for each state." Charter was not conducting required monthly tests. All tests were marked as weekly tests. The headend technicians could
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-270635A1.html
- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Bresnan Communications, LLC ("Bresnan"), operator of a cable system in Grand Junction, Colorado. 2. On January 4 and 5, 2007, agents of the Enforcement Bureau's Denver Office inspected the Bresnan cable system located at Grand Junction, Colorado, and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, Bresnan was monitoring only one of its assigned EAS sources. b. 47 C.F.R. S 11.61(a)(1)(v): "Required Monthly
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-270636A1.html
- This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Cumulus Licensing, LLC ("Cumulus"), licensee of radio station KKNN in Delta, Colorado. 2. On January 3, 2007, agents of the Enforcement Bureau's Denver Office inspected KKNN, located at 315 Kennedy Avenue, Grand Junction, Colorado, and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, KKNN was monitoring only one of the assigned EAS sources. b. 47 C.F.R. S 11.61(a)(1)(v): "Required Monthly
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-270815A1.html
- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Eastern New Mexico University ("ENMU"), licensee of radio station KENW-FM in Portales, New Mexico. 2. On January 9, 2007, an agent of the Enforcement Bureau's Denver Office inspected KENW-FM located at 52 Broadcast Center, Portales, New Mexico, and observed the following violation: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, an agent observed that the station was not monitoring the two EAS sources required by the New
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-270816A1.html
- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Eastern New Mexico University ("ENMU"), licensee of television station KENW in Portales, New Mexico. 2. On January 9, 2007, an agent of the Enforcement Bureau's Denver Office inspected KENW located at 52 Broadcast Center, Portales, New Mexico, and observed the following violation: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, an agent observed that the station was not monitoring the two EAS sources required by the New
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-272128A1.html
- Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Entravision Holdings, LLC, licensee of Class A television station K28FK in San Luis Obispo, California. 2. On February 28, 2007, an agent of the Enforcement Bureau's Los Angeles Office inspected radio station K28FK's main studio located in Goleta, California, and observed the following violation: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable systems are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with the FCC monitoring priorities." The EAS receivers were not tuned to any of the LP stations
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-272129A1.html
- of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to Entravision Holdings, LLC, licensee of Class A television station K17GD in Paso Robles, California. 2. On February 28, 2007, an agent of the Enforcement Bureau's Los Angeles Office inspected radio station K17GD's main studio located in Goleta, California, and observed the following violation: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable systems are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with the FCC monitoring priorities." The EAS receivers were not tuned to any of the LP stations
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-272447A1.html
- Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules ("Rules"), to Fannin County Broadcasting, licensee of radio station WPPL(FM) in Blue Ridge, Georgia. 2. On January 17, 2007, agents of the Commission's Atlanta Office of the Enforcement Bureau inspected the main studio of station WPPL(FM) located in Blue Ridge, Georgia and observed the following violation: 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems....must monitor two EAS sources." WPPL(FM) was only monitoring one EAS source. 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Section 1.89 of the Rules, Fannin County Broadcasting must submit a written statement concerning this matter within 20 days of release of this Notice. The response must fully explain the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-272499A1.html
- S76.609(h) and shall be limited as follows: Over 54 MHz, and less than and including 216 MHz - 20 micro-volts per meter measured at 3 meters." At the time of inspection signal leakage was observed on the frequency 127.2625 MHz as follows: 1) Measured 100 uV/m, near power pole, front of 112 Market Street, Needles, CA b. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plans and the FCC Mapbook." At the time of the inspection, the EAS equipment was observed to be monitoring only the designated first local primary (LP-1)
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- issues were given significant treatment. The description of the programs shall include, but shall not be limited to the time, date, duration, and the title of each program in which the issue was treated." The issues/program lists for KAEH were not drafted in a format that provided all the information as required by this rule section. b. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the designated second local primary (LP-2), radio station KGGI - Riverside, CA (92.1 MHz) was not being
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-273687A1.html
- pursuant to Section 1.89 of the Commission's Rules (the "Rules"), to Cablevision of New Jersey ("Cablevision"), PSID # 07311, operator of a cable system serving Bergen County, New Jersey. 2. On March 28, 2007, an agent of the Commission's New York Office inspected Cablevision's cable system located in Cresskill, New Jersey, and observed the following violations: a. 47 C.F.R. S 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook..." At the time of inspection, Cablevision's logs showed that only one of the assigned EAS sources was monitored during the weeks of
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-275711A1.html
- 1.89 of the Commission's Rules, to Common Ground Broadcasting, Inc.("CGB"), licensee of radio stations KKNT - Phoenix, Arizona and KPXQ - Glendale, Arizona. 2. On April 25, 2007, an agent of the Enforcement Bureau's San Diego Office inspected KKNT and KPXQ, located at 2425 E. Camelback Road, Suite #570, Phoenix, Arizona, and observed the following violation: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the designated first local primary (LP-1), radio station KTAR, Phoenix, Arizona, was not being monitored. 3. Pursuant
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- that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. 6. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. 7. Section 11.61(a)(1) and (2) of
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-276801A1.html
- ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Atlantic Broadband, operator of cable system serving Grampian, Pennsylvania (Community Unit No. PA-2531). 2. On August 14, 2007 and August 16, 2007, an agent of the Commission's Philadelphia Office inspected the Atlantic Broadband cable system located in Grampian, Pennsylvania and observed the following violations: a. S: 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." The EAS equipment for Atlantic Broadband was configured to monitor only one broadcast
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-276802A1.html
- First Media Radio, LLC ("First Media"), the licensee of radio station WCPA and owner of antenna structures 1026521, 1026522 and 1026523 in Clearfield, Pennsylvania. 2. On August 14, 2007, an agent of the Commission's Philadelphia Office inspected radio station WCPA and antenna structure 1026521, 1026522 and 1026523 located in Clearfield, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, First Media was not monitoring the designated Second Local Primary (LP-2) broadcast station WPSX on Television Channel
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-277003A1.html
- Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation." At the time of inspection, the designated co-local primary (LP1) station, KUZZ (107.9 MHz) Bakersfield, California, could not be heard on the EAS receiver. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the designated co-local primary (LP1) station, KCOES (Kern County Office of Emergency Services) was not being monitored. 3. Pursuant to Section 403 of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-277006A1.html
- ("Notice") issued pursuant to Section 1.89 of the Commission's Rules, to. CBS Radio Holdings, Inc. ("CBS Radio"), licensee of FM Broadcast radio station KEZN, Palm Desert, California. 2. On August 15, 2007, an agent of the Enforcement Bureau's San Diego Office inspected KEZN, located at 72-915 Parkview Drive, Palm Desert, California and observed the following violation: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the designated first local primary (LP-1), radio station KDES-FM, Palm Springs, CA, was not being monitored. KEZN
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-277586A1.html
- pursuant to Section 1.89 of the Commission's Rules (the "Rules"), to Margaretville Telephone Company, Inc ("MTC"), PSID # 06437, operator of a cable system serving Delaware County, New York. 2. On September 20, 2007, an agent of the Commission's New York Office inspected MTC's cable system located in Margaretville, New York, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook..." A review of the station's EAS logs showed that, except during the weeks of June 17 and August 26, 2007 when the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-277668A1.html
- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Bentleyville Telephone Company ("BTC"), operator of a cable system serving Bentleyville, Pennsylvania (Community Unit No. PA-3297). 2. On September 13, 2007, an agent of the Commission's Philadelphia Office inspected the BTC cable system located in Bentleyville, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, BTC was not monitoring the designated second local primary ("LP2") station, WQED on 89.3 MHz. BTC was monitoring station WFHM, Cleveland, Ohio and the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-277917A1.html
- Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Bentleyville Telephone Company ("BTC"), operator of a cable system serving Bentleyville, Pennsylvania (Community Unit No. PA-3297). 2. On September 13, 2007, an agent of the Commission's Philadelphia Office inspected the BTC cable system located in Bentleyville, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, BTC was not monitoring the designated second local primary ("LP2") station, WQED on 89.3 MHz. BTC was monitoring station WFHM, Cleveland, Ohio and the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-277919A1.html
- 11.35(a): "... Appropriate entries indicating reasons why any tests were not received must be made in the broadcast station log as specified in S:S:73.1820 ... of this chapter." A review of the log back through December 1, 2006 found no reception of test or activations. There were no entries indicating why the tests were not received. b. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources." At the time of the inspection there was only one audio source connected to the EAS Decoder. c. 47 C.F.R. S: 73.1870(c)(3): "The chief operator is responsible for completion of the following duties specified in this paragraph below. When these duties are delegated to other persons, the chief operator shall maintain supervisory oversight
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- 11.35(a): "... Appropriate entries indicating reasons why any tests were not received must be made in the broadcast station log as specified in S:S:73.1820 ... of this chapter." A review of the log back through December 1, 2006 found no reception of test or activations. There were no entries indicating why the tests were not received. b. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources." At the time of the inspection there was only one audio source connected to the EAS Decoder. c. 47 C.F.R. S: 73.1870(c)(3): "The chief operator is responsible for completion of the following duties specified in this paragraph below. When these duties are delegated to other persons, the chief operator shall maintain supervisory oversight
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-279731A1.html
- Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to LaGrange Broadcasting Corporation, licensee of AM radio station KHLT in Hallettsville, Texas. 2. On December 14, 2007, an agent of the Commission's Houston Office inspected radio station KHLT located in Hallettsville, Texas, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two Emergency Alert System ("EAS") sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, station KHLT was not monitoring station KRNX, one of the required EAS sources. b.
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-280569A1.html
- records, as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the broadcast station records contained no entries documenting the transmission of the required monthly test (RMT) for the months of October and November of 2007. No system record entries were found indicating the reasons why the tests had not been received or transmitted. b. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two Emergency Alert System ("EAS") sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, station KGIC-LP was not monitoring the second local primary (LP-2) station KGGI, 99.1 MHz,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-281013A1.html
- Participant records, as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the broadcast station records contained no entries documenting the transmission of the required monthly test ("RMT") for the months of January 2008. No entries were found in the EAS records indicating the reasons why the RMT had not been received or transmitted. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two Emergency Alert System ("EAS") sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, station KLHU-CA was not receiving the second local primary ("LP-2") station KNLB, 99.1 MHz, Lake Havasu City, AZ. c. 47 C.F.R.
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-281364A1.html
- as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the broadcast station records contained no entries documenting the transmissions from November, 2007, to January, 2008, from the first local primary ("LP-1") station KTAR - Phoenix. No system record entries were found indicating the reasons why the tests had not been received or transmitted. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, station KUPD(FM) was not monitoring the LP-1 station KTAR - Phoenix. 3. Pursuant to Section 403 of the Communications Act of 1934, as amended,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-281366A1.html
- Participant records, as specified in Sections 11.35(a) and 11.54(b)(13)." At the time of inspection, the cable system records contained no entries documenting the transmission of the first local primary ("LP-1") station KTAR(AM) or (FM) - Phoenix, for over 12 months. No system record entries were found indicating the reasons why the tests had not been received. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, Cox Communications was not monitoring the LP-1 station KTAR. 3. Pursuant to Section 403 of the Communications Act of 1934, as amended, and Section
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-282189A1.html
- pursuant to Section 1.89 of the Commission's Rules, to Prescott Valley Broadcasting Co., Inc., ("PVBC") licensee of FM Broadcast station KPKR, Parker, Arizona. 2. On April 22, 2008, an agent of the Enforcement Bureau's San Diego Office inspected PVBC's emergency alert system ("EAS"), located at 1713 Kofa Avenue, Suite E, Parker, AZ, and observed the following violation: 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, KPKR was not monitoring the designated local primary (LP) radio stations, LP-1 station KFLG, 94.7 MHz, Kingman, AZ, or LP-2 station KNLB, 91.1 MHz,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-282770A1.html
- operating in the correct power mode. 22. Section 11.35(a) of the Rules provides that "EAS Participants are responsible for ensuring that EAS Encoders, EAS Decoders and Attention Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation..." Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. Section 11.61(a)(1) of the Rules requires broadcast stations to (a) receive monthly EAS tests from designated local primary EAS sources and retransmit the monthly test within 60 minutes of its receipt and (b) conduct tests of the EAS header and EOM codes at least once a week
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-282775A1.html
- station's most significant treatment of community issues during the preceding three month period. . . .." At the time of the inspection, the issues/programs list for first quarter 2008 was not in the station's public inspection file. The list for each calendar quarter is to be filed by the tenth day of the succeeding calendar quarter. e. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, WXRK was not monitoring the designated local primary (LP) radio station, LP-1 station WFAN, 660 kHz, New York, NY. WXRK was monitoring WCBS, 880
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-283664A1.html
- pursuant to Section 1.89 of the Commission's Rules, to D.T.V. LLC, licensee of Class A TV Station KBOP-CA in San Diego, California. 2. On April 24, 2008, agents of the Enforcement Bureau's San Diego Office inspected the emergency alert system ("EAS") of KBOP-CA, located atop Mount San Miguel near El Cajon, California, and observed the following violation: 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, KBOP-CA was not monitoring the designated local primary (LP-1) radio station, KOGO, 600 kHz, San Diego, CA. KBOP-CA was monitoring only one of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-287208A1.html
- ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Embry-Riddle Aeronautical University, licensee of radio station WIKD-LP in Daytona Beach, FL. 2. On October 31, 2008, agents of the Commission's Tampa Office of the Enforcement Bureau ("Tampa Office") inspected radio station WIKD-LP's main studio located in Daytona Beach, FL, and observed the following violations: a. 47 C.F.R. S: 11.52 (d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of inspection, WIKD-LP was not monitoring the two EAS sources specified in the State EAS Plan.
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-287327A1.html
- so that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. 11. Section 11.61(a)(1) and (2) of
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- records failed to show entries of weekly tests conducted during November 2008, the week of December 21, 2008, and the weeks of January 4 and 18, 2009. The broadcast station records contained no reasons why tests were not received or transmitted. Records for received tests indicate that the station was not consistently monitoring two EAS sources, as required by Section 11.52(d). 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Section 1.89 of the Commission's Rules, Pacifica Foundation, Inc. must submit a written statement concerning this matter within twenty (20) days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation
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- Bureau: 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Nassau Broadcasting II, LLC, the licensee of radio station WVPO in Stroudsburg, Pennsylvania. 2. On August 5, 2009, agents of the Commission's Philadelphia Office inspected radio station WVPO located in Stroudsburg, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook..." A review of the station's EAS logs revealed that WVPO was monitoring station WVIA and the National Weather Service as its monitoring sources. However, the Pennsylvania State EAS Plan
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- time, date, duration, and the title of each program in which the issue was treated...." The issues/program lists found in the public inspection files for KXCI were not drafted in a format that provided all the information as required by this rule section, and the first two quarters for the issues/programs list for 2009 were missing. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, KXCI was not monitoring the first designated local primary (LP-1) radio station KRQQ(FM), Tucson, Arizona. 3. Pursuant to Section 403 of the Communications Act
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- Broadcasting LLC, the licensee of AM Radio Stations WQWK and WRSC in State College, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On September 17, 2009, an agent of the Commission's Philadelphia Office inspected radio stations WQWK and WRSC located in State College, Pennsylvania, and observed the following violation: 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." The agent found that stations WQWK and WRSC, which are co-located and share EAS equipment, were monitoring only one
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295595A1.html
- & Achieve Family and Educational Center, Inc.,("Believe & Achieve"), licensee of AM radio station WZUM in Carnegie, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On September 16, 2009, agents of the Commission's Philadelphia Office inspected radio station WZUM located in Carnegie, Pennsylvania, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...." A review of the station's EAS logs revealed that WZUM was monitoring only one EAS source. b. 47 C.F.R. S: 11.61(b): ""Entries
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- Mount San Antonio Community College District, licensee of Noncommercial Educational FM Broadcast station KSAK in Walnut, CA. This Notice may be combined with a further action, if further action is warranted. 2. On September 28, 2009, an agent of the Enforcement Bureau's Los Angeles Office inspected radio station KSAK in Walnut, CA, and observed the following violations: 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of the inspection, the agent found that KSAK was only monitoring one assigned source, KFI (AM). Neither KFWB (AM) nor KNX (AM) was being monitored as
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- of each program in which the issue was treated...." At the time of the inspection, the agents found that the issues/program lists in the public inspection files for KKSM were not drafted in a format that provided all the information as required by this rule section, and that the issues/programs lists for several quarters were missing. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the agents found that KKSM was not monitoring the second designated local primary (LP-2) radio station KLSD, San Diego, California. c. 47 C.F.R. S:
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- for all broadcast streams . . . . " At the time of the inspection, the agents found that there were no entries in the station log indicating why Required Weekly Tests (RWTs) and Required Monthly Test (RMTs) had been sporadically missed and what corrective actions were taken over the three months prior to the inspection. b. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of inspection, the agents found that there was no record that EAS equipment was receiving the second designated local primary (LP-2) radio station KLSD, 1360 kHz,
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- Mountain Broadcasting LLC, licensee of AM broadcast station KOHI in Saint Helens, Oregon. This Notice may be combined with a further action, if further action is warranted. 2. On October 15, 2009, an agent of the Enforcement Bureau's Portland Resident Agent Office inspected radio broadcast station KOHI in Saint Helens, Oregon and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of the inspection, the agent found that KOHI was monitoring only one EAS source and was not monitoring the required local primary (LP-1) station. b. 47
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- WFRM and owner of antenna structure number 1026692 in Coudersport, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On October 13 and 14, 2009, an agent of the Commission's Philadelphia Office inspected radio station WFRM and antenna structure number1026692 located in Coudersport, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...." A review of WFRM's EAS logs revealed that WFRM was properly monitoring only one EAS source. b. 47 C.F.R. S: 17.50(a): "Antenna
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- the Commission's Rules to L-Com Inc., the licensee of AM Radio Stations WHKS in Port Allegany, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On October 15, 2009, an agent of the Commission's Philadelphia Office inspected radio station WHKS located in Port Allegany, Pennsylvania and observed the following violation: 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook..." A review of WFRM's EAS logs revealed that WFRM was properly monitoring only one EAS source. 3. As the nation's emergency warning
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- 80% of the authorized power. d. 47 C.F.R. S: 73.1745(a): "No broadcast station shall operate at times, or with modes or power, other than those specified and made a part of the license." On the evening of August 18, 2009, the station did not reduce power from daytime levels to nighttime levels for over an hour. e. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources." The second monitoring receiver on the EAS unit was not working at the time of inspection; the station was only monitoring one EAS source. The EAS logs showed that the last time the second receiver had worked was in March of 2009. During the inspection, the licensee found that the antenna had been
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- than thirty days, as required by 47 C.F.R. S: 73.1560(d). b. 47 C.F.R. S: 11.61 (a)(2): "EAS participants shall conduct...required weekly tests." A review of the station's EAS logs revealed that entries were not made in the EAS logs to show required weekly EAS tests for the period between January 1, 2010 and January 14, 2010. c. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." A review of WZSK's EAS logs revealed that WZSK was properly monitoring only one EAS source. There was no evidence that the station's EAS equipment was receiving the second
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-296712A1.html
- Clarion County Broadcasting Corp. ("Clarion"), the licensee of AM Radio Station WKQW in Oil City, Pennsylvania. This Notice may be combined with a further action, if further action is warranted. 2. On August 12, 2009, an agent of the Commission's Philadelphia Office inspected radio station WKQW located in Oil City, Pennsylvania, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...." The agent found that station WKQW was monitoring only one EAS source. b. 47 C.F.R. S: 11.61(b): "Entries shall be made in
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- licensee of AM radio station WTHE in Mineola, New York. This Notice may be combined with a further action, if further action is warranted. 2. On December 2, 2009, an agent of the Enforcement Bureau's New York Office inspected WTHE's main studio located at 260 E. 2nd Street, Mineola, NY 11501, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." The agent found that station WTHE was monitoring only one of its assigned EAS sources. b. 47 C.F.R. S:11.61(b):
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- to Section 1.89 of the Commission's Rules to WLFM, LLC, licensee of television station WLFM-LP in Northfield, Illinois. This Notice may be combined with a further action, if further action is warranted. 2. On January 28, 2010, agents of the Commission's Chicago Office inspected television Station WLFM-LP located at Northfield, Illinois, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable systems and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." A review of the station's EAS logs revealed that WLFM-LP was monitoring only one EAS source. b. 47 C.F.R.
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- of FM radio station WSOU in South Orange, New Jersey. This Notice may be combined with a further action, if further action is warranted. 2. On May 6, 2010, an agent of the Enforcement Bureau's New York Office inspected WSOU's main studio located at 400 South Orange Avenue, South Orange, NJ 07079, and observed the following violations: 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." At the time of inspection, the agent determined that WSOU was monitoring only one source. 3. As the nation's
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- issued pursuant to Section 1.89 of the Commission's Rules to MPS Media of Tennessee, LLC, licensee of digital TV station WFLI-TV, Cleveland, TN. 2. On July 28, 2010, agents of the Enforcement Bureau's Atlanta Office monitored WFLI-TV, and then inspected the station's main studio in Chattanooga, TN on July 29, 2010 and observed the following violation(s): a. 47 C.F.R. S: 11.52(d): EAS participants must monitor two assigned EAS sources." The station was monitoring only one of the two assigned monitoring sources. b. 47 C.F.R. S: 73.1870(c)(3): The designated chief operator must review and sign the station logs on a weekly basis. The chief operator was not reviewing or signing the logs on a weekly basis. c. 47 C.F.R. S: 73.1201(a)(2): "Broadcast
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- This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to New Age Media of Tennessee License, LLC, licensee of television station WDSI-TV, Chattanooga,TN. 2. On July 29, 2010, agents from the Enforcement Bureau's Atlanta Office inspected the station's main studio located in Chattanooga, TN and observed the following violation(s): a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two assigned EAS sources." The station was monitoring only one of the two assigned EAS sources. b. 47 C.F.R. S: 11.61: "(a)... All tests will conform with the procedures in the EAS Operating Handbook. ... (b) Entries shall be made in EAS Participant records, as specified in Sections 11.35(a) and 11.54(b)(13)." The EAS Operating Handbook requires
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- District. ("SMCCD"), licensee of radio station KCRU(FM), Oxnard, California. This Notice may be combined with a further action, if further action is warranted. 2. On June 17, 2010, an agent of the Enforcement Bureau's Los Angeles Office inspected KCRU(FM) at its main studio location at 1900 Pico Blvd. Santa Monica, California and observed the following violation: a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of the inspection, the agent observed that KCRU(FM) was not monitoring the correct local primary stations as required by the California and Ventura County EAS plan.
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- ("Hero"), licensee of television station KBEH(TV), Oxnard, California. This Notice may be combined with a further action, if further action is warranted. 2. On September 14, 2010, an agent of the Enforcement Bureau's Los Angeles Office inspected KBEH(TV) at its main studio location at 5757 W. Century Blvd., Los Angeles, California and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignment of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook." At the time of the inspection, KBEH(TV) was not monitoring the correct local primary stations as required by the California and Ventura County EAS plan. b. 47 C.F.R. S:
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- River TV"), operator of a cable system in Iron River, Michigan. This Notice may be combined with a further action, if further action is warranted. 2. On November 3, 2010, an agent of the Enforcement Bureau's Detroit Office inspected Iron River TV located at 316 North 2nd Avenue, Iron River, Michigan, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities..." At the time of the inspection, Iron River TV was monitoring only one source, LP1, WNMU. b. 47 C.F.R. S:
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- WHKB(FM) and WCCY(AM) in Houghton, Michigan. This Notice may be combined with further action, if further action is warranted. 2. On August 3, 2010, an agent of the Enforcement Bureau's Detroit Office inspected co-located radio stations WOLV(FM), WHKB(FM) and WCCY(AM) at the stations' main studio at 313 Montezuma Avenue, Houghton, Michigan, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities..." Stations WOLV, WHKB, and WCCY share Emergency Alert System ("EAS") equipment. At the time of inspection, Heartland was not monitoring
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- Section 1.89 of the Commission's Rules, to Oasis Christian Radio, Inc. ("Oasis"), licensee of radio station KAVS-LP in Fallon, Nevada. This Notice may be combined with a further action, if further action is warranted. 2. On September 28, 2010, agents of the Enforcement Bureau's San Francisco Office inspected radio station KAVS-LP and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of the inspection, agents observed that the station KAVS-LP was monitoring only one EAS assigned source, the
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- Communication & Development ("CFCD"), licensee of Station KMOJ in Minneapolis, Minnesota. This Notice may be combined with further action, if further action is warranted. 2. On December 1, 2010, an agent of the Enforcement Bureau's Chicago Office inspected Station KMOJ at the station's main studio at 2123 West Broadway, Minneapolis, Minnesota, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of inspection, Station KMOJ was monitoring only one EAS source. b. 47. C.F. R. S: 11.61(b): "Entries
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- entries indicating reasons why any tests were not received or sent must be made in the broadcast station log as specified in Sections 73.1820 and 73.1840 of this chapter for all broadcast streams . . . "At the time of inspection, the agents observed that the logs did not indicate why no monthly test was received. c. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of the inspection, the agents observed that KRBS-LP was monitoring only one EAS source. d. 47 C.F.R.
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- 1. This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's Rules to Cumulus Licensing L.L.C. ("Cumulus"), the licensee of radio station WWIZ in Mercer, Pennsylvania. 2. On November 17, 2009, an agent of the Commission's Philadelphia Office inspected radio station WWIZ located in Mercer, Pennsylvania and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are also developed in accordance with FCC monitoring priorities..." At the time of inspection, Cumulus was not monitoring Local Primary 2 station WKPL. The Pennsylvania State Plan specifies that WWIZ must monitor Local
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- the Commission's Rules to Enrico S. Brancadora, licensee of AM Station WIBG in Ocean City, New Jersey. This Notice may be combined with a further action, if further action is warranted. 2. On January 25, 2011, agents of the Commission's Philadelphia Office inspected AM Station WIBG in Ocean City, New Jersey and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities..." The Emergency Alert System Plan for New Jersey specifies that WIBG must monitor a Primary Entry Point Station and WFPG 96.9 MHz. At the time
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- 1.89 of the Commission's Rules to Clear Communications, Inc., licensee of FM Station WVLT in Vineland, New Jersey. This Notice may be combined with a further action, if further action is warranted. 2. On May 31, 2011, agents of the Commission's Philadelphia Office inspected FM Station WVLT in Vineland, New Jersey and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities..." The Emergency Alert System Plan for New Jersey specifies that WVLT must monitor a Primary Entry Point Station and WENJ 97.3 MHz. At the time
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- Plains, Inc. ("Knology"), operator of a cable system in Watertown, South Dakota. This Notice may be combined with a further action, if further action is warranted. 2. On June 21 and June 23, 2011, an agent of the Enforcement Bureau's Denver Office inspected a cable system located at Watertown, South Dakota, and observed the following violation(s): a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan..." The State Plan, revised as of December 15, 2009, specified the LP-2 assignment to be KXLG-FM, Milbank, SD, on 99.1 MHz versus KIXX-FM, Watertown, SD, on 96.1 MHz. b. 47 C.F.R. S:
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- Commission's Rules, to Mediacom California, LLC ("Mediacom"), operator of a cable system in Ridgecrest, California. This Notice may be combined with a further action, if further action is warranted. 2. On September 28, 2011, an agent of the Enforcement Bureau's Los Angeles Office inspected a cable system located at Ridgecrest, California, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ..." At the time of the inspection the EAS encoder decoder was not monitoring either of the LP-1 sources and was only receiving the LP-2 broadcast station KRAJ as a source for
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310731A1.html
- a Notice of Violation ("Notice") issued pursuant to section 1.89 of the Commission's Rules to Lake Michigan Broadcasting Inc, licensee of Station WKLA-FM in Ludington, Michigan. 2. On September 15, 2011, an agent of the Commission's Detroit Office inspected radio station WKLA-FM located at 5941 West U.S. 10 in Ludington, Michigan, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of inspection, Station WKLA-FM was monitoring only one EAS source. b. 47 C.F.R. S: 11.35: "(a) Appropriate
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- Inc., licensee of AM Station WRIV in Mineola, New York. This Notice may be combined with a further action, if further action is warranted. 2. On October 17, 2011, an agent of the Enforcement Bureau's New York Office inspected Station WRIV's main studio located at 40 West Main Street, Riverhead, New York, and observed the following violation: 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." The agent found that Station WRIV was monitoring only one of its assigned EAS sources. 3. As the nation's
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- This is a Notice of Violation ("Notice") issued pursuant to Section 1.89 of the Commission's rules to Cantroair Communications Inc. ("Cantroair"), licensee of AM Station WTZN in Troy, Pennsylvania. 2. On November 3, 2011, agents of the Enforcement Bureau's Philadelphia Office inspected Station WTZN located at 1233 Redington Avenue, Troy, Pennsylvania, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook...." According to the Pennsylvania State EAS Plan, Station WTZN is required to monitor WGGY-FM and WVIA-FM. At the time of inspection, WTZN
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311710A1.html
- KPAM, in Troutdale, Oregon, was experiencing interference from KTRB, a co-channel station (860 kHz), in San Francisco, California. 3. On October 21, 2011, agents of the Enforcement Bureau's San Francisco Office investigated the allegation. During the course of the investigation, the agents inspected radio station KTRB(AM) located at San Francisco, California, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of the inspection, agents observed that station KTRB(AM) was monitoring only one EAS assigned source, the LP-1
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- 11.61(a)(1) and (a)(2). Appropriate entries indicating reasons why any tests were not received must be made in the . . . cable system records as specified in Sections 76.1700, 76.1708, and 76.1711 of this chapter." At the time of the inspection, personnel were unable to demonstrate to agents that the EAS encoder and decoder were functional. c. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." A review of Cequel's EAS logs revealed that Cequel was monitoring only one EAS source. d. 47 C.F.R. S: 76.605(a)(12):
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- Commission's Rules, to CALNEVA Broadband, LLC ("CALNEVA"), operator of a cable system in Westwood, California. This Notice may be combined with a further action, if further action is warranted. 2. On August 25, 2011, an agent of the Enforcement Bureau's San Francisco Office inspected a cable system located at Westwood, California, and observed the following violation(s): a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan..." The State Plan specifies the LP-1 assignment as KKOH-AM, Reno, NV, which was not being monitored by the cable system. b. 47 C.F.R. S: 11.61(a): "EAS Participants shall conduct tests at regular
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311715A1.html
- ("KM Radio"), licensee of radio station KBKY in Merced, California. This Notice may be combined with a further action, if further action is warranted. 2. On July 14, 2011, an agent of the Enforcement Bureau's San Francisco Office inspected KM Radio's main studio located at 2855 G Street, Merced, California 95340, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan..." The State Plan specified the LP-2 assignment to be KFSN-TV Channel 30, Fresno, CA. At the time of inspection KBKY was not monitoring the LP2 station. b. 47 C.F.R. S: 11.35(a): "EAS
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- the Commission's Rules, to Brahmin Broadcasting Corporation ("Brahmin"), licensee of radio station KANT, Guernsey, WY. This Notice may be combined with a further action, if further action is warranted. 2. On August 16, 2011, an agent of the Enforcement Bureau's Denver Office inspected the KANT main studio, located in Wheatland, WY, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ..." At the time of the inspection, the KANT was monitoring a source other than those authorized as LP-2 sources for Wyoming EAS Area 5 within the Wyoming State EAS Plan. b.
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- the Commission's Rules, to Brahmin Broadcasting Corporation ("Brahmin"), licensee of radio station KPAD, Wheatland, WY. This Notice may be combined with a further action, if further action is warranted. 2. On August 16, 2011, an agent of the Enforcement Bureau's Denver Office inspected the KPAD main studio located in Wheatland, WY, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ..." At the time of the inspection, KPAD was monitoring a source other than those authorized as LP-2 sources for Wyoming EAS Area 5 within the Wyoming State EAS Plan. b. 47
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- of the Commission's Rules, to Brahmin Broadcasting Corporation, licensee of radio station KRQU, Chugwater, WY. This Notice may be combined with a further action, if further action is warranted. 2. On August 16, 2011, an agent of the Enforcement Bureau's Denver Office inspected the KRQU main studio, located in Wheatland, WY, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ..." At the time of the inspection, KRQU was monitoring a source other than those authorized as LP-2 sources for Wyoming EAS Area 5 within the Wyoming State EAS Plan. b. 47
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- 73.1820 and 73.1840 of this chapter for all broadcast streams . . . . " At the time of the inspection, the agent found that there were no entries in the station logs indicating why tests had not been received from the station's monitoring sources for the period between August 1, 2011 and October 26, 2011. d. 47 C.F.R. S: 11.52(d): "Broadcast stations and cable systems and wireless cable systems must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. . . ." At the time of inspection, the agents determined that Station WFAI was monitoring only one of its assigned EAS
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- Office, South Central Region, Enforcement Bureau: 1. This is a Notice of Violation (Notice) issued pursuant to Section 1.89 of the Commission's rules to Wagenvoord Advertising Group, Inc., licensee of Station KLRG-AM in Sheridan, Arkansas. 2. On January 25, 2012, an agent of the Commission's New Orleans Office inspected Station KLRG-AM and observed the following violations: a. 47 CFR S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of inspection, Station KLRG-AM was monitoring the National Weather Service but was not monitoring the two assignments
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- 1. This is a Notice of Violation (Notice) issued pursuant to Section 1.89 of the Commission's Rules, to Wings Communications, Inc., licensee of AM Station WELE, Ormond Beach, Florida. 2. On December 15, 2011, agents of the Enforcement Bureau's Tampa Office (Tampa Office) inspected Station WELE located in Ormond Beach, Florida, and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan ..." At the time of the inspection, Station WELE was monitoring two LP2 sources, rather than the LP1 and LP2 stations assigned in the Florida State EAS Plan. b. 47 C.F.R. S:
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- the broadcast station log as specified in Sections 73.1820 and 73.1840 of this chapter for all broadcast streams... " At the time of the inspection, there were no entries in the station's logs indicating why KBEN-FM did not receive numerous Required Weekly Tests from KZMQ-FM during the period from May 29, 2011, to August 13, 2011. b. 47 C.F.R. S: 11.52(d): "...EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan...." At the time of inspection, KBEN-FM was monitoring an incorrect source as its LP-2. KBEN was found monitoring KPOW-AM, 1230 kHz, instead of Wyoming Public Radio (KUWP-FM) as required in the WY
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- the broadcast station log as specified in Sections 73.1820 and 73.1840 of this chapter for all broadcast streams... " At the time of the inspection, there were no entries in the station's logs indicating why KWHO did not receive numerous Required Weekly Tests from KZMQ-FM during the period from May 29, 2011, to August 13, 2011. b. 47 C.F.R. S: 11.52(d): "...EAS participants must monitor two EAS sources. The monitoring assignments of each broadcast station and cable system and wireless cable system are specified in the State EAS Plan...." At the time of inspection, KWHO was monitoring an incorrect source as its LP-2. KWHO was found monitoring KPOW-AM, 1230 kHz, instead of Wyoming Public Radio (KUWP-FM) as required in the WY
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- This is a Notice of Violation (Notice) issued pursuant to Section 1.89 of the Commission's rules to KCBD License Subsidiary, LLC, licensee of station KCBD-TV in Lubbock, Texas. 2. On February 2 2012, an agent of the Commission's Dallas Office inspected the main studio of Station KCBD-TV located at Lubbock, Texas, and observed the following violation(s): a. 47 C.F.R. S: 11.52(d): "EAS Participants must monitor two EAS sources. The monitoring assignments of each broadcast station, cable system and wireless cable system are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." At the time of the inspection, Station KCBD-TV was not monitoring the assigned LP2 Station, KRIA (103.9 MHz, FM). b. 47
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- the Commission's rules (Rules) to Quinn Broadcasting, Inc (Quinn), licensee of AM Station WMVB in Millville, New Jersey. This Notice may be combined with a further action, if further action is warranted. 2. On June 28, 2011, agents of the Commission's Philadelphia Office inspected AM Station WMVB in Millville, New Jersey and observed the following violations: a. 47 C.F.R. S: 11.52(d): "EAS Participants ... must monitor two EAS sources. The monitoring assignments of each broadcast station ... are specified in the State EAS Plan and FCC Mapbook. They are developed in accordance with FCC monitoring priorities." The Emergency Alert System Plan for New Jersey specifies that WMVB must monitor WENJ Millville 97.3 FM as well as a Primary Entry Point Station.
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- unsuccessfully attempted to have its State EAS Coordinator change its two assigned EAS sources. Accordingly, Cherokee Broadcasting asks us to rescind or substantially reduce the proposed forfeiture. 5. We do not believe that rescission or reduction of the forfeiture is warranted because Cherokee Broadcasting allegedly could not get the State EAS Coordinator to change its two assigned EAS sources. Section 11.52(d)(1) of the Rules states as follows: If the required EAS sources cannot be received, alternative arrangements or a waiver may be obtained by written request to the FCC EAS office. In an emergency, a waiver may be issued over the telephone with a follow up letter to confirm temporary or permanent reassignment. Cherokee Broadcasting presents no evidence that it attempted
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- a period of more than 30 days. 47 C.F.R. 73.1560(d). 47 C.F.R. 73.49. We note that the Fort Louise Augusta site, where WSTX(AM)'s antenna is located, is directly adjacent to a public beach. 47 C.F.R. 11.35. Broadcast stations which are co-owned and co-located with a combined studio may share EAS equipment. See 47 C.F.R. 11.51(j) and 11.52(c). 47 C.F.R. 73.3526. Federal Communications Commission FCC 01-44 Federal Communications Commission FCC 01-44 ` $ %0 %0
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- for marine areas would be used in conjunction with special ``CCC'' codes. The special ``CCC'' codes have not yet been designated. SBE Petition at 8. NWS Petition at 1, 3-4. SBE Comments at 2-3. 47 C.F.R. 11.31(d). 47 C.F.R. 11.34; see also 47 C.F.R. Part 2, Subpart J. See 47 C.F.R. 2.1043. See 47 C.F.R. 11.51(l), 11.52(e)(2) and 11.61(a)(1)(v). SBE Petition at 3. NAB Comments at 3; Fox Comments at 1-2. Id. at 6. Id. NWS Petition at 1; NWS Letter at 3-4. 47 C.F.R. 11.33(a)(4) and (a)(5). Id. at 10-11. Id. Id. at 11. See 47 C.F.R. 11.51(j) and 11.52(c). SBE Petition at 14. 47 C.F.R. 11.32(a)(5). SBE Petition at 16. Memorandum from
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- No. 200232480001 ) Ashland City, TN ) FRN 0003-7542-56 FORFEITURE ORDER Adopted: August 13, 2002 Released: August 15, 2002 By the Chief, Enforcement Bureau: I. INTRODUCTION 1. In this Forfeiture Order (``Order''), we issue a monetary forfeiture in the amount of four thousand ($4,000) to Sycamore Valley Broadcasting, Inc. (``Sycamore''), Ashland City, Tennessee, for repeated and willful violation of Sections 11.52(d), 11.61(a), 17.50, 73.1400 and 73.1745(a) of the Commission's Rules (``Rules''),1 The noted violations involve Sycamore's failure: to monitor two Emergency Alert System (``EAS'') sources; to send and receive the required EAS tests; to repaint its antenna structure as often as necessary to maintain good visibility; to maintain sufficient transmission system monitoring and control; and to reduce transmitter power after sunset.
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- Enforcement Bureau: I. INTRODUCTION 1. In this Memorandum Opinion and Order (``Order''), we cancel the proposed monetary forfeiture in the amount of eight thousand dollars ($8,000) issued to Faith Mountain Communications, Inc. (``Faith Mountain''), licensee of radio station WRRL(AM), Rainelle, West Virginia for failure to install Emergency Alert System (``EAS'') equipment at station WRRL(AM) in apparent willful violation of Section 11.52(a) of the Commission's Rules.1 However, we conclude that Faith Mountain willfully violated Section 11.52(a) and admonish Faith Mountain for this violation. 2. On June 19, 2002, the Commission's Columbia, Maryland Field Office (``Columbia Office'') issued a Notice of Apparent Liability for Forfeiture (``NAL'')2 in the amount of eight thousand dollars ($8,000) to Faith Mountain. Faith Mountain filed a response on
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- Broadcast stations and cable systems and wireless cable systems may employ a minimum delay feature, not to exceed 15 minutes, for automatic interruption of EAS codes. However, this may not be used for the EAN event which must be transmitted immediately. The delay time for an RMT message may not exceed 60 minutes. * * * * * 100. Section 11.52 is amended by revising paragraph (e)(2) to read as follows: 11.52 EAS Code and Attention Signal Monitoring requirements. * * * * * (e) * * * (2) Manual interrupt of programming and transmission of EAS messages may be used. EAS messages with the EAN Event code must be transmitted immediately and Monthly EAS test messages within 60 minutes. All
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- will continue to refer to the operator of the Huntington cable system as Adelphia. 2 47 C.F.R. 11.61(a). 3 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200232340003 (Enf. Bur., Columbia Office, released July 19, 2002). 4 Broadcast stations and cable television stations are required to monitor two EAS sources, which are specified in the state EAS plan. 47 C.F.R. 11.52(d). 5 The NAL noted that there is no base forfeiture amount specified in the rules for failure to conduct required EAS tests. However, the NAL found that failure to conduct required EAS tests is similar in both nature and severity to failure to make required measurements or conduct required monitoring, which has a base forfeiture amount of $2,000. See 47
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- the day before the inspection. We find that Clarke's replacement of the Chief Operator prior to the inspection demonstrates good faith and warrants mitigation of the proposed monetary forfeiture to $6,000. 11. No mitigation is warranted for a history of overall compliance. On August 2, 2001, the San Francisco Office issued an NOV to Clarke for violations of Sections 11.35(a), 11.52(d), 11.61(a) and 73.182(a)(1) of the Rules9 (radio stations KVLM and KZSQ, Sonora, California) and, on August 16, 2001, the San Francisco Office issued an NOV to Clarke for violations of Section 11.52(b) and 73.182(a)(1) of the Rules (radio station KKBN, Sonora, California). Clarke, therefore, has no history of overall compliance.10 12. Nor is mitigation warranted on the basis of Clarke's
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- away from Moberly. Thus, it is clearly not a local telephone number either. 6 See KASA Radio Hogar, Inc., 17 FCC Rcd 6256 (2002) (quoting Emery Telephone, 13 FCC Rcd 23854, 23859-60 (1998), recon. denied, 15 FCC Rcd 7181 (1999)). 7 On March 21, 2000, the Columbia Office issued an NOV to AFA for the following violations at WARN-FM: Sections 11.52(d) (failure to monitor two EAS sources), 11.61(b) (failure to log EAS tests received), 73.1560(b) (failure to maintain the transmitter output power between 90% and 105% of the authorized power), and 73.1870(c)(3) (failure to have the chief operator review the station logs at least once each week to determine if the required entries are made correctly). File No. EB-99-CF-035. In its
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- dollars ($22,000) issued to MRJ, Inc. (``MRJ''), the licensee of WWYO, Pineville, West Virginia. We find that MRJ failed to conduct weekly EAS tests of the EAS header and EOM codes, failed to register its antenna structure with the Commission and failed to enclose the AM antenna in an effective locked fence in apparent willful and repeated violation of Sections 11.52(a), 17.4, and 73.49 and failed to allow access to the public inspection file in apparent willful violation of 73.3256(c) of the Commission's Rules (``Rules'')1. While we cancel the forfeiture for a demonstrated inability to pay, we admonish MRJ for its willful and repeated violation of Sections 11.52(a), 17.4, 73.49 of the Rules and its willful violation of Section 73.3526(c) of
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- Bureau: I. INTRODUCTION 1. In this Forfeiture Order (``Order''), we issue a monetary forfeiture in the amount of ten thousand dollars ($10,000) to M.J. Phillips Communications, Inc. (``M.J. Phillips''), licensee of AM Station WJJL, Niagara Falls, New York, for its willful and repeated violations of the power restriction, Emergency Alert System (``EAS'') and antenna structure requirements of Sections 73.1560(a)(1), 11.35(a), 11.52(d) and 17.4(a) of the Commission's Rules (``Rules'').1 II. BACKGROUND 2. On September 17 and 18, 2002, the Commission's Buffalo, New York Office (``Buffalo Office'') conducted on-site inspections of Station WJJL. The inspections revealed that the station had been exceeding its authorized power limits by more than 105 percent,2 that its Emergency Alert System (``EAS'') equipment had not been fully operational,3
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- sufficient economic hardship to warrant temporary waivers of section 11.11(a) of the Rules for the 153 cable systems listed in Appendix A, and grant Charter a waiver of these rules until October 1, 2005.10 5. Accordingly, IT IS ORDERED that, pursuant to Sections 0.111, 0.204(b) and 0.311 of the Rules,11 Charter Communications, Inc. IS GRANTED a waiver of Sections 11.11(a), 11.52(d) and 11.61 of the Rules as specified herein and the request for a declaratory ruling IS DISMISSED AS MOOT because it was withdrawn by Charter Communications, Inc. 6. IT IS FURTHER ORDERED that Charter Communications, Inc. place a copy of this waiver in its system files. 7. IT IS FURTHER ORDERED that a copy of this Order shall be sent
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- Michigan, for willful violation of numerous sections of the Commission's Rules (``Rules''). The noted violations involve, respectively: 1) failure to maintain required records, in violation of Sections 73.1820(a)(1)(i), 73.1820(a)(1)(iii) and 73.1870(c)(3) of the Rules;1 2) failure to make required measurements or conduct required monitoring regarding EAS monitoring sources, EAS tests, and observation of antenna structures' lights, in violation of Sections 11.52(d), 11.61(a)(2)(i)(A) and 17.47(a)(1);2 3) failure to file required forms or information regarding the registration of two antenna structures, in violation of Section 17.4(a);3 and 4) failure to exhibit red obstruction lighting from sunset to sunrise, in violation of Section 17.51(a).4 II. BACKGROUND 2. On September 23, 2002, the Commission's Detroit Office received information that the top flashing obstruction lights on
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- control override. WPWC's EAS set-up is consistent with Section 11.51(m) of the Rules which permits automatic operation of the EAS system by broadcast stations that use remote control. Further, although the NAL appears to cite JMK for not monitoring its primary EAS source and having its EAS equipment improperly tuned to its secondary EAS source, no separate violation of Section 11.52(d) of the Rules6 was noted. We agree with JMK that there was no violation of Section 11.35(a) of the Rules. Therefore, we cancel the portion of the forfeiture assessed for violation of Section 11.35(a) of the Rules and reduce the forfeiture amount by $8,000. 6. Section 73.1745(a) of the Rules states, in pertinent part, that no broadcast station shall operate
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- EAS decoders are able to directly monitor and decode NWS SAME codes with the addition of any ordinary weather radio receiver and off-the-shelf connections to the EAS decoder. 29 47 C.F.R. 11.31(c). 30 All broadcast stations and cable systems have EAS designations that describe their functions within EAS. See 47 C.F.R. 11.18. 31 47 C.F.R. 11.14. 32 47 C.F.R. 11.21, 11.52(d). The broadcast stations and cable systems must monitor at least two EAS sources to reduce the likelihood of a single point of failure preventing an EAS message from propagating through the system. 33 The State Relay Network is composed of State Relay sources, leased common carrier communications facilities, or any other available communication facilities. In addition to EAS monitoring, satellites,
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- Encoders, EAS Decoders and Attention Signal generating and receiving equipment used as part of the EAS are installed so that the monitoring and transmitting functions are available during the times the stations and systems are in operation.8 Broadcast station licensees are also required to receive, interrupt normal program, and transmit certain EAS messages.9 When facilities are unattended, Sections 11.51 and 11.52 of the Rules require licensees to employ automatic systems to interrupt programming and transmit certain EAS messages.10 On March 1, 2005, the EAS unit for Station KNSX(FM) was installed at its unattended KNSX transmitter site and set in manual mode. The owner of Twenty-One Sound claimed to visit the site occasionally to transmit manually the required weekly and monthly EAS
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- EAS rules are in order. Accordingly, we amend our EAS rules to delete all reference to the ``FCC EAS mailing list'' which we no longer maintain.191 EAS information may now be obtained from our web site. www.fcc.gov/eb/eas. and from the general FCC information number 1888-CALLFCC. Further, we amend section 11.41 to change "Operating Handbook" to "EAS Operating Handbook."192 In section 11.52(b) of our rules, we change the reference to 11.51(j)(2) to 11.51(m)(2).193 Section 11.53(c) provides that, prior to commencing operations, broadcast stations must determine whether the EAS has been activated by monitoring the assigned EAS sources.194 In order to clarify how EAS monitoring assignments are determined, we amend this section to add the following to the end of section 11.53(c): ``as
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- (``Order''), we grant in part and deny in part the petition for reconsideration filed by M.J. Phillips Communications, Inc. (``M.J. Phillips''), licensee of AM Station WJJL, Niagara Falls, New York. M.J. Phillips seeks reconsideration of a Forfeiture Order1 issued on June 23, 2004, in the amount of ten thousand dollars ($10,000) for willful and repeated violations of Sections 73.1560(a)(1), 11.35(a), 11.52(d) and 17.4(a) of the Commission's Rules (``Rules'').2 The noted violations involve M.J. Phillips' use of excessive power; its failure to have fully operational Emergency Alert System (``EAS'') equipment; its failure to monitor, test and log the tests of its EAS equipment on a regular basis; and its failure to register its antenna structure. For the reasons discussed below, we reduce
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- so that the monitoring and transmitting functions are available during the times the station is in operation. Broadcast stations must also determine the cause of any failure to receive required monthly and weekly EAS tests, and must indicate in the station's log why any required tests were not received and when defective equipment is removed and restored to service. Section 11.52(d) of the Rules requires broadcast stations to monitor at least two EAS sources. The monitoring assignments of each broadcast station are specified in the State EAS Plan and FCC Mapbook. The requirement that stations monitor at least two EAS sources ensures redundancy of the EAS system in the event one of the sources fails. Section 11.61(a)(1) and (2) of the
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- WGUL-FM, Inc. an Official Notice of Violation ("NOV") citing the above noted violations of the Rules. On April 14, 1998, the Tampa Office received a written response to the NOV. On June 1, 1998, the District Director of the Tampa Office issued an NAL to WGUL-FM, Inc. in the amount of $10,000 for the willful and continuous violation of Sections 11.52(d), 11.61(a), 73.1590(a)(6), and 73.3526(c) of the Rules. 4. WGUL-FM, Inc. filed a Request for Remission or Reduction of Forfeiture. The Compliance and Information Bureau issued a Forfeiture Order for three of the violations and ruled that the forfeiture attributable to the Section 73.1590(a)(6) violation for equipment performance measurements should be eliminated. Therefore, the Forfeiture Order reduced the forfeiture amount to
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- Order issued by the Enforcement Bureau in this proceeding. Pursuant to Section 503(b) of the Communications Act of 1934, as amended (``the Act'') and Section 1.80 of the Commission's Rules (``the Rules'') the former Compliance and Information Bureau ("CIB") found WGUL-FM, Inc. liable for a monetary forfeiture in the amount of $7,000 for willful and continuous violation of rule sections 11.52(d) (EAS code and attention signal monitoring requirements), 11.61(a) (tests of EAS procedures), and 73.3526(c) (availability of public inspection file for public inspection). For the reasons discussed below, we lower the forfeiture to $5,000. BACKGROUND 2. In response to a complaint concerning unintentional emissions, the Tampa Florida Field Office ("Field Office") inspected WINV(AM)'s operating facilities. The inspection revealed the aforementioned violations.
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- NOV or Citation must do so in accordance with the instructions and by the deadline set forth in the NAL, NOV or Citation. NOTICES OF APPARENT LIABILITY 47 C.F.R. Part 11 Emergency Alert System (EAS) Rules * 47 C.F.R. 11.35 Equipment Operations Readiness * WHYZ Radio L.P., Radio Station WCSZ(AM). $8,000 NAL. Atlanta, GA District Office (4/18/02). * 47 C.F.R. 11.52 EAS Code and Attention Signal Monitoring Requirements * Sycamore Valley Broadcasting, Inc., WQSV, Ashland City, TN. $25,000 NAL. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 17.50 (Cleaning and Repainting), 73.1400 (Transmission System Monitoring and Control), and 73.1745 (Unauthorized Operation). Atlanta, GA District Office (4/30/02). 47 C.F.R. Part 17 Antenna Structure Construction, Marking, and Lighting of Antenna Structures *
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- Atlantic Beach, SC.. $12,000 NAL. Other violation: 47 C.F.R. 73.1745 (Unauthorized Operation). Atlanta, GA District Office (6/24/02). * KGGF-KUSN, Inc., Coffeyville, KS, Springfield, MO. $23,000 NAL. Other violations: 47 C.F.R. 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 17.50 (Cleaning and Repainting) and 73.49 (AM Transmission System Fencing Requirements). Kansas City, MO District Office (6/28/02). * 47 C.F.R. 11.52 EAS Code and Attention Monitoring Requirements * Faith Mountain Communications, Inc., WRRL, Rainelle, WV. $8,000 NAL. Columbia, MD District Office (6/19/02). * 47 C.F.R. 11.61 Tests of EAS Procedures * Reef Broadcasting, Inc., WRRA, WAXJ and WDHP, Christianstead, USVI. $2,000 NAL. San Juan, PR Resident Agent Office (6/18/02). * First National Broadcasting Corporation, KXOL(AM) and KSOS(AM) - Brigham City, UT.
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- Notice of Violation * Larry Birch DBA Birches Communications, Mays Landing, NJ. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration Number) and 17.21 (Painting and Lighting, When Required). Philadelphia, PA District Office (12/21/01). 47 C.F.R. Part 11 Emergency Alert System * 47 C.F.R. 11.15 EAS Operating Handbook * KM Radio of Merced, LLC, Merced, CA (KBKY(FM)). Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.267 (Determining Operating Power), 73.1125 (Station Main Studio Location), 73.1225 (Station Inspection by FCC), 73.1226 (Availability to FCC of Station Logs and Records), 73.1230 (Posting of Station Licenses) and 73.1870 (Chief Operator). San Francisco, CA District Office (12/17/01). * 47 C.F.R. 11.35 Equipment Operational Readiness * King Broadcasting Company, Roswell, NM, KBIM(AM) (Facility
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- WA (KSUH, Puyallup & KWYZ, Everett). Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 17.50 (Cleaning and Repainting), 73.1590 (Equipment Performance Measurements), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Seattle, WA District Office (1/22/02). * 47 C.F.R. 11.52 EAS Code and Attention Signal Monitoring Requirements * Mega Communications, Silver Spring, MD. Other violation: 47 C.F.R. 11.61 (Tests of EAS Procedures). Philadelphia, PA District Office (1/22/02). * 47 C.F.R. 11.61 Tests of EAS Procedures * Quality Broadcasting Corp., Delray Beach, FL. Tampa, FL District Office (1/16/02). * Morgan State College, WEAA, Baltimore, MD. Other violations: 47 C.F.R. 73.1560 (Operating
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- Douglas SMR Works, Inc., Woodinville, WA. Philadelphia, PA District Office (2/14/02). 47 C.F.R. Part 11 Emergency Alert System * 47 C.F.R. 11.15 EAS Operating Handbook * CableVision, Lake Havasu City, AZ. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness) and 11.61 (Tests of EAS Procedures). San Diego, CA District Office (2/19/02). * Adelphia Cable, Durven, PA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 11.61 (Tests of EAS Procedures). Philadelphia, PA District Office (2/14/02). * Genesis Communications I, Inc, Atlanta, FL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 17.4(a) (Antenna Structure Registration). Tampa, FL District Office (2/28/02). * 47 C.F.R. 11.35 Equipment Operational Readiness * Steven M. Greeley, Lake Havasu
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- Antenna Structure Light Inspections in the Owner Record), 73.1125 (Station Main Studio Location), 73.1400 (Transmission System Monitoring and Control) and 73.1870 (Chief Operator). Los Angeles, CA District Office (3/12/02). NOTICES OF VIOLATION 47 C.F.R. Part 1 Practice and Procedure * 47 C.F.R. 1.903 Authorization Required * Fennessey Broadcasting Stations Corp., Scranton, PA. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 73.51 (Determining Operating Power), 73.58 (Indicating Instruments), 73.1225 (Station Inspections by FCC), 73.1350 (Transmission System Operations), 73.1560 (Operating Power and Mode Tolerances), 73.1590 (Equipment Performance Measurements), 73.1800 (General Requirements Related to the Station Log), 73.1840 (Retention of Logs), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for
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- (General Operating Requirements) and 90.425 (Station Identification). San Diego, CA District Office (3/31/03). 47 C.F.R. Part 11 Emergency Alert System (EAS) Rules * 47 C.F.R. 11.35 Equipment Operational Readiness * Charles R. Meeker, KDPX-LP, Cathedral City, CA. $8,000 NAL. San Diego, CA District Office (1/31/03). * M.J. Phillips Communications, Inc., WJJL, Niagara Falls, NY. $10,000 NAL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 17.4(a) (Antenna Structure Registration) and 73.1560 (Operating Power and Mode Tolerances). Buffalo, NY Resident Agent Office (1/28/03). * Pittman Broadcasting Services, L.L.C., KAOK(AM), KAOK-FM, Covington, Louisiana. $15,000 NAL. Other violation: 47 C.F.R. 73.49 (AM Transmission Fencing Requirements). New Orleans, LA District Office (2/14/03). * Victory & Power Ministries, Inc., WPFC, Baton Rouge, Louisiana.
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- Park, NJ. $10,000 NAL. Other violation: 47 C.F.R. 90.425 (Station Identification). Philadelphia, PA District Office (12/5/02). 47 C.F.R. Part 11 Emergency Alert System (EAS) Rules * 47 C.F.R. 11.35 Equipment Operational Readiness * Minority Business and Housing Development, Inc., WYGG, Uniondale, NY. $13,000 NAL. Other violation: 47 C.F.R. 73.1350 (Transmission System Operation). Philadelphia, PA District Office (12/30/02). * 47 C.F.R. 11.52 -- EAS Code and Attention Signal Monitoring Requirements * MRJ, Inc., Pineville, WV. $22,000 NAL. Other violations: 47 C.F.R. 17.4 (Antenna Structure Registration), 73.49 (AM Transmission Fencing Requirements) and 73.3526 (Local Public Inspection File for Commercial Stations). Columbia, MD District Office (12/26/02). * 47 C.F.R. 11.61 Tests of EAS Procedures * Radio Station WWAM, Inc., WWAM(AM), Lakeland, FL. $2,000 NAL.
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- 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 73.49 (AM Transmission System Fencing Requirements), 73.62 (Directional Antenna System Tolerances), 73.1213 (Antenna Structure Marking and Lighting), 73.1230 (Posting of Station License), 73.1870 (Chief Operators), and 73.3526 (Public Inspection File). New Orleans, LA Office (5/11/00). Broadcast Investment Associates, Inc., Rome, GA. NOV also issued for violation of 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 73.1545(a) (Carrier Frequency Departure Tolerances) and 73.3526 (Public Inspection File). Atlanta, GA Office (5/16/00). Michael Radio Group, Glendo, Wyoming. NOV also issued for violation of 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.267 (Determining Operational Power), 73.1125 (Station Main Studio
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- GA District Office (6/6/00). Chancellor Media Radio Licensees, LLC, Chicago, IL, WGCI(AM) and WGCI-FM. Chicago, IL District Office (6/8/00). Canton Broadcasters, Inc. Dallas, TX District Office (6/9/00). Columbia College, Chicago, Illinois, WCRX. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures). Chicago, IL District Office (6/12/00). St. George Broadcasting LLC, Michigan City, Indiana, WIMS. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 11.61 (Tests of EAS Procedures). Chicago, IL District Office (6/12/00). University of AK, on Behalf of University of AK, Fairbanks, KSUA(FM), Fairbanks, AK. Other violations: 47 C.F.R. 73.1230 (Posting of Station License), 73.1870 (Chief Operators), and 73.3527 (Public Inspection File for Noncommercial Educational Stations). Anchorage, AK Resident Agent Office (6/13/00). AT&T
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- C.F.R. 73.1820 (Station Log). Chicago, IL District Office (7/18/00). 47 C.F.R. 11.35 - Equipment Operations Readiness Birach Broadcasting Corp., Southfield, MI (WNWI(AM), Riverdale, IL). Other violations: 47 C.F.R. 73.1560 (Operating Power and Mode Tolerances) and 73.3526 (Public Inspection File). Chicago, IL District Office (7/3/00). Full Gospel Church of God, Lumber City, GA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirments), 11.61 (Tests of EAS Procedures), and 17.4 (Antenna Structure Registration). Atlanta, GA District Office (7/13/00). Tri-County Broadcasting, Inc., Hawkinsville, GA. Other violation: 47 C.F.R. 11.61 (Tests of EAS Procedures). Atlanta, GA District Office (7/13/00). Vidalia Communications Corporation, Vidalia, GA. Atlanta, GA District Office (7/13/00). 47 C.F.R. 11.61 -Tests of EAS Procedures
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- Atlanta Gas Light Company, Atlanta, GA. Other violations: 47 C.F.R. 90.233 (Base/Mobile Non-Voice Operations) and 90.403 (General Operating Requirements). Atlanta, GA District Office (8/29/00). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook Cherokee Broadcasting Company, Inc. Other violations: 47 C.F.R. 11.32 (EAS Encoder), 11.33 (EAS Decoder), 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4 (Antenna Structure Registration), 17.50 (Cleaning and Repainting), and 73.1230 (Posting of Station License). Norfolk, VA Resident Agent Office (8/01/00). AT&T Broadband, Des Moines, IA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.54 (EAS Operation During National Level Emergency) and 11.61 (Tests
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- Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook T & W Communications Corp., Columbus, MS. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 73.49 (AM Transmission System Fencing Requirements), 73.1820(Station Log), and 73.3526(Local Public Inspection File for Commercial Stations). New Orleans, LA District Office (9/5/00). Priority Communications, L.L.C., WYAM, Hoover, AL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 17.4(g) (Antenna Structure Registration Number Posting), 73.51 (Determining Operating Power), 73.58 (Indicating Instruments), 73.1230 (Posting of Station License), 73.1590 (Equipment Performance Measurements) 73.1820(Station Log), and 73.3526 (Local Public Inspection File of Commercial Stations). Atlanta, GA District Office (9/7/00). Tele Media Co. of Vermont, L.L.C., WKVT, Brattleboro, VT. Other violation: 47 C.F.R. 11.35
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- and 90.215 (Transmitter Measurements). Detroit, MI District Office (10/26/00). 47 C.F.R. 1.955 - Termination of Authorization Lyon Sand and Gravel Company, Wixom, MI. Detroit, MI District Office (10/26/00). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.11 - The Emergency Alert System (EAS) Dilip Viswanath (K44FO, Dallas, TX), East Elmhurst, NY. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 74.765 (Posting of Station and Operator Licenses), and 74.783 (Station Identification). Dallas, TX District Office (10/30/00). 47 C.F.R. 11.15 - EAS Operating Handbook Sheyenne Valley Broadcasting Inc. Lisbon ND. Other violations: 47 C. F. R. 11.35 (Equipment Operations Readiness), 11.61 (Tests of EAS Procedures), 17.4(g) (Antenna
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- Commercial Stations). Detroit, MI District Office (11/20/00). 47 C.F.R. Part 1 - Practice and Procedure 47 C.F.R. 1.903 - Authorization Required Whitemarsh Community Ambulance, Lafayette Hill, PA. Philadelphia, PA District Office (11/20/00). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook Discussion Radio, Inc., WDIS, Norfolk, MA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4 (Antenna Structure Registration), 17.50 (Cleaning and Repainting), 73.49 (AM Transmission System Fencing Requirements), 73.58 (Indicating Instruments), 73.1230 (Posting of Station Licenses)), 73.1590 (Equipment Performance Measurements), 73.1870 (Chief Operators) and 73.3526 (Local Public Inspection File for Commercial Stations). Boston, MA District Office (11/16/00). Fifth Avenue Broadcasting Co., Inc.,
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- NY Office (3/31/00). 47 C.F.R. Part 11 (Emergency Alert System (EAS) Rules) 47 C.F.R. 11.15 (EAS Operating Handbook) Cablevision of Massachusetts, Allston, MA. NOV also issued for violation of 47 C.F.R. 11.21, and 11.61. New England District Office (3/10/00). Booth-Newsome Broadcasting, Inc., WKTE, King, North Carolina. NOV also issued for violation of 47 C.F.R. 11.32, 11.33, 11.35, 11.52, 11.61, 73.49, 73.51, 73.1225, 73.1400 73.1350, 73.1560, 73.1590, 73.1870, and 73.3526. Norfolk, VA Office (3/13/00). KICO/AM 1490 kHz, Hanson Broadcasting Co. San Diego, CA Office (3/27/00). First Assembly of God, Gainesville, FL. NOV also issued for violation of 47 C.F.R. 11.52 and 11.61. Tampa, FL Office (3/28/00). KGBA/FM, 100.1 MHz, The Voice of International Christian. San Diego, CA Office
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- Page (WPMG359), Naranjito, Puerto Rico. NOV also issued for violation of 47 C.F.R. 90.403(e) (avoidance of harmful interference). San Juan, PR Office (4/13/00). 47 C.F.R. Part 11 (Emergency Alert System (EAS) Rules) 47 C.F.R. 11.15 (EAS Operating Handbook) M.J. Phillips Communications, Inc., Niagara Falls, NY. NOV also issued for violation of 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4 (Antenna Structure Registration), 17.47 (Inspection of Antenna Structure Lights and Associated Control Equipment), 73.51 (Determining Operating Power), 73.58 (Indicating Instruments), 73.1125 (Station Main Studio Location), 73.1560 (Operating Power and Mode Tolerances), 73.1820 (Station Log), and 73.3526 (Public Inspection File). Buffalo, NY Office (4/13/00). 47 C.F.R. 11.35
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- CA. Other violations: 47 C.F.R. 90.203 (Certification Required) and 90.437 (Posting Station Licenses). Los Angeles, CA District Office (3/20/01). 47 C.F.R. Part 11 - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook The Board of Education, West Bloomfield School District, Orchard Lake, MI, WBLD-FM (West Bloomfield, MI). Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 11.62 (Closed Circuit Tests of National Legal EAS Facilities), 73.1350 (Transmission System Operation), 73.1400 Transmission System Monitoring and Control), 73.1560 (Operating Power and Mode Tolerances), 73.1660 (Acceptability of Broadcast Transmitters), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator), and 73.3527 (Local Public Inspection File for
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- Measurements), 73. 1230 (Posting of Station License), 73.1350 (Transmission System Operation), 73.1545 (Carrier Frequency Departure Tolerances), 73.1560 (Operating Power and Mode Tolerances), 73.1590 (Equipment Performance Measurements), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations). San Diego, CA District Office (12/19/00). AT&T Broadband and Internet Services, Burien WA. Other violations: 47 C.F.R. 11.35 (Equipment Operations Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements)), 17.4(g) (Posting of Antenna Structure Registration Number), 76.305 (Records to be Maintained Locally by Cable System Operators for Public Inspection) and 76.605 (Technical Standards). Seattle, WA District Office (12/26/00). 47 C.F.R. 11.35 - Equipment Operations Readiness AT&T Broadband, Chico, CA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring
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- Lights and Associated Control Equipment), 17.57 (Report of Radio Transmitting Antenna Construction, Alteration and/or Removal), 73.49 (AM Transmission System Fencing Requirements), 73.1350 (Transmission System Operation), 73.1590 (Equipment Performance Measurements), 73.1820 (Station Log), 73.1870 (Chief Operator), and 73.2526 (Local Public Inspection File for Commercial Stations). Philadelphia, PA District Office (4/23/01). Four Him Enterprises, L.L.C., Potosi, MO. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements) and 11.61 (Tests of EAS Procedures). Kansas City, MO District Office (4/17/01). Union Broadcasting, Inc. Anna, IL. 47 C.F.R. 73.267 (Determining Operating Power), 73.1125 (Station Main Studio Location), 73.1350 (Transmission System Operation), 73.1560 (Operating Power and Mode Tolerances), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Kansas City,
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- Procedures), 73.1225 (Station Inspections by FCC), 73.1226 (Availability to FCC of Station Logs and Records), 73.1230 (Posting of Station License), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Anchorage, AK Resident Agent Office (5/1/01). Lindsay Broadcasting, Garden Grove, CA. Other violations: 47 C.F.R. 11.35 (Equipment Operations Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.1125 (Station Main Studio Location), 73.1225 (Station Inspections by FCC), 73.1226 (Availability to FCC of Station Logs and Records), 73.1230 (Posting of Station License), 73.1560 (Operating Power and Mode Tolerances), 73.1800 (General Requirements Related to the Station Log), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations). San Francisco, CA
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- - Emergency Alert System 47 C.F.R. 11.15 - EAS Operating Handbook Edmission & Eubank Communications, Inc., WDKN(AM), Dickson, TN. Other violations: 47 C.F.R. 17.4(a) (Antenna Structure Registration), 73.51 (Determining Operating Power), 73.1230 (Posting of Station License), and 73.1400 (Transmission System Monitoring). Atlanta, GA District Office (6/18/01). Wilson Broadcasting Co., Inc., WAGF(AM), Dothan, AL. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.1230 (Posting of Station License), 73.1350 (Transmission System Operations), 73.1400 (Transmission System Monitoring), 73.1690 (Modification of Transmission Systems), 73.1745 (Unauthorized Operation) and 73.1820 (Station Log). Atlanta, GA District Office (6/18/01). Christian Broadcasting Group, Ceiba, PR. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 73.1230 (Posting of Station License), 73.1800 (General Requirements
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- ID #1153). Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 17.4(a) (Antenna Structure Registration), 73.1125 (Station Main Studio Location), 73.1201 (Station Identification), 73.1400 (Transmission System Monitoring and Control), 73.1820 (Station Log) and 73.3526 (Local Public Inspection File for Commercial Stations). Denver, CO District Office (7/30/01). KJUL License, LLC, KJUL-FM, North Las Vegas, NV. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures) and 73.1870 (Chief Operator). Los Angeles, CA District Office (7/31/01). KJUL License, LLC, KKLZ-FM, Las Vegas, NV. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures) and 73.1870 (Chief Operator). Los Angeles, CA District Office (7/31/01). KJUL License, LLC,
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- Corp., WPPH856, New York, NY. New York, NY District Office (8/22/01). * 47 C.F.R. 1.923 - Content of Applications * Ocean City Volunteer Fire Department, Inc., KXI892, Ocean City, MD. Columbia, MD District Office (8/1/01). 47 C.F.R. Part 11 Emergency Alert System * 47 C.F.R. 11.15 EAS Operating Handbook * Lifeline Radio Corporation, WANL, Albany, GA. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements), 73.44 (AM Transmission System Emission Limitations), 73.1230 (Posting of Station License), 73.1350 (Transmission System Operation), 73.1590 (Equipment Performance Measurements), 73.1745 (Unauthorized Operation), 73.1870 (Chief Operator) and 73.3526 (Local Public Inspection File for Commercial Stations). Atlanta, GA District Office (8/9/01). * Bartow Broadcasting Co., Inc. Other violations: 47 C.F.R. 11.52 (EAS Code and Attention
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- Period). Denver, CO District Office (9/18/01). 47 C.F.R. Part 1 Practice and Procedure * 47 C.F.R. 1.903 Authorization Required * Town of Oyster Bay Public Works Department, KBL758, Svosset, NY. New York, NY District Office (9/20/01). 47 C.F.R. Part 11 Emergency Alert System * 47 C.F.R. 11.15 EAS Operating Handbook * Margate Communications, Atlantic City, NJ. Other violation: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements). Philadelphia, PA District Office (9/21/01). * Creative Educational Media Corp., Inc., Branson, MO. Other violation: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements). Kansas City, MO District Office (9/24/01). * Vera R. Baldwin, Inc., WDLW(AM), Fairfield, OH. Other violation: 47 C.F.R. 11.52 (EAS Code and Attention Signal Monitoring Requirements). Detroit, MI
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- and Procedure * 47 C.F.R. 1.903 Authorization Required * Amquip Corporation, Bensalem, PA. Philadelphia, PA District Office (11/7/01). * Aeronautical Radio, Inc., WPC8, DFW International Airport, TX. Dallas, TX District Office (11/19/01). 47 C.F.R. Part 11 Emergency Alert System * 47 C.F.R. 11.15 EAS Operating Handbook * Beacon Broadcasting, Inc., Greenville, PA. Other violations: 47 C.F.R. 11.35 (Equipment Operational Readiness), 11.52 (EAS Code and Attention Signal Monitoring Requirements), 11.61 (Tests of EAS Procedures), 17.4(g) (Posting of Antenna Structure Registration Number), 17.23 (Specifications for Painting and Lighting of Antenna Structures), 17.48 (Notification of Extinguishment and Improper Functioning of Lights), 17.50 (Cleaning and Repainting), 73.58 (Indicating Instruments), 73.1201 (Station Identification), 73.1350 (Transmission System Operation), 73.1560 (Operating Power and Mode Tolerances), 73.1590 (Equipment Performance
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- District Office (1/12/01). Saga Communications of Iowa, Inc., dba KRNT(AM), KXTK(AM), KIOA-FM and KSTZ(FM), Des Moines, IA, KAZR(FM), Pella, IA and KLTI(FM), Ames, IA. Other violations: 47 C.F.R. 11.61 (Tests of EAS Procedures), 73.62 (Directional Antenna System Tolerances), 73.1870 (Chief Operator), and 73.3526 (Local Public Inspection File for Commercial Stations). Kansas City, MO District Office (1/25/01). 47 C.F.R. 11.52 - EAS Code and Attention Signal Monitoring Requirements Clear Channel Broadcasting Licenses, Inc., Midland, TX. Other violation: 47 C.F.R. 11.61 (Tests of EAS Procedures). Dallas, TX District Office (1/12/01). 47 C.F.R. 11.61 -Tests of EAS Procedures Cumulus Licensing Corp., WLOV(AM)/WXKT(FM), Washington, GA. Other violations: 47 C.F.R. 17.4(g) (Posting of Antenna Structure Registration Number), 17.50 (Cleaning and Repainting),
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- 523 miles away from Moberly. Thus, it is clearly not a local telephone number either. See KASA Radio Hogar, Inc., 17 FCC Rcd 6256 (2002) (quoting Emery Telephone, 13 FCC Rcd 23854, 23859-60 (1998), recon. denied, 15 FCC Rcd 7181 (1999)). On March 21, 2000, the Columbia Office issued an NOV to AFA for the following violations at WARN-FM: Sections 11.52(d) (failure to monitor two EAS sources), 11.61(b) (failure to log EAS tests received), 73.1560(b) (failure to maintain the transmitter output power between 90% and 105% of the authorized power), and 73.1870(c)(3) (failure to have the chief operator review the station logs at least once each week to determine if the required entries are made correctly). File No. EB-99-CF-035. In its
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- 110 Stat. 56 (1996). See Implementation of Sections 204(a) and 204(c) of the Telecommunications Act of 1996 (Broadcast License Renewal Procedures), Order, 11 FCC Rcd 6363 (1996). 47 U.S.C. 309(k)(2), 309(k)(3). See M.J. Phillips Communications, Inc., 21 FCC Rcd at 346. Enforcement Bureau (``EB'') found that a forfeiture of $7,000 was appropriate for Licensee's violations of Sections 73.1560(a)(1); 11.35(a); 11.52(d); and 17.4(a) of the Rules. We also find that the forfeiture levied by EB was a sufficient sanction for the indicated violations. See 47 U.S.C. 309(k). Federal Communications Commission Washington, D.C. 20554 June 27, 2007 + 9 : ; = H Q R ^ h t `` '' hd hd
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- assigned EAS sources is not possible at the remote location, automatic operation is required. If automatic operation is used, the remote control location may be used to override the transmission of an EAS alert. Broadcast stations and cable systems and wireless cable systems may change back and forth between automatic and manual operation. * * * * * L.. Section 11.52 is amended by revising the third sentence of paragraph (a), paragraphs (b) through (d)(2), and the introductory sentence of paragraph (e) to read as follows: 11 11.52 EAS code and Attention Signal Monitoring requirements. (a) * * *The effective dates for cable and wireless cable systems to install and operate EAS equipment are set forth in 11.11. *