FCC Web Documents citing 22.725
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/FCC-03-95A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/FCC-03-95A1.pdf http://fjallfoss.fcc.gov/edocs_public/attachmatch/FCC-03-95A1.txt
- to 1,000 miles away. Meteor burst technology, however, only works in brief spurts because a typical meteor trail has an average duration of a few hundred milliseconds, while wait times between suitable trails can range from a few seconds to minutes. As such, the technology is well-suited for bursty data transmissions but not suitable for a continuous voice call. Section 22.725(c) provides that channels 42.40, 44.10, 44.20 and 45.90 MHz may be used for such purposes in Alaska. Section 22.729 governs station operations using meteor burst propagation modes on these channels. Commission records indicate that there are no Part 22 licensees on these channels in Alaska. The 44.20 MHz channel, moreover, is only available under Part 22 on a secondary basis
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-05-1364A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-05-1364A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-05-1364A1.txt
- Authorization of 43 MHz Paging Transmitters The Commission deleted Sections 22.411 and 22.531(a) from the rules. Developmental Authorization of 928-960 MHz Fixed Transmitters The Commission eliminated Section 22.415 and revised Section 22.625(a) by eliminating all text following the first sentence that pertains to short-spaced developmental authorizations under Section 22.415. Developmental Authorization of Meteor Burst Systems The Commission deleted Sections 22.417, 22.725(c), and 22.729 from the rules. It also deleted the definition of ``meteor burst propagation mode'' in Section 22.99, the Section 22.313(a)(3) station identification requirements for Rural Radiotelephone Service subscriber stations using meteor burst propagation, and the Section 22.727(f) limits on transmitter output power for meteor burst stations. Paging and Radiotelephone Service Rules Composite Interference Contour Over Water The Commission amended
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-257942A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-257942A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-257942A1.txt
- proceeding. This erratum makes the following corrections: In paragraph 163, Section 22.655 should have been deleted, rather than amended. Thus, the first sentence of that paragraph should be replaced with ``We eliminate Section 22.655 so that we no longer require licensees engaged in trunked mobile operations to measure and report channel usage.'' In addition, because the channels listed in Section 22.725 remain available for assignment to basic exchange telephone radio systems (BETRS), the second sentence of paragraph 166 should be revised to read ``Because the channels listed in Section 22.757 are no longer available for assignment to BETRS, these rules are outdated.'' Finally, in Appendix B, paragraph 51 contains a typographical error, and the revised text of the rule was inadvertently
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-95A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-95A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-95A1.txt
- to 1,000 miles away. Meteor burst technology, however, only works in brief spurts because a typical meteor trail has an average duration of a few hundred milliseconds, while wait times between suitable trails can range from a few seconds to minutes. As such, the technology is well-suited for bursty data transmissions but not suitable for a continuous voice call. Section 22.725(c) provides that channels 42.40, 44.10, 44.20 and 45.90 MHz may be used for such purposes in Alaska. Section 22.729 governs station operations using meteor burst propagation modes on these channels. Commission records indicate that there are no Part 22 licensees on these channels in Alaska. The 44.20 MHz channel, moreover, is only available under Part 22 on a secondary basis
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-04-287A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-04-287A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-04-287A1.txt
- 1,000 miles away. Meteor burst technology, however, only works in brief spurts because a typical meteor trail has an average duration of a few hundred milliseconds, while wait times between suitable trails can range from a few seconds to minutes. As such, the technology is well-suited for bursty data transmissions but is not suitable for a continuous voice call. Section 22.725(c) provides that channels 42.40, 44.10, 44.20 and 45.90 MHz may be used for such purposes in Alaska. Section 22.729 governs station operations using meteor burst propagation modes on these channels. In the Notice, we indicated that there are no Part 22 licensees on these channels in Alaska, although there are some licenses issued under Part 90. We sought comment as
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-04-287A1_Erratum.doc
- 1,000 miles away. Meteor burst technology, however, only works in brief spurts because a typical meteor trail has an average duration of a few hundred milliseconds, while wait times between suitable trails can range from a few seconds to minutes. As such, the technology is well-suited for bursty data transmissions but is not suitable for a continuous voice call. Section 22.725(c) provides that channels 42.40, 44.10, 44.20 and 45.90 MHz may be used for such purposes in Alaska. Section 22.729 governs station operations using meteor burst propagation modes on these channels. In the Notice, we indicated that there are no Part 22 licensees on these channels in Alaska, although there are some licenses issued under Part 90. We sought comment as
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-04-287A5.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-04-287A5.pdf
- proceeding. This erratum makes the following corrections: In paragraph 163, Section 22.655 should have been deleted, rather than amended. Thus, the first sentence of that paragraph should be replaced with ``We eliminate Section 22.655 so that we no longer require licensees engaged in trunked mobile operations to measure and report channel usage.'' In addition, because the channels listed in Section 22.725 remain available for assignment to basic exchange telephone radio systems (BETRS), the second sentence of paragraph 166 should be revised to read ``Because the channels listed in Section 22.757 are no longer available for assignment to BETRS, these rules are outdated.'' Finally, in Appendix B, paragraph 51 contains a typographical error, and the revised text of the rule was inadvertently
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-04-287A5_Erratum.doc
- proceeding. This erratum makes the following corrections: In paragraph 163, Section 22.655 should have been deleted, rather than amended. Thus, the first sentence of that paragraph should be replaced with ``We eliminate Section 22.655 so that we no longer require licensees engaged in trunked mobile operations to measure and report channel usage.'' In addition, because the channels listed in Section 22.725 remain available for assignment to basic exchange telephone radio systems (BETRS), the second sentence of paragraph 166 should be revised to read ``Because the channels listed in Section 22.757 are no longer available for assignment to BETRS, these rules are outdated.'' Finally, in Appendix B, paragraph 51 contains a typographical error, and the revised text of the rule was inadvertently
- http://transition.fcc.gov/Bureaus/Common_Carrier/Notices/1999/fcc99204.pdf http://transition.fcc.gov/Bureaus/Common_Carrier/Notices/1999/fcc99204.txt http://transition.fcc.gov/Bureaus/Common_Carrier/Notices/1999/fcc99204.wp
- on Advanced Telecommunications Capability, CC Docket No. 98-146, FCC 99-5 (rel. Feb. 2, 1999) at para. 20. 36 BETRS is a two-way channel wireless service used to provide basic exchange service to remote rural areas of the country. Basic Exchange Telecommunications Radio Service, Report and Order, CC Docket No. 86-495, 3 FCC Rcd 214 (1988). See 47 C.F.R. §§ 22.99, 22.725, 22.727. Federal Communications Commission FCC 99-204 10 universal service.37 We also seek comment on whether specific services included within the definition of universal service could not be provided via these facilities. We seek comment on the extent to which facilities used to provide telecommunications service to customers outside the unserved or underserved areas exist adjacent to or nearby the unserved
- http://wireless.fcc.gov/auctions/26/releases/fc970059.pdf http://wireless.fcc.gov/auctions/26/releases/fc970059.txt http://wireless.fcc.gov/auctions/26/releases/fc970059.wp
- telephone service to rural areas where it would be impractical to provide wireline telephone service. Only local exchange carriers (LECs) that have been state 76 certified to provide basic exchange telephone service, or others having state approval to provide such service, are eligible to hold authorizations for BETRS. Conventional Rural Radiotelephone Service is provided on the channels listed in Section 22.725. These channels are also allocated for assignment for paging services. In the Notice, we stated that it is important to ensure that any changes to our paging rules do not prevent BETRS from providing service to areas that otherwise would lack basic telephone service. We noted that new wireless services, such as PCS, may eventually provide 77 telecommunications service to
- http://wireless.fcc.gov/auctions/general/releases/fc000209.doc http://wireless.fcc.gov/auctions/general/releases/fc000209.pdf http://wireless.fcc.gov/auctions/general/releases/fc000209.txt
- at 2, Dobson Comm. Corp. Comments at 6, and Carl Artman Comments at 2-3. Notice ¶ 17. BETRS is a two-way channel wireless service used to provide basic exchange service to remote rural areas of the country. Basic Exchange Telecommunications Radio Service, Report and Order, CC Docket No. 86-495, 3 FCC Rcd 214 (1988). See also 47 C.F.R. §§ 22.99, 22.725 & 22.727. Notice ¶ 17. Id. ¶ 20. Id. ¶ 17. NTCA Comments at 9-10, PCIA Comments at 4-5, Cook Inlet Region Comments at 3-4, Salt River Pima-Maricopa Comments at 10, U.S. Cellular Corp. Comments at 3-4, Dobson Comm. Corp. Comments at 6, Roger L. Scheer Comments at 2, Carl Artman Comments at 2. See, e.g., SDITC Reply Comments at
- http://www.fcc.gov/Bureaus/Common_Carrier/Notices/1999/fcc99204.doc http://www.fcc.gov/Bureaus/Common_Carrier/Notices/1999/fcc99204.pdf http://www.fcc.gov/Bureaus/Common_Carrier/Notices/1999/fcc99204.txt http://www.fcc.gov/Bureaus/Common_Carrier/Notices/1999/fcc99204.wp
- Report on Advanced Telecommunications Capability, CC Docket No. 98-146, FCC 99-5 (rel. Feb. 2, 1999) at para. 20. BETRS is a two-way channel wireless service used to provide basic exchange service to remote rural areas of the country. Basic Exchange Telecommunications Radio Service, Report and Order, CC Docket No. 86-495, 3 FCC Rcd 214 (1988). See 47 C.F.R. §§ 22.99, 22.725, 22.727. , supra. See e. g., Overcoming Obstacles Proceeding: Albuquerque Hearing, Testimony of Gene DeJordy, Executive Director, Western Wireless, p. 94 (currently serves 23 Indian reservations); Overcoming Obstacles Proceeding: Arizona Hearing, Testimony of Carl Artman, Airadigm Communications, Inc., p. 100 (Oneida tribe invested in its own wireless communications because of its lower cost of deployment and maintenance when compared to
- http://www.fcc.gov/Bureaus/Wireless/Orders/2000/fcc00209.doc http://www.fcc.gov/Bureaus/Wireless/Orders/2000/fcc00209.txt
- at 2, Dobson Comm. Corp. Comments at 6, and Carl Artman Comments at 2-3. Notice ¶ 17. BETRS is a two-way channel wireless service used to provide basic exchange service to remote rural areas of the country. Basic Exchange Telecommunications Radio Service, Report and Order, CC Docket No. 86-495, 3 FCC Rcd 214 (1988). See also 47 C.F.R. §§ 22.99, 22.725 & 22.727. Notice ¶ 17. Id. ¶ 20. Id. ¶ 17. NTCA Comments at 9-10, PCIA Comments at 4-5, Cook Inlet Region Comments at 3-4, Salt River Pima-Maricopa Comments at 10, U.S. Cellular Corp. Comments at 3-4, Dobson Comm. Corp. Comments at 6, Roger L. Scheer Comments at 2, Carl Artman Comments at 2. See, e.g., SDITC Reply Comments at