FCC Web Documents citing 24.11
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-06-2495A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-06-2495A1.pdf
- exclusive basis. It proposes the initial deployment of twenty-three base station sites to cover the City of Richmond and Henrico, Chesterfield, and Hanover Counties, but also requests authorization for the entire Richmond-Petersburg, Virginia Economic Area (EA 015), which covers thirty-eight counties, in order to provide for growth of the regional system to incorporate adjacent jurisdictions. Richmond requests waivers of Sections 24.11 and 24.103 of the Commission's rules, and any other of the Commission's rules that are necessary to grant its application. Richmond requires a waiver of Section 24.11 because its system would be site-based. Next, Richmond requires a waiver of Section 24.103 because the proposed paging system would not meet construction requirements to provide commercial service over a certain composite area
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-02-2925A2.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-02-2925A2.txt
- 6.25 Other IXCs 8.04 Other IXCs 8.93 Other IXCs 9.82 Other IXCs 10.72 Other IXCs 11.61 Other IXCs 12.50 Other IXCs 13.40 Other IXCs 14.29 Other IXCs 15.18 Other IXCs 16.07 Other IXCs 16.97 Other IXCs 17.88 Other IXCs 17.88 Other IXCs 18.75 Other IXCs 19.65 Other IXCs 20.54 Other IXCs 21.43 Other IXCs 22.32 Other IXCs 23.15 Other IXCs 24.11 Other IXCs 25.00 TMECS XDH1X Connecticut SBCS 130.00 TMECS XDH1X Connecticut SBCS 170.00 TMECS XDH1X Connecticut SBCS 175.00 TMECS XDH1X Connecticut Other IXCs 130.00 Other IXCs 170.00 Other IXCs 175.00 Attachment A-9 Objective X, Procedure 2 1 MSAs1111 Dedicated Transport and Carrier Side of Special Access End User Side of Special Access PHASE I2222 PHASE II3333 PHASE I PHASE II
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-3389A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-3389A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-3389A1.txt
- C.F.R. § 21.44(b) provides for the reinstatement of an MDS license if (1) the petition is filed within 30 days of the expiration of the license; (2) the petition explains the failure to timely renew the license; and (3) the petition sets-forth the specific procedures established to insure timely filings in the future. See Application at 1. 47 C.F.R. § 24.11(c) requires an MDS licensee to renew its license between thirty and sixty days prior to expiration. Application at 1-2. Certification of Gary Golden (dated May 29, 1001) (Golden Certification). Therein, Mr. Golden also notes that he has provided his counsel with his current address to permit counsel to provide Mr. Golden with additional reminders. Id. Application at 2 (citing Line
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-06-1511A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-06-1511A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-06-1511A1.txt
- an exclusive basis. It proposes the initial deployment of twenty-three base station sites to cover the City of Richmond and Henrico, Chesterfield, and Hanover Counties, but requests authorization for the entire Richmond-Petersburg, Virginia Economic Area (EA 015), which covers thirty-eight counties, in order to provide for growth of the regional system to incorporate adjacent jurisdictions. Richmond requests waivers of Sections 24.11 and 24.103 of the Commission's Rules, 47 C.F.R. §§ 24.11, 24.103, and any other of the Commission's rules that are necessary to grant its application. Richmond states that a grant of its waiver request is warranted pursuant to Section 337(c) of the Communications Act, as amended (the Act), 47 U.S.C. § 337(c). Section 337(c) of the Act states that the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-06-2495A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-06-2495A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-06-2495A1.txt
- exclusive basis. It proposes the initial deployment of twenty-three base station sites to cover the City of Richmond and Henrico, Chesterfield, and Hanover Counties, but also requests authorization for the entire Richmond-Petersburg, Virginia Economic Area (EA 015), which covers thirty-eight counties, in order to provide for growth of the regional system to incorporate adjacent jurisdictions. Richmond requests waivers of Sections 24.11 and 24.103 of the Commission's rules, and any other of the Commission's rules that are necessary to grant its application. Richmond requires a waiver of Section 24.11 because its system would be site-based. Next, Richmond requires a waiver of Section 24.103 because the proposed paging system would not meet construction requirements to provide commercial service over a certain composite area
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-11-1778A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-11-1778A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-11-1778A1.txt
- Section 0.283 of the Commission's rules. FEDERAL COMMUNICATIONS COMMISSION Steven A. Broeckaert Senior Deputy Chief, Policy Division, Media Bureau ATTACHMENT A CSR 8519-E COMMUNITIES SERVED BY TIME WARNER CABLE INC. Communities CUIDs CPR* 2010 Census Households Estimated Competing Provider Subscribers City of Alamo Heights TX0527 25.19 2,993 754 City of Boerne TX0769 24.99 4,085 1,021 City of Castle Hills TX0522 24.11 1,887 455 City of Hill Country Village TX0352 46.80 344 161 Town of Hollywood Park TX0520 36.44 1,298 473 City of Leon Valley TX0547 25.69 4,158 1,068 City of Olmos Park TX0504 20.14 978 197 City of Terrell Hills TX0518 15.83 1,851 293 City of Universal City TX0487 27.74 7,575 2101 *CPR = Percent of competitive DBS penetration rate. ATTACHMENT
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-11-732A3.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-11-732A3.txt
- 69699 70076 5153.85 5138.46 5153.85 5279.04 5361.46 1515.68 1623.59 Federal Communications Commission DA 11-732 1997010 2041468 2076585 253.36 259.30 265.23 271.15 274.13 45040.10 47936.06 9113257 9182927 9256347 20.38 20.46 20.57 20.73 20.81 288349.59 291651.87 1918104 1949516 1981263 286.37 288.60 292.06 296.63 299.04 82334.41 84563.69 1524509 1534529 1545587 39.17 39.27 39.40 39.62 39.75 41489.39 41799.74 802247 805353 807871 23.97 24.00 24.04 24.11 24.16 22881.89 22064.60 1335936 1351257 1367017 93.47 94.10 94.98 96.09 96.64 37327.96 37733.17 1827143 1838691 1851702 61.22 61.53 61.89 62.31 62.50 55522.22 56039.31 824853 825000 825149 12.92 12.90 12.89 12.89 12.89 23032.63 23179.55 370998 370386 370269 5.23 5.23 5.22 5.22 5.21 10968.51 11089.41 509467 508195 507489 3.32 3.32 3.32 3.32 3.31 14792.47 15182.50 60781400 61179300 246.32 247.78 249.30 250.06 1902222.491971252.78
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-279226A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-279226A1.txt
- 23.74 Iowa Telecommunications Services - Iowa System IA 205,694 156,705 48,989 23.82 Qwest - Iowa IA 2,422,211 1,648,558 773,653 31.94 AT&T - Southwestern Bell - Kansas KS 3,098,314 2,151,307 947,006 30.57 Windstream Kentucky East - London KY 337,513 259,804 77,709 23.02 Windstream Kentucky East - Lexington KY 1,371,545 1,029,380 342,165 24.95 Cincinnati Bell Telephone - Kentucky KY 436,475 331,261 105,214 24.11 AT&T - BellSouth - Kentucky KY 3,260,838 2,377,398 883,440 27.09 AT&T - BellSouth - Louisiana LA 5,695,252 4,260,591 1,434,661 25.19 Verizon New England - Maine ME 1,847,818 1,305,215 542,602 29.36 Verizon Maryland MD 8,386,687 5,649,132 2,737,555 32.64 Verizon New England - Massachusetts MA 11,007,961 7,037,216 3,970,745 36.07 Verizon North - Michigan MI 1,690,888 1,293,021 397,867 23.53 AT&T - Ameritech -
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-279226A13.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-279226A13.txt
- 23.74 Iowa Telecommunications Services - Iowa System IA 205,694 156,705 48,989 23.82 Qwest - Iowa IA 2,422,211 1,648,558 773,653 31.94 AT&T - Southwestern Bell - Kansas KS 3,098,314 2,151,307 947,006 30.57 Windstream Kentucky East - London KY 337,513 259,804 77,709 23.02 Windstream Kentucky East - Lexington KY 1,371,545 1,029,380 342,165 24.95 Cincinnati Bell Telephone - Kentucky KY 436,475 331,261 105,214 24.11 AT&T - BellSouth - Kentucky KY 3,260,838 2,377,398 883,440 27.09 AT&T - BellSouth - Louisiana LA 5,695,252 4,260,591 1,434,661 25.19 Verizon New England - Maine ME 1,847,818 1,305,215 542,602 29.36 Verizon Maryland MD 8,386,687 5,649,132 2,737,555 32.64 Verizon New England - Massachusetts MA 11,007,961 7,037,216 3,970,745 36.07 Verizon North - Michigan MI 1,690,888 1,293,021 397,867 23.53 AT&T - Ameritech -
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-287688A1.pdf
- South Carolina SC 3,643,045 2,681,082 961,963 26.41 Qwest - South Dakota SD 596,225 397,862 198,362 33.27 AT&T - BellSouth - Tennessee TN 5,513,308 3,995,718 1,517,590 27.53 Embarq - United Telephone - Southeast - Tennessee TN 449,562 347,316 102,246 22.74 Embarq - Centel Telephone Co. of Texas TX 513,859 394,031 119,828 23.32 Verizon Southwest - Contel Texas TX 329,393 249,987 79,406 24.11 Verizon Southwest - Texas TX 4,020,029 2,983,932 1,036,098 25.77 AT&T - Southwestern Bell - Texas TX 20,087,990 13,783,517 6,304,473 31.38 Embarq - United Telephone Company of Texas TX 385,361 290,053 95,308 24.73 Windstream/Valor Telecom. of Texas - Texas TX 996,508 721,312 275,196 27.62 Qwest - Utah UT 2,335,806 1,613,363 722,444 30.93 Verizon New England - Vermont VT 867,063 1,613,363 281,256
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-287688A13.pdf
- South Carolina SC 3,643,045 2,681,082 961,963 26.41 Qwest - South Dakota SD 596,225 397,862 198,362 33.27 AT&T - BellSouth - Tennessee TN 5,513,308 3,995,718 1,517,590 27.53 Embarq - United Telephone - Southeast - Tennessee TN 449,562 347,316 102,246 22.74 Embarq - Centel Telephone Co. of Texas TX 513,859 394,031 119,828 23.32 Verizon Southwest - Contel Texas TX 329,393 249,987 79,406 24.11 Verizon Southwest - Texas TX 4,020,029 2,983,932 1,036,098 25.77 AT&T - Southwestern Bell - Texas TX 20,087,990 13,783,517 6,304,473 31.38 Embarq - United Telephone Company of Texas TX 385,361 290,053 95,308 24.73 Windstream/Valor Telecom. of Texas - Texas TX 996,508 721,312 275,196 27.62 Qwest - Utah UT 2,335,806 1,613,363 722,444 30.93 Verizon New England - Vermont VT 867,063 1,613,363 281,256
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-297008A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-297008A1.pdf
- Angeles agent contacted a representative from Sony by phone who acknowledged operation of the BDA in question to the Los Angeles agent. T-Mobile has a license to provide PCS services on 1892.0 MHz in the Culver City area. Based on the information before us, it appears the operation of your transmitter (BDA) is subject to the licensing requirements under Section 24.11 of the Commission's Rules, which applies to PCS licensees like T-Mobile. In addition, transmitters in the PCS radio service must have received an equipment authorization prior to use. A licensee's authority to install a BDA does not, without further authorization from the licensee, permit a subscriber to install a BDA. In response to an inquiry from a Los Angeles agent,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-298080A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-298080A1.pdf
- Los Angeles Agent, a representative from Topson Downs acknowledged the operation of a bi-direction amplifier ("BDA") installed in the company's basement area. T-Mobile has a license to provide PCS services on 1900.0 MHz in the Culver City area. Based on the information before us, it appears the operation of your transmitter (BDA) is subject to the licensing requirements under Section 24.11 of the Commission's Rules, which applies to PCS licensees like T-Mobile. In addition, transmitters in the PCS radio service must have received an equipment authorization prior to use. A licensee's authority to install a BDA does not, without further authorization from the licensee, permit a subscriber to install a BDA. In response to an inquiry from a Los Angeles agent,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-298081A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-298081A1.pdf
- Los Angeles Agent, a representative from Topson Downs acknowledged the operation of a bi-direction amplifier ("BDA") installed in the company's basement area. T-Mobile has a license to provide PCS services on 1900.0 MHz in the Culver City area. Based on the information before us, it appears the operation of your transmitter (BDA) is subject to the licensing requirements under Section 24.11 of the Commission's Rules, which applies to PCS licensees like T-Mobile. In addition, transmitters in the PCS radio service must have received an equipment authorization prior to use. A licensee's authority to install a BDA does not, without further authorization from the licensee, permit a subscriber to install a BDA. In response to an inquiry from a Los Angeles agent,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-302540A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-302540A1.pdf
- Springs, Colorado. During the interview with the Denver Agent, a representative from Johnson Controls acknowledged the operation of a BDA. T-Mobile has a license to provide PCS services in the 1900 MHz band in the Colorado Springs area. Based on the information before us, it appears the operation of your transmitter (BDA) is subject to the licensing requirements under Section 24.11 of the Commission's Rules, which applies to PCS licensees like T-Mobile. In addition, transmitters in the PCS radio service must have received an equipment authorization prior to use. A licensee's authority to install a BDA does not, without further authorization from the licensee, permit a subscriber to install a BDA. The T-Mobile engineers were not aware of an authorization provided
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-302541A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-302541A1.pdf
- interview with the Denver agent, a facilities manager (a contract representative from Johnson Controls) acknowledged the operation of a BDA. T-Mobile has a license to provide PCS services in the 1900 MHz band in the Colorado Springs area. Based on the information before us, it appears the operation of your transmitter (BDA) is subject to the licensing requirements under Section 24.11 of the Commission's Rules, which applies to PCS licensees like T-Mobile. In addition, transmitters in the PCS radio service must have received an equipment authorization prior to use. A licensee's authority to install a BDA does not, without further authorization from the licensee, permit a subscriber to install a BDA. The T-Mobile engineers were not aware of an authorization provided
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314045A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314045A1.pdf
- without applying for authorization or notifying the FCC, provided that the locations of the in-building radiation systems are within the protected service area of the licensee's authorized transmitter(s) on the same channel or channel block.'' 47 C.F.R. § 22.383. Subscribers to PCS services similarly are not permitted to operate BDAs without authorization from the PCS licensee. See 47 C.F.R. § 24.11. We note that, because the Wilson Electronics AG Pro 70 BDA operates on the entire cellular and PCS bands, Prudential would be required to obtain authorization from all public mobile service licensees serving Wilmington, Delaware in order to operate this BDA. 47 U.S.C. § 301. See 47 U.S.C. §§ 401, 501, 503, 510. 47 U.S.C. § 403. 8 9 ½
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314688A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314688A1.pdf
- for authorization or notifying the FCC, provided that the locations of the in-building radiation systems are within the protected service area of the licensee's authorized transmitter(s) on the same channel or channel block.'' 47 C.F.R. § 22.383. Subscribers to cellular communications services similarly are not permitted to operate BDAs without authorization from the cellular communications licensee. See 47 C.F.R. § 24.11. We note that, because the SureCall Dual Band SoHo BDA operates on the entire cellular and PCS bands, A&L Service would be required to obtain authorization from all public mobile service licensees serving Long Island City, New York in order to operate this BDA. 47 U.S.C. § 301. See 47 U.S.C. §§ 401, 501, 503, 510. 47 U.S.C. § 403.
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-00-90A1.pdf
- is the Guard Band Manager's responsibility to determine whether an individual station referral is needed. 70The license term of each individual station license will be tied to the license term of the Guard Band Manager's blanket license. 71See, e.g., 800 MHz First Report and Order, 11 FCC Rcd at 1498; 47 C.F.R. § 27.11 (Wireless Communications Service); 47 C.F.R. § 24.11 (Personal Communications Service). 72See, e.g., Motorola September 15, 1999 Ex Parte Filing; Motorola November 11, 1999 Ex Parte Filing; Motorola December 2, 1999 Ex Parte Filing. 73There are four recognized public safety frequency coordinators for the 700 MHz public safety band: Association of Public-Safety Communications Officials, Inc. (APCO); International Municipal Signal Association (IMSA); Forestry Conservation Communications Association (FCCA) and American
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-00-90A1_Erratum.doc
- is the Guard Band Manager's responsibility to determine whether an individual station referral is needed. The license term of each individual station license will be tied to the license term of the Guard Band Manager's blanket license. See, e.g., 800 MHz First Report and Order, 11 FCC Rcd at 1498; 47 C.F.R. § 27.11 (Wireless Communications Service); 47 C.F.R. § 24.11 (Personal Communications Service). See, e.g., Motorola September 15, 1999 Ex Parte Filing; Motorola November 11, 1999 Ex Parte Filing; Motorola December 2, 1999 Ex Parte Filing. There are four recognized public safety frequency coordinators for the 700 MHz public safety band: Association of Public-Safety Communications Officials, Inc. (APCO); International Municipal Signal Association (IMSA); Forestry Conservation Communications Association (FCCA) and American
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-99-415A1_Erratum.doc
- to construction. This requirement applies to all non-government antenna structures, regardless of the radio service licensees involved. MDS Comments at 11-12. On the other hand, MDS supports our view that remote sites should not require a license. See, e.g., 800 MHz First Report and Order, 11 FCC Rcd at 1498; 47 C.F.R. § 27.11 (Wireless Communications Service); 47 C.F.R. § 24.11 (PCS). See 800 MHz First Report and Order, 11 FCC Rcd at 1501; Amendment of the Commission's Rules Regarding the 37.0-38.6 GHz and 38.6-40.0 GHz Bands, ET Docket No. 95-183, Report and Order and Second Notice of Proposed Rulemaking, 12 FCC Rcd 18600, 18636 ¶ 74 (1997) (39 GHz Report and Order and Second NPRM); 800 MHz First Report and
- http://transition.fcc.gov/Bureaus/Wireless/Notices/1998/fcc98025.pdf http://transition.fcc.gov/Bureaus/Wireless/Notices/1998/fcc98025.txt http://transition.fcc.gov/Bureaus/Wireless/Notices/1998/fcc98025.wp
- a single Form 602 in connection with multiple applications and would be able to reference this information in all future applications without refiling the form. See section III.C.1. We note that the Federal Communications Bar Association (FCBA) has established an Ad Hoc Committee to 23 develop a proposal for a universal assignment and transfer form. See, e.g., 47 C.F.R. §§ 24.11(a), 26.207, 27.304. 24 See, e.g., "D, E, and F Block Auction Closes; Winning Bidders in the Auction of 1,479 Licenses to Provide 25 Broadband PCS in Basic Trading Areas," Report No. Auc-97-11-I (Auction No. 11), Public Notice, DA 97-81 (rel. Jan. 15, 1997). 7 OMB approval to modify these forms for use more generally for all wireless radio services. In
- http://transition.fcc.gov/Bureaus/Wireless/Orders/2000/fcc00090.doc http://transition.fcc.gov/Bureaus/Wireless/Orders/2000/fcc00090.txt
- is the Guard Band Manager's responsibility to determine whether an individual station referral is needed. The license term of each individual station license will be tied to the license term of the Guard Band Manager's blanket license. See, e.g., 800 MHz First Report and Order, 11 FCC Rcd at 1498; 47 C.F.R. § 27.11 (Wireless Communications Service); 47 C.F.R. § 24.11 (Personal Communications Service). See, e.g., Motorola September 15, 1999 Ex Parte Filing; Motorola November 11, 1999 Ex Parte Filing; Motorola December 2, 1999 Ex Parte Filing. There are four recognized public safety frequency coordinators for the 700 MHz public safety band: Association of Public-Safety Communications Officials, Inc. (APCO); International Municipal Signal Association (IMSA); Forestry Conservation Communications Association (FCCA) and American
- http://wireless.fcc.gov/auctions/04/releases/frao3253.pdf http://wireless.fcc.gov/auctions/04/releases/frao3253.txt http://wireless.fcc.gov/auctions/04/releases/frao3253.wp
- In the event that mutual exclusivity does not exist with respect to a license identified on an applicant's FCC Form 175, the Commission will so inform the applicant and the applicant will also file FCC Form 401. Blanket licenses are granted for each market frequency block. Applications for individual sites are not needed and will not be accepted. See § 24.11. Broadband PCS applicants filing FCC Form 401 need not complete Schedule B. (c) Extensions of time and reinstatement. When a licensee cannot complete construction in accordance with the provisions of § 24.203, a timely application for extension of time (FCC Form 489) must be filed. (d) License for mobile subscriber station -- These stations are considered to be associated with
- http://wireless.fcc.gov/auctions/11/releases/bip_def.pdf
- regular basis; and (4) That grant of a waiver is in the public interest because the benefits to the public of common ownership outweigh any potential anticompetitive harm to the market. PART 24 -- PERSONAL COMMUNICATIONS SERVICES Subpart A -- General Information Sec. 24.3 Permissible communications. on their assigned spectrum. Subpart B -- Applications and Licenses GENERAL FILING REQUIREMENTS Sec. 24.11 Initial authorization. (a) An applicant must file an application for an initial authorization in each market and frequency block desired. (b) Blanket licenses are granted for each market and frequency block. Applications for individual sites are not required and will not be accepted. Sec. 24.12 Eligibility. Any entity, other than those precluded by section 310 of the Communications Act of
- http://wireless.fcc.gov/auctions/22/releases/pcsbipg.pdf
- and requirements for filing applications for licenses in the personal communications services. One also should consult Subparts F and G of this part. Other Commission rule parts of importance that may be referred to with respect to licensing and operation of radio services governed under this part include 47 CFR parts 0, 1, 2, 5, 15, 17 and 20. § 24.11 Initial authorization. (a) An applicant must file a single application for an initial authorization for all markets won and frequency blocks desired. (b) Blanket licenses are granted for each market and frequency block. Applications for individual sites are not required and will not be accepted. § 24.12 Eligibility. Any entity, other than those precluded by section 310 of the Communications
- http://wireless.fcc.gov/auctions/33/releases/fc000090.doc http://wireless.fcc.gov/auctions/33/releases/fc000090.pdf http://wireless.fcc.gov/auctions/33/releases/fc000090.txt
- is the Guard Band Manager's responsibility to determine whether an individual station referral is needed. The license term of each individual station license will be tied to the license term of the Guard Band Manager's blanket license. See, e.g., 800 MHz First Report and Order, 11 FCC Rcd at 1498; 47 C.F.R. § 27.11 (Wireless Communications Service); 47 C.F.R. § 24.11 (Personal Communications Service). See, e.g., Motorola September 15, 1999 Ex Parte Filing; Motorola November 11, 1999 Ex Parte Filing; Motorola December 2, 1999 Ex Parte Filing. There are four recognized public safety frequency coordinators for the 700 MHz public safety band: Association of Public-Safety Communications Officials, Inc. (APCO); International Municipal Signal Association (IMSA); Forestry Conservation Communications Association (FCCA) and American
- http://wireless.fcc.gov/auctions/42/releases/fc990415.doc http://wireless.fcc.gov/auctions/42/releases/fc990415.pdf http://wireless.fcc.gov/auctions/42/releases/fc990415.txt
- to construction. This requirement applies to all non-government antenna structures, regardless of the radio service licensees involved. MDS Comments at 11-12. On the other hand, MDS supports our view that remote sites should not require a license. See, e.g., 800 MHz First Report and Order, 11 FCC Rcd at 1498; 47 C.F.R. § 27.11 (Wireless Communications Service); 47 C.F.R. § 24.11 (PCS). See 800 MHz First Report and Order, 11 FCC Rcd at 1501; Amendment of the Commission's Rules Regarding the 37.0-38.6 GHz and 38.6-40.0 GHz Bands, ET Docket No. 95-183, Report and Order and Second Notice of Proposed Rulemaking, 12 FCC Rcd 18600, 18636 ¶ 74 (1997) (39 GHz Report and Order and Second NPRM); 800 MHz First Report and
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr03-11.pdf
- Dakota ND NA NA NA NA ALLTEL - Western Reserve - Ohio OH 75,224 52,718 22,506 29.92 Cincinnati Bell Telephone Company - Ohio OH 335,941 262,825 73,954 22.01 Verizon - North - Ohio OH 431,690 324,116 107,583 24.92 SBC - Ameritech - Ohio Bell OH 1,903,684 1,394,925 509,818 26.78 Sprint - United Telephone Company of Ohio OH 268,129 203,483 64,646 24.11 SBC - Southwestern Bell - Oklahoma OK 834,967 612,384 223,365 26.75 Verizon - Northwest - Oregon OR 266,981 183,351 83,642 31.33 Sprint - United Tel. Co. of the Northwest - Oregon OR 35,719 27,128 8,591 24.05 Qwest - Oregon OR NA NA NA NA ALLTEL - Pennsylvania PA 88,447 66,178 22,270 25.18 Verizon - North - Contel/Pennsylania PA 30,169 21,372
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr03-3.pdf
- INC. -5.94 0.94 -6.81 -83.96 522412 C ELLENSBURG TELEPHONE COMPANY 3.92 -2.07 6.11 16.65 522416 C VERIZON NORTHWEST INC.-WA 13.31 0.68 12.55 0.00 522417 C HAT ISLAND TELEPHONE COMPANY 11.76 5.61 5.82 0.00 522418 C PEND OREILLE TELEPHONE COMPANY 6.31 -0.46 6.80 8.52 522419 C HOOD CANAL TELEPHONE COMPANY 14.88 0.91 13.84 43.27 522423 C INLAND TELEPHONE COMPANY - WA 24.11 5.87 17.23 38.09 522426 C KALAMA TELEPHONE COMPANY -14.82 1.25 -15.86 -51.92 522427 C LEWIS RIVER TELEPHONE COMPANY INC. -3.73 1.46 -5.11 -59.66 522430 A MCDANIEL TELEPHONE COMPANY 17.39 4.65 12.17 274.22 522431 C MASHELL TELECOM INC. -4.28 -1.26 -3.06 -8.16 522437 C PIONEER TELEPHONE COMPANY -5.69 0.33 -6.00 -16.51 522442 C ST. JOHN TELEPHONE CO. -10.02 -5.24 -5.04 -26.40
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr04-11.pdf
- Dakota ND 110,412 74,235 36,184 32.77 ALLTEL - Western Reserve - Ohio OH 75,224 52,718 22,506 29.92 Cincinnati Bell Telephone Company - Ohio OH 335,941 262,825 73,954 22.01 Verizon - North - Ohio OH 431,690 324,116 107,583 24.92 SBC - Ameritech - Ohio Bell OH 1,894,238 1,386,939 508,359 26.84 Sprint - United Telephone Company of Ohio OH 268,129 203,483 64,646 24.11 SBC - Southwestern Bell - Oklahoma OK 829,951 602,932 227,802 27.45 Verizon - Northwest - Oregon OR 266,981 183,351 83,642 31.33 Qwest - Oregon OR 699,489 476,262 223,149 31.90 Sprint - United Tel. Co. of the Northwest - Oregon OR 35,719 27,128 8,591 24.05 ALLTEL - Pennsylvania PA 88,447 66,178 22,270 25.18 Verizon - North - Contel/Pennsylania PA 30,169 21,372
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mrs01-0.pdf
- Dakota ND 171,438 113,489 57,951 33.80 SBC - Ameritech - Ohio Bell OH 2,328,416 1,674,800 653,617 28.07 Cincinnati Bell Telephone Company - Ohio OH 579,834 432,283 147,551 25.45 ALLTEL - Western Reserve - Ohio OH 127,162 98,303 28,859 22.69 Verizon - North - Ohio OH 514,697 371,805 142,893 27.76 Sprint - United Telephone Company of Ohio OH 446,762 339,052 107,709 24.11 SBC - Southwestern Bell - Oklahoma OK 991,623 711,624 280,000 28.24 Verizon - Northwest - Oregon OR 319,961 202,373 117,589 36.75 Sprint - United Tel. Co. of the Northwest - OregonOR 57,389 38,897 18,492 32.22 Qwest - Oregon OR 649,935 376,692 273,244 42.04 ALLTEL - Pennsylvania PA 149,800 118,409 31,391 20.96 Verizon - Pennsylvania PA 3,449,173 2,371,102 1,078,070 31.26 Verizon
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mrs02-0.pdf
- Indiana IN 508,291 375,616 180,731 35.56 31.72 Sprint - United Telephone Co. of Indiana IN 89,746 66,361 34,026 37.91 61.66 Qwest - Iowa IA 748,745 529,451 221,961 29.64 24.20 SBC - Southwestern Bell - Kansas KS 1,145,237 837,371 294,049 25.68 29.11 BellSouth - Kentucky KY 966,906 691,428 299,324 30.96 20.15 Cincinnati Bell Telephone Company - Kentucky KY 141,726 107,600 34,171 24.11 15.79 Verizon - South - Contel - Kentucky KY 76,709 54,214 24,785 32.31 30.83 Verizon - South - Kentucky KY 310,807 219,008 118,269 38.05 27.58 BellSouth - Louisiana LA 1,579,024 1,208,366 402,485 25.49 23.95 Verizon - New England - Maine ME 576,190 394,601 184,653 32.05 22.30 Verizon - Maryland MD 2,666,142 1,757,340 963,526 36.14 13.67 Verizon - New England -
- http://www.fcc.gov/Bureaus/Wireless/Notices/1998/fcc98025.pdf http://www.fcc.gov/Bureaus/Wireless/Notices/1998/fcc98025.txt http://www.fcc.gov/Bureaus/Wireless/Notices/1998/fcc98025.wp
- a single Form 602 in connection with multiple applications and would be able to reference this information in all future applications without refiling the form. See section III.C.1. We note that the Federal Communications Bar Association (FCBA) has established an Ad Hoc Committee to 23 develop a proposal for a universal assignment and transfer form. See, e.g., 47 C.F.R. §§ 24.11(a), 26.207, 27.304. 24 See, e.g., "D, E, and F Block Auction Closes; Winning Bidders in the Auction of 1,479 Licenses to Provide 25 Broadband PCS in Basic Trading Areas," Report No. Auc-97-11-I (Auction No. 11), Public Notice, DA 97-81 (rel. Jan. 15, 1997). 7 OMB approval to modify these forms for use more generally for all wireless radio services. In
- http://www.fcc.gov/Bureaus/Wireless/Orders/2000/fcc00090.doc http://www.fcc.gov/Bureaus/Wireless/Orders/2000/fcc00090.txt
- is the Guard Band Manager's responsibility to determine whether an individual station referral is needed. The license term of each individual station license will be tied to the license term of the Guard Band Manager's blanket license. See, e.g., 800 MHz First Report and Order, 11 FCC Rcd at 1498; 47 C.F.R. § 27.11 (Wireless Communications Service); 47 C.F.R. § 24.11 (Personal Communications Service). See, e.g., Motorola September 15, 1999 Ex Parte Filing; Motorola November 11, 1999 Ex Parte Filing; Motorola December 2, 1999 Ex Parte Filing. There are four recognized public safety frequency coordinators for the 700 MHz public safety band: Association of Public-Safety Communications Officials, Inc. (APCO); International Municipal Signal Association (IMSA); Forestry Conservation Communications Association (FCCA) and American
- http://www.fcc.gov/Bureaus/Wireless/Orders/2000/fcc99415.doc
- to construction. This requirement applies to all non-government antenna structures, regardless of the radio service licensees involved. MDS Comments at 11-12. On the other hand, MDS supports our view that remote sites should not require a license. See, e.g., 800 MHz First Report and Order, 11 FCC Rcd at 1498; 47 C.F.R. § 27.11 (Wireless Communications Service); 47 C.F.R. § 24.11 (PCS). See 800 MHz First Report and Order, 11 FCC Rcd at 1501; Amendment of the Commission's Rules Regarding the 37.0-38.6 GHz and 38.6-40.0 GHz Bands, ET Docket No. 95-183, Report and Order and Second Notice of Proposed Rulemaking, 12 FCC Rcd 18600, 18636 ¶ 74 (1997) (39 GHz Report and Order and Second NPRM); 800 MHz First Report and
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-297008A1.html
- Angeles agent contacted a representative from Sony by phone who acknowledged operation of the BDA in question to the Los Angeles agent. T-Mobile has a license to provide PCS services on 1892.0 MHz in the Culver City area. Based on the information before us, it appears the operation of your transmitter (BDA) is subject to the licensing requirements under Section 24.11 of the Commission's Rules, which applies to PCS licensees like T-Mobile. In addition, transmitters in the PCS radio service must have received an equipment authorization prior to use. A licensee's authority to install a BDA does not, without further authorization from the licensee, permit a subscriber to install a BDA. In response to an inquiry from a Los Angeles agent,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-298080A1.html
- Los Angeles Agent, a representative from Topson Downs acknowledged the operation of a bi-direction amplifier ("BDA") installed in the company's basement area. T-Mobile has a license to provide PCS services on 1900.0 MHz in the Culver City area. Based on the information before us, it appears the operation of your transmitter (BDA) is subject to the licensing requirements under Section 24.11 of the Commission's Rules, which applies to PCS licensees like T-Mobile. In addition, transmitters in the PCS radio service must have received an equipment authorization prior to use. A licensee's authority to install a BDA does not, without further authorization from the licensee, permit a subscriber to install a BDA. In response to an inquiry from a Los Angeles agent,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-302540A1.html
- Springs, Colorado. During the interview with the Denver Agent, a representative from Johnson Controls acknowledged the operation of a BDA. T-Mobile has a license to provide PCS services in the 1900 MHz band in the Colorado Springs area. Based on the information before us, it appears the operation of your transmitter (BDA) is subject to the licensing requirements under Section 24.11 of the Commission's Rules, which applies to PCS licensees like T-Mobile. In addition, transmitters in the PCS radio service must have received an equipment authorization prior to use. A licensee's authority to install a BDA does not, without further authorization from the licensee, permit a subscriber to install a BDA. The T-Mobile engineers were not aware of an authorization provided
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-302541A1.html
- interview with the Denver agent, a facilities manager (a contract representative from Johnson Controls) acknowledged the operation of a BDA. T-Mobile has a license to provide PCS services in the 1900 MHz band in the Colorado Springs area. Based on the information before us, it appears the operation of your transmitter (BDA) is subject to the licensing requirements under Section 24.11 of the Commission's Rules, which applies to PCS licensees like T-Mobile. In addition, transmitters in the PCS radio service must have received an equipment authorization prior to use. A licensee's authority to install a BDA does not, without further authorization from the licensee, permit a subscriber to install a BDA. The T-Mobile engineers were not aware of an authorization provided
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-314045A1.html
- without applying for authorization or notifying the FCC, provided that the locations of the in-building radiation systems are within the protected service area of the licensee's authorized transmitter(s) on the same channel or channel block." 47 C.F.R. S: 22.383. Subscribers to PCS services similarly are not permitted to operate BDAs without authorization from the PCS licensee. See 47 C.F.R. S: 24.11. We note that, because the Wilson Electronics AG Pro 70 BDA operates on the entire cellular and PCS bands, Prudential would be required to obtain authorization from all public mobile service licensees serving Wilmington, Delaware in order to operate this BDA. 47 U.S.C. S: 301. See 47 U.S.C. S:S: 401, 501, 503, 510. 47 U.S.C. S: 403. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314045A1.pdf
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-314688A1.html
- for authorization or notifying the FCC, provided that the locations of the in-building radiation systems are within the protected service area of the licensee's authorized transmitter(s) on the same channel or channel block." 47 C.F.R. S: 22.383. Subscribers to cellular communications services similarly are not permitted to operate BDAs without authorization from the cellular communications licensee. See 47 C.F.R. S: 24.11. We note that, because the SureCall Dual Band SoHo BDA operates on the entire cellular and PCS bands, A&L Service would be required to obtain authorization from all public mobile service licensees serving Long Island City, New York in order to operate this BDA. 47 U.S.C. S: 301. See 47 U.S.C. S:S: 401, 501, 503, 510. 47 U.S.C. S: 403.
- http://www.fcc.gov/transaction/echostar-directv/nrtc_petdeny061702.pdf
- Memorandum, Nov. 6, 2000, p. 12.9 "71% of DIRECTV customers live in areas able to receive cable television service." -DIRECTV 2001 Cable Comments, June 25, 2001, p. 13.10 "First, nearly every household in America with a television is passed by cable: according to the FCC, 96.6 percent of TV households are passed by cable." -Willig Declaration, Dec. 3, 2001, p. 24.11 "[P]robably almost nobody watching this tonight [via satellite] doesn't have the opportunity to subscribe to cable if they'd like to." -Charlie Ergen, Charlie Chat, Nov. 12, 2001 .12 Carriage Of All Local Stations "We will comply with must-carry on a single dish and carry all stations in all markets." -Charlie Ergen, Judiciary Testimony, March 6, 2002 .13 "However, the merged
- http://www.fcc.gov/transaction/echostar-directv/nrtc_reply040402.pdf
- Memorandum, Nov. 6, 2000, p. 12.9 "71% of DIRECTV customers live in areas able to receive cable television service." -DIRECTV 2001 Cable Comments, June 25, 2001, p. 13.10 "First, nearly every household in America with a television is passed by cable: according to the FCC, 96.6 percent of TV households are passed by cable." -Willig Declaration, Dec. 3, 2001, p. 24.11 "[P]robably almost nobody watching this tonight [via satellite] doesn't have the opportunity to subscribe to cable if they'd like to." -Charlie Ergen, Charlie Chat, Nov. 12, 2001 .12 Carriage Of All Local Stations "We will comply with must-carry on a single dish and carry all stations in all markets." -Charlie Ergen, Judiciary Testimony, March 6, 2002 .13 "However, the merged