FCC Web Documents citing 73.757
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/FCC-95-412A1.pdf
- man ning a main studio is acost beyond the reach of some licensees, especially in the AM service. The flexibility to operate a network of local stations from a central location is seen as providing a community service not otherwise available, additional employment and tax revenue and en abling local advertisers affordable access to the community.'1 45. Amendment of Sections 73.757 (which requires that a licensed operator be present when an auxiliary transmit ter is placed in operation) and 73.1230 (which concerns the posting of operator licenses) will be made as requested, as they were omitted in the Notice due to oversight, are editorial in nature and are clearly within the scope of this proceeding. Further, the Commission agrees that omission
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-05-70A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-05-70A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-05-70A1.txt
- updates the Commission's HFBC rules so that they mirror Appendix 11 of the ITU Radio Regulations, which was recently revised at WRC-03. As a result, FCC-licensed international broadcast stations now have the flexibility to continue to transmit DSB signals or to transmit SSB or digital signals. The RF system specifications are shown in Appendix A at Section 73.756 (DSB), Section 73.757 (SSB), and Section 73.758 (digital). We are adopting the DRM standard for digital transmissions in the HFBC bands. We observe that DRM is the world's only non-proprietary, digital system for international broadcasting. WRC-03 gave approval for DRM use in all the HFBC bands; there are no band restrictions on the use on the use of DRM. Currently, seven international broadcasters
- http://transition.fcc.gov/fcc-bin/audio/FCC-95-412A1.pdf
- man ning a main studio is acost beyond the reach of some licensees, especially in the AM service. The flexibility to operate a network of local stations from a central location is seen as providing a community service not otherwise available, additional employment and tax revenue and en abling local advertisers affordable access to the community.'1 45. Amendment of Sections 73.757 (which requires that a licensed operator be present when an auxiliary transmit ter is placed in operation) and 73.1230 (which concerns the posting of operator licenses) will be made as requested, as they were omitted in the Notice due to oversight, are editorial in nature and are clearly within the scope of this proceeding. Further, the Commission agrees that omission
- http://www.fcc.gov/ftp/Bureaus/Mass_Media/Databases/documents_collection/95-412.doc http://www.fcc.gov/ftp/Bureaus/Mass_Media/Databases/documents_collection/95-412.pdf
- maintaining and manning a main studio is a cost beyond the reach of some licensees, especially in the AM service. The flexibility to operate a network of local stations from a central location is seen as providing a community service not otherwise available, additional employment and tax revenue and enabling local advertisers affordable access to the community. Amendment of Sections 73.757 (which requires that a licensed operator be present when an auxiliary transmitter is placed in operation) and 73.1230 (which concerns the posting of operator licenses) will be made as requested, as they were omitted in the Notice due to oversight, are editorial in nature and are clearly within the scope of this proceeding. Further, the Commission agrees that omission of