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==== Analysis ==== | ==== Analysis ==== | ||
The FCC adopted | The FCC adopted their interpretations of the three Section 5 licensing standards proposed in the ''Third Further Notice.'' This included: | ||
* Including existing LPFM and FM translator stations when determining if licenses are available. | |||
* That LPFM and FM Translator licenses be available in as many local communities as possible. | |||
* To ensure that translator licensing procedures do not foreclose or unduly limit future LPFM licensing recognizing that translator licensing is more flexible. | |||
* Differing procedures for translator processing and dismissal based on existing spectrum crowding conditions. | |||
* Translator dismissals should not take place in situations where LPFM stations cannot be licensed. | |||
* The 10-cap policy established prior to the LCRA is inconsistent with Section 5. | |||
* Section 5(3) prohibits the FCC from waiving the "cut-off" rule for LPFM stations (where an LPFM can file for a channel without regard of short-spacing to proposed FM translators). | |||
=== Implementing LCRA Section 5 === | === Implementing LCRA Section 5 === | ||
==== Overview ==== | ==== Overview ==== | ||
Having tentatively concluded that the | Having tentatively concluded that the 10-cap dismissal policy would run contrary to the LCRA’s mandate, the FCC considered three alternative processing regimes and tentatively concluded that a market-specific, spectrum availability-based translator application dismissal policy would most faithfully implement Section 5 of the LCRA. To determine LPFM opportunities in major markets, the Media Bureau undertook a nationwide LPFM spectrum availability analysis. The Media Bureau studied all top 150 radio markets, as defined by [[Wikipedia:Nielsen Audio|Arbitron]], and smaller markets where more than four translator applications are pending. It centered a thirty-minute latitude by thirty-minute longitude grid over the center-city coordinates of each studied market. Each grid consisted of 961 points – 31 points running east/west by 31 points running north/south. The Media Bureau analyzed each of the 100 FM channels (88.1~107.9 MHz) at each grid point to determine whether any channels remained available for future LPFM stations at that location. Only channels that fully satisfied co-, first- and second adjacent channel LPFM spacing requirements to all authorizations and applications, including pending translator applications, were treated as available. The area encompassed by the grid was designed to approximate “core” market locations that could serve significant populations. The results of that analysis were presented in the Third Further Notice, and identified the number of channels (“LPFM Channels”) currently available for LPFM use in each studied market.84 In calculating “available” LPFM channels, it included both the identified vacant channels and those channels currently licensed to LPFM stations which are authorized to operate at locations within each market’s thirty-minute latitude by thirty-minute longitude grid. | ||
The FCC proposed to dismiss all pending applications for new FM translators in any market in which the number of available LPFM Channels was below a specified LPFM channel floor (a “dismiss all” market), and to process all pending applications for new translators in markets in which the number of available LPFM channels met or exceeded the applicable LPFM channel floor (a “process all” market).86 In proposing the channel floors, the FCC was guided by the number of top 150-market NCE FM full power stations, noting that this service was most comparable to the LPFM service. | The FCC proposed to dismiss all pending applications for new FM translators in any market in which the number of available LPFM Channels was below a specified LPFM channel floor (a “dismiss all” market), and to process all pending applications for new translators in markets in which the number of available LPFM channels met or exceeded the applicable LPFM channel floor (a “process all” market).86 In proposing the channel floors, the FCC was guided by the number of top 150-market NCE FM full power stations, noting that this service was most comparable to the LPFM service. | ||
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==== Analysis ==== | ==== Analysis ==== | ||
===== "Spectrum available" and "spectrum limited" markets ===== | |||
The FCC adopted, with certain modifications, the market-specific processing approach outlined in the ''Third Further Notice''. As previously discussed, the FCC's principal challenge in effectuating Section 5(1) of the LCRA is to identify and preserve those LPFM licensing opportunities where few or no LPFM stations currently operate. The processing approach adopted furthers this goal by ensuring that LPFM licensing opportunities in spectrum-limited markets remain “available.” At the same time, the adoption of translator application and amendment procedures that will permit the immediate licensing of certain pending translator applications in both “dismiss all” and “process all” markets, consistent with Section 5(1) and 5(2) directives and the procedures set forth below.120 To conform our terminology to the revised processing standards, the FCC used the names “spectrum limited” and “spectrum available” markets to refer to what were previously characterized as “dismiss all” and “process all” markets, respectively. | The FCC adopted, with certain modifications, the market-specific processing approach outlined in the ''Third Further Notice''. As previously discussed, the FCC's principal challenge in effectuating Section 5(1) of the LCRA is to identify and preserve those LPFM licensing opportunities where few or no LPFM stations currently operate. The processing approach adopted furthers this goal by ensuring that LPFM licensing opportunities in spectrum-limited markets remain “available.” At the same time, the adoption of translator application and amendment procedures that will permit the immediate licensing of certain pending translator applications in both “dismiss all” and “process all” markets, consistent with Section 5(1) and 5(2) directives and the procedures set forth below.120 To conform our terminology to the revised processing standards, the FCC used the names “spectrum limited” and “spectrum available” markets to refer to what were previously characterized as “dismiss all” and “process all” markets, respectively. | ||
===== Size of the market area being evaluated ===== | |||
The area used to count current stations and spectrum availability was based on a grid of "channel points" that are spaced 31 minutes of latitude by 31 minutes of longitude (31x31) with the reference coordinates for the market's city being in the center of the grid. In cases where a large concentration of the total population of the 31x31 grid was in a smaller grid area of 21 minutes latitude by 21 minutes longitude (21x21) centered on the market city's reference coordinates, then the 21x21 grid could be used for consideration of the market evaluation. | |||
The FCC reviewed their grid studies and have determined that in some smaller “spectrum available” markets, many of the channels identified as available for LPFM are on the fringe of the 31x31 grid in unpopulated or very lightly populated areas. Indeed, in some cases, the population of the 21x21 grid represents more than 90 percent of the population of the 31x31 grid. They believed that LPFM stations can best serve the needs of local communities in areas with significant populations where LPFM service is practical and sustainable. Accordingly, they find that adoption of a smaller grid is appropriate in certain markets to compensate for low population levels on the outer fringes of the grid. They believed that use of a smaller grid in these markets will more faithfully implement Section 5(2) of the LCRA than our original proposal because it identifies and preserves LPFM opportunities in core city areas, where the LPFM service can best serve community needs. The FCC found that this revised approach is more faithful to our interpretation of Sections 5(1) and 5(2) of the LCRA. As previously set forth, these sections, when read together, requires the FCC to ensure a certain level of future LPFM licensing in “spectrum available” markets. However, they believed that licensing opportunities identified as “available” in these smaller markets should be limited to those locations that are likely to be able to support viable LPFM stations. The adoption of a 21x21 grid in certain markets will enable the FCC to more accurately identify such opportunities. | The FCC reviewed their grid studies and have determined that in some smaller “spectrum available” markets, many of the channels identified as available for LPFM are on the fringe of the 31x31 grid in unpopulated or very lightly populated areas. Indeed, in some cases, the population of the 21x21 grid represents more than 90 percent of the population of the 31x31 grid. They believed that LPFM stations can best serve the needs of local communities in areas with significant populations where LPFM service is practical and sustainable. Accordingly, they find that adoption of a smaller grid is appropriate in certain markets to compensate for low population levels on the outer fringes of the grid. They believed that use of a smaller grid in these markets will more faithfully implement Section 5(2) of the LCRA than our original proposal because it identifies and preserves LPFM opportunities in core city areas, where the LPFM service can best serve community needs. The FCC found that this revised approach is more faithful to our interpretation of Sections 5(1) and 5(2) of the LCRA. As previously set forth, these sections, when read together, requires the FCC to ensure a certain level of future LPFM licensing in “spectrum available” markets. However, they believed that licensing opportunities identified as “available” in these smaller markets should be limited to those locations that are likely to be able to support viable LPFM stations. The adoption of a 21x21 grid in certain markets will enable the FCC to more accurately identify such opportunities. | ||
===== Counting existing stations in the market ===== | |||
Different considerations apply to the largest markets. The FCC's analysis establishes that there are few or no LPFM licensing opportunities within the core areas of most of the top 50 markets, especially when compared to the number of licensed translator stations and the number of pending translator applications in these markets. The FCC determined that only seven of the top 50 markets which are classified as “spectrum limited” exhibit the high population concentrations within the grid that occur in a number of smaller markets. That is, based on both raw population numbers and population distributions, the largest markets are more likely to include population centers outside core market locations that LPFM stations could serve. Thus, the FCC finds that their translator processing procedures must not preclude LPFM licensing opportunities beyond the studied 31x31 grids in the top 50 spectrum limited markets. | Different considerations apply to the largest markets. The FCC's analysis establishes that there are few or no LPFM licensing opportunities within the core areas of most of the top 50 markets, especially when compared to the number of licensed translator stations and the number of pending translator applications in these markets. The FCC determined that only seven of the top 50 markets which are classified as “spectrum limited” exhibit the high population concentrations within the grid that occur in a number of smaller markets. That is, based on both raw population numbers and population distributions, the largest markets are more likely to include population centers outside core market locations that LPFM stations could serve. Thus, the FCC finds that their translator processing procedures must not preclude LPFM licensing opportunities beyond the studied 31x31 grids in the top 50 spectrum limited markets. | ||
The FCC modified the LPFM spectrum availability study set forth in the ''Third Further Notice'' as follows. As before, they identified the number of available LPFM channels and licensed stations within the 31x31 grid and compared this number to each market’s channel floor. Then, they analyzed “spectrum available” markets to identify those where 75 percent or more of the total population in the 31x31 grid is located in the 21x21 grid. In these markets, the smaller grid contains the concentrated core population, they used the smaller grid to determine both the number of licensed stations and the number of channels available for future LPFM stations. Thus, “spectrum available” markets are those markets in which the number of LPFM channels within the applicable grid meets or exceeds the market’s channel floor. The FCC did not subject the 31x31 “spectrum limited” markets to the 21x21 population threshold test for several reasons. First, any such market would necessarily remain a “spectrum limited” market on the basis of a 21x21 grid analysis. More importantly, the 31x31 grid analysis in each of these markets establishes that few opportunities remain within the larger grid for new LPFM stations. Thus, the FCC found that it was necessary that our “spectrum limited” market translator application processing rules, as described below, protect all of the limited LPFM licensing opportunities within the larger grid in such markets. In addition, for the reasons stated above, they also will required a translator applicant in any top 50 spectrum limited market to demonstrate that its out-of-grid proposal would not preclude the only LPFM station licensing opportunity at that location (“Top 50 Market Preclusion Showing”) by making the showing described below. | The FCC modified the LPFM spectrum availability study set forth in the ''Third Further Notice'' as follows. As before, they identified the number of available LPFM channels and licensed stations within the 31x31 grid and compared this number to each market’s channel floor. Then, they analyzed “spectrum available” markets to identify those where 75 percent or more of the total population in the 31x31 grid is located in the 21x21 grid. In these markets, the smaller grid contains the concentrated core population, they used the smaller grid to determine both the number of licensed stations and the number of channels available for future LPFM stations. Thus, “spectrum available” markets are those markets in which the number of LPFM channels within the applicable grid meets or exceeds the market’s channel floor. The FCC did not subject the 31x31 “spectrum limited” markets to the 21x21 population threshold test for several reasons. First, any such market would necessarily remain a “spectrum limited” market on the basis of a 21x21 grid analysis. More importantly, the 31x31 grid analysis in each of these markets establishes that few opportunities remain within the larger grid for new LPFM stations. Thus, the FCC found that it was necessary that our “spectrum limited” market translator application processing rules, as described below, protect all of the limited LPFM licensing opportunities within the larger grid in such markets. In addition, for the reasons stated above, they also will required a translator applicant in any top 50 spectrum limited market to demonstrate that its out-of-grid proposal would not preclude the only LPFM station licensing opportunity at that location (“Top 50 Market Preclusion Showing”) by making the showing described below. | ||
===== LPFM "channel floors" ===== | |||
In the ''Third Further Notice'', the FCC proposed “LPFM Channel Floors” of potential LPFM licensing opportunities in the 150 largest markets, as well as smaller markets where more than four translator applications are pending. These channel floors range from 8 potential LPFM channels in the top 20 markets to 5 potential LPFM channels below the top 100 markets. They based these figures on a rough approximation of the number of noncommercial educational (“NCE”) stations in the top 150 markets. They selected the NCE FM service as a point of reference because that service is the radio service most similar to the LPFM service and, therefore, the best gauge of local community needs for such service. Commenters who addressed our proposed channel floors disputed neither our reasoning nor the specific ranges of channel floors or markets selected for those ranges. Thus, based on the examination of the record, they concluded that the proposed channel floors are a reasonable standard. They found that these floors adequately further the development of the LPFM service in spectrum-limited markets, as intended by Section 5(1) of the LCRA, and strike an effective balance by ensuring that licenses for both LPFM and translator services are available in as many communities as possible, as required by the collective reading of Sections 5(1) and 5(2) of the LCRA. Accordingly, they adopted the channel floors as proposed in the ''Third Further Notice''. | In the ''Third Further Notice'', the FCC proposed “LPFM Channel Floors” of potential LPFM licensing opportunities in the 150 largest markets, as well as smaller markets where more than four translator applications are pending. These channel floors range from 8 potential LPFM channels in the top 20 markets to 5 potential LPFM channels below the top 100 markets. They based these figures on a rough approximation of the number of noncommercial educational (“NCE”) stations in the top 150 markets. They selected the NCE FM service as a point of reference because that service is the radio service most similar to the LPFM service and, therefore, the best gauge of local community needs for such service. Commenters who addressed our proposed channel floors disputed neither our reasoning nor the specific ranges of channel floors or markets selected for those ranges. Thus, based on the examination of the record, they concluded that the proposed channel floors are a reasonable standard. They found that these floors adequately further the development of the LPFM service in spectrum-limited markets, as intended by Section 5(1) of the LCRA, and strike an effective balance by ensuring that licenses for both LPFM and translator services are available in as many communities as possible, as required by the collective reading of Sections 5(1) and 5(2) of the LCRA. Accordingly, they adopted the channel floors as proposed in the ''Third Further Notice''. | ||
The FCC did, however, revise their processing approach with regard to certain translator applications in both “spectrum limited” and “spectrum available” markets. As an initial matter, they recognized that their use of the 21x21 grid in certain markets has turned some “spectrum available” markets into “spectrum limited” markets. | The FCC did, however, revise their processing approach with regard to certain translator applications in both “spectrum limited” and “spectrum available” markets. As an initial matter, they recognized that their use of the 21x21 grid in certain markets has turned some “spectrum available” markets into “spectrum limited” markets. They found that translators serve community needs, especially those in rural or underserved areas. As such, they agreed with NAB that translator applicants in “spectrum limited” markets should be given an opportunity to demonstrate that their applications, if granted, would not preclude any LPFM opportunities. They would also will permit minor amendments to meet this “no preclusion” test. Translator applicants proposing “move-in” modifications and modification applications that propose to move into a “spectrum limited” market will also be allowed to make such a showing. This approach is also consistent with their combined reading of Sections 5(1) and 5(2) because it furthers the statutory goal of ensuring that the Commission provide licensing opportunities for both services in as many communities as possible. Prometheus and others fail to explain how this narrow exception to allow continued translator processing in a “spectrum limited” market will preclude LPFM opportunities, given that, as described in more detail below, we will require translator applicants to protect all channel/point combinations with the assumption that all LPFM applicants in these markets will be eligible for second-adjacent channel waivers. We likewise agree that translator applicants in “spectrum available” markets should be afforded some opportunity to amend their applications. As noted by many translator advocates, circumstances have changed since 2003, and transmitter sites may no longer be available. The FCC provided applicants with a limited opportunity to amend their applications so long as their proposals do not eliminate any LPFM channel/point combination in any of the 156 market grids and, where applicable, satisfy the Top 50 Market Preclusion Showing. They did not believe that allowing translator applicants these limited opportunities to amend their applications would impede the FCC's ability to guarantee licensing opportunities equivalent to the LPFM channel floors being adopted. | ||
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=== Prevention of Trafficking of Translator Permits and Licenses === | === Prevention of Trafficking of Translator Permits and Licenses === |