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National Association of Broadcasters Urges FCC to Accelerate NextGen TV Transition
The National Association of Broadcasters (NAB) yesterday filed a Petition for Rulemaking asking the FCC to establish a “clear timeline” to complete the transition to the ATSC 3.0 (a/k/a “NextGen TV”) television transmission standard. The Petition follows last week’s NAB ex parte meeting with Chairman Carr and Acting Chief of the Media Bureau, Erin Boone, in which it advocated for a comprehensive industry-wide plan to expedite completion of the transition (along with measures to modernize and/or eliminate local and national broadcast ownership restrictions and reopen the long-dormant vMVPD proceeding).
The Petition for Rulemaking calls for a 2-phase approach to ending ATSC 1.0 transmissions and fully transitioning to the NextGen TV standard. Phase 1 would require stations in the top 55 markets (representing approximately 70% of the U.S. population) to transition to ATSC 3.0 by February 2028, with limited waivers for small or noncommercial stations if necessary. Phase 2 would require stations in the remaining markets to transition to ATSC 3.0 by February 2030.
In support of this transition plan, the Petition highlights a number of NextGen TV consumer benefits, including:
- Improving the viewer experience with 4K ultra high-definition video, interactive broadcast apps, a high dynamic range picture, and improved audio with dialog enhancement to make programming more accessible;
- Making available for the first time the Broadcast Positioning System (BPS), a new technology that leverages NextGen TV to transmit precise timing signals to address critical positioning, navigation and timing needs that is less vulnerable to jamming, spoofing, and cyberattacks than GPS, ensuring that critical systems remain operational during GPS disruptions.
- Unlocking the “Broadcast Internet,” which can be used to relieve content delivery network congestion for high-demand streaming programming, deliver time-sensitive information to first responders in heavy crowd situations where mobile networks are overloaded, expand distance learning and telehealth accessibility, and enable many other datacasting applications;
- Disseminating advanced emergency information during natural disasters and other emergencies; and
- Ensuring continued public access to popular content, as the ability to offer 4K high dynamic range transmissions of sporting events may determine whether these events will remain available free over the air or will migrate to pay services that deliver a higher quality experience than the current ATSC 1.0 standard permits.
The Petition emphasizes that while broadcasters have made significant progress in rolling out NextGen TV over the past few years, a complete and coordinated transition will be necessary to take full advantage of NextGen TV’s capabilities and avoid trade-offs in picture quality and signal robustness that current capacity constraints impose when broadcasters are required to transmit duplicative signals in both ATSC 1.0 and 3.0. Continue reading →