Close

Updated:

FCC Enforcement Monitor

Pillsbury’s communications lawyers have published FCC Enforcement Monitor monthly since 1999 to inform our clients of notable FCC enforcement actions against FCC license holders and others. This month’s issue includes: Late-Filed License Application Garners $7,000 Fine FCC Fines Noncommercial Broadcaster $5,000 for Alien Ownership Violation “Inadvertent Error” Results in $7,000…

Updated:

FCC Moves Biennial Ownership Report Deadline to December 1

In 2009, the FCC adopted an Order which expanded the types of commercial broadcast licensees required to file ownership reports on FCC Form 323 biennially. The FCC also established November 1 (of odd-numbered years) as the single national ownership report filing date for all commercial broadcast stations. As a result,…

Updated:

The First Domino Falls: Say Goodbye to Channel 51

The FCC this morning announced a “temporary” freeze on the filing and processing of applications for full power and low power television stations on Channel 51. The freeze was announced in response to a petition filed in March by CTIA – the Wireless Association and the Rural Cellular Association asking…

Updated:

Client Alert: FCC Sets September 14, 2011 as the Deadline for Payment of FY 2011 Annual Regulatory Fees

8/15/2011 The FCC has announced that full payment of all applicable Regulatory Fees for Fiscal Year 2011 must be received no later than September 14, 2011. As of this date, the FCC has not released a Public Notice officially announcing the deadline for payment of FY 2011 annual regulatory fees.…

Updated:

Special Advisory for Commercial and Noncommercial Broadcasters: Meeting the Radio and Television Public Inspection File Requirements

8/10/2011 This Advisory is designed to help commercial and noncommercial radio and television stations comply with the FCC’s public inspection file rules. See 47 C.F.R. §§ 73.3526 and 73.3527. This Advisory tracks the public access, content, retention and organizational requirements of those regulations. Previous editions of this Advisory are obsolete,…

Updated:

“Regulatory Uncertainty” Prompts Further EAS CAP Extension Request

As we reported previously, in an atypical display of unity among broadcasters and the cable industry, the parties found common ground and filed a Petition with the FCC seeking to extend the deadline for implementing the Common Alerting Protocol (CAP) standard. Last week, that unified front continued when we filed…