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: $86,400 Fine for Unlicensed and Unauthorized BAS Operations Missing “E/I” Graphic for Children’s Television Programs Results in Fine Multiple Rule…
Comm Law Center
Breaking News: FCC Suspends Construction Deadlines and Expiration Dates for New LPTVs and Translators
Late today, the FCC released a Public Notice stating that “[e]ffective immediately, the expiration dates and construction deadlines for all outstanding unexpired construction permits for new digital low power television (LPTV) and TV translator stations are hereby suspended pending final action in the rulemaking proceeding in MB Docket No. 03-185…
FCC Announces Grant of 700 Delayed Broadcast License Renewals
In a post today on the FCC’s Blog, Diane Cornell, Special Counsel to Chairman Wheeler, described the FCC’s efforts to reduce backlogs of applications, complaints, and other proceedings pending at the FCC. The post announces that the Consumer and Governmental Affairs Bureau has closed 760 docketed proceedings, and is on…
Hotels Jamming Wi-Fi Signals?
In the U.S., jamming communications signals is illegal. Over the years, I’ve written a number of posts about the FCC’s persistent efforts to prevent jamming. Among these were fines and other actions taken against an Internet marketer of cell phone jamming devices; a variety of individuals and companies selling cell…
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: Unenclosed and Unpainted Tower Leads to $30,000 in Fines $20,000 Fine for Missing Issues/Programs Lists at Two Stations Increased Fine…
October 1 Must-Carry/Retrans Elections Drive the Future of Local Broadcast TV
Few dates on the broadcasters’ calendar are easier to miss than the deadline for TV stations (and a few fortunate LPTV stations) to send their must-carry/retransmission election letters to cable and satellite providers in their markets. Because it doesn’t occur every year, or even every other year, but every third…
FCC Moves Quickly to Reject Political Ad Sponsorship ID Complaints
Broadcasters let out a small sigh of relief today when the FCC made clear there is no requirement that TV stations have private investigators on staff. With TV stations’ political files now available online, three political activist organizations have been jointly filing complaints against TV stations alleging various errors and…
Client Alert: FCC Sets September 23, 2014 Deadline for 2014 Regulatory Fees
I wrote a post here in June on the FCC’s release of its proposed regulatory fees for Fiscal Year 2014. Normally, the FCC releases an order adopting the official fee amounts and the deadline by which they must be filed in early to mid-August of each year. This year, however,…
FCC Enforcement Monitor
August 2014 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: Nonexistent Studio Staff and Missing Public Inspection File Lead to $20,000 Fine Failure to Route 911 Calls Properly…
At Long Last, FCC Updates Its Tower Rules
The Federal Communications Commission recently adopted a Report and Order to streamline and eliminate outdated provisions of its Part 17 Rules governing the construction, marking, and lighting of antenna structures. According to the Commission, the goal was to “remove barriers to wireless deployment, reduce unnecessary costs, and encourage providers to…