Articles Posted in Ownership Law & Regulation

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March 2008
Commercial and noncommercial Radio stations licensed to communities in Delaware, Indiana, Kentucky, Pennsylvania, and Tennessee must file their Biennial Ownership Reports with the FCC by April 1, 2008. Reports for commercial and noncommercial Television stations licensed to communities in Texas must also file their Biennial Ownership Reports by the same deadline.

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February 2008
Topics include:

  • FCC Fines Texas AM Station $8,800 for Failure to Maintain a Main Studio and Exceeding Licensed Power Levels
  • New York Private Land Mobile Licensee Fined for Operating From an Unauthorized Location With an Antenna Placement Exceeding Authorized Height
  • FCC Fines Owner of Antenna Structure $13,000 for Failure to Paint Antenna Structure and Notify the FCC of a Change in Ownership
  • FCC Issues Several Notices for Failure to Notify of Change in Ownership of Antenna Structure and Failure to Transmit Assigned Call Sign

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January 2008
The following deadlines are based on information known by us as of the date hereof, may or may not apply to a particular broadcaster, are for general informational purposes only, and should be double-checked for currency close to each pertinent date/deadline. The reason is that actions by the FCC, Congress, or the courts could affect any of these deadlines by, for example, eliminating a particular reporting/filing obligation altogether or modifying the form used, content, deadline, fee, or manner of reporting/filing, such as requiring the posting of a report on the Internet or filing a report with the FCC electronically. It should also be noted that any FCC filing date which falls on a weekend or federal holiday, as a general rule, causes the filing deadline to be shifted to the immediately following business day. Accordingly, broadcasters should seek the advice of communications counsel in each instance to assure timely and proper filing. With respect to the tax-related deadlines identified herein, broadcasters should consult with their tax advisors. This edition of our annual “Broadcasters’ Calendar” supercedes all prior editions and accordingly any prior editions should no longer be used.

This material is not intended to constitute a complete analysis of all tax considerations. Internal Revenue Service regulations generally provide that, for the purpose of avoiding United States federal tax penalties, a taxpayer may rely only on formal written opinions meeting specific regulatory requirements. This material does not meet those requirements. Accordingly, this material was not intended or written to be used, and a taxpayer cannot use it, for the purpose of avoiding United States federal or other tax penalties or of promoting, marketing or recommending to another party any tax-related matters.

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November 2007
Commercial and noncommercial Radio stations licensed to communities in Alabama, Connecticut, Georgia, Maine, Massachusetts, New Hampshire, Rhode Island, and Vermont must file their Biennial Ownership Reports with the FCC by December 1, 2007. Reports for commercial and noncommercial Television stations licensed to communities in Colorado, Minnesota, Montana, North Dakota, and South Dakota must also file their Biennial Ownership Reports by the same deadline.

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September 2007
Radio stations licensed to communities in Alaska, Hawaii, Oregon, Washington, Florida, American Samoa, Guam, the Northern Mariana Islands, the U.S. Virgin Islands, and Puerto Rico must file their Biennial Ownership Reports with the FCC by October 1, 2007. Reports for Television stations licensed to communities in Iowa and Missouri must also file their Biennial Ownership Reports by the same date.

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By Kathryn R. Schmeltzer
June 2006
At its June 21, 2006 Open Agenda Meeting, the FCC adopted a Further Notice of Proposed Rule Making (“FNPRM”) concerning its broadcast multiple ownership rules and at the same time announced the beginning of its quadrennial ownership review required by Congress. The FNPRM has two purposes: (1) it seeks comment on how to address the issues raised by the Third Circuit Court of Appeals in Prometheus Radio Project, et al. v. FCC, 373 F. 3d 372 (3rd Cir. 2004), and (2) it opens a comprehensive review of all the FCC’s multiple ownership rules.

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