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Guidelines on Communications Strategies for the Transition from Analogue to Digital Terrestrial Broadcasting
2014-2017 Guidelines ITU-D Study Group 1 Question 8/1 International Telecommunication Union Telecommunication Development Bureau Guidelines on Place des Nations CH-1211 Geneva 20 Communications Switzerland www.itu.int Strategies for the Transition from Analogue to Digital Terrestrial Broadcasting 6th Study Period 2014-2017 EXAMINATION OF STRATEGIES AND METHODS OF MIGRATION FROM ANALOGUE TO DIGITAL TERRESTRIAL BROADCASTING AND IMPLEMENTATION OF NEW SERVICES OF NEW AND IMPLEMENTATION BROADCASTING TERRESTRIAL DIGITAL TO ANALOGUE FROM AND METHODS OF MIGRATION OF STRATEGIES EXAMINATION ISBN 978-92-61-24801-7 QUESTION 8/1: QUESTION 9 7 8 9 2 6 1 2 4 8 0 1 7 Printed in Switzerland Geneva, 2017 07/2017 International Telecommunication Union (ITU) Telecommunication Development Bureau (BDT) Office of the Director Place des Nations CH-1211 Geneva 20 – Switzerland Email: [email protected] Tel.: +41 22 730 5035/5435 Fax: +41 22 730 5484 Deputy to the Director and Infrastructure Enabling Innovation and Partnership Project Support and Knowledge Director,Administration and Environmnent and Department (IP) Management Department (PKM) Operations Coordination e-Applications Department (IEE) Department (DDR) Email: [email protected] Email: [email protected] Email: [email protected] Email: [email protected] Tel.: +41 22 730 5784 Tel.: +41 22 730 5421 Tel.: +41 22 730 5900 Tel.: +41 22 730 5447 Fax: +41 22 730 5484 Fax: +41 22 730 5484 Fax: +41 22 730 5484 Fax: +41 22 730 5484 Africa Ethiopia Cameroon Senegal Zimbabwe International Telecommunication Union internationale des Union internationale des International Telecommunication Union (ITU) télécommunications (UIT) télécommunications (UIT) Union (ITU) Regional Office Bureau de zone Bureau de zone Area Office P.O. -
Media Ownership Rules
05-Sadler.qxd 2/3/2005 12:47 PM Page 101 5 MEDIA OWNERSHIP RULES It is the purpose of this Act, among other things, to maintain control of the United States over all the channels of interstate and foreign radio transmission, and to provide for the use of such channels, but not the ownership thereof, by persons for limited periods of time, under licenses granted by Federal author- ity, and no such license shall be construed to create any right, beyond the terms, conditions, and periods of the license. —Section 301, Communications Act of 1934 he Communications Act of 1934 reestablished the point that the public airwaves were “scarce.” They were considered a limited and precious resource and T therefore would be subject to government rules and regulations. As the Supreme Court would state in 1943,“The radio spectrum simply is not large enough to accommodate everybody. There is a fixed natural limitation upon the number of stations that can operate without interfering with one another.”1 In reality, the airwaves are infinite, but the govern- ment has made a limited number of positions available for use. In the 1930s, the broadcast industry grew steadily, and the FCC had to grapple with the issue of broadcast station ownership. The FCC felt that a diversity of viewpoints on the airwaves served the public interest and was best achieved through diversity in station ownership. Therefore, to prevent individuals or companies from controlling too many broadcast stations in one area or across the country, the FCC eventually instituted ownership rules. These rules limit how many broadcast stations a person can own in a single market or nationwide. -
“Canned History”: American Newsreels and The
“Canned History”: American Newsreels and the Commodification of Reality, 1927-1945 By Joseph E.J. Clark B.A., University of British Columbia, 1999 M.A., University of British Columbia, 2001 M.A., Brown University, 2004 A Dissertation Submitted in Partial Fulfillment of the Requirements for the Degree of Doctor of Philosophy in the Department of American Civilization at Brown University Providence, Rhode Island May, 2011 © Copyright 2010, by Joseph E.J. Clark This dissertation by Joseph E.J. Clark is accepted in its present form by the Department of American Civilization as satisfying the dissertation requirement for the degree of Doctor of Philosophy. Date:____________ _________________________________ Professor Susan Smulyan, Co-director Date:____________ _________________________________ Professor Philip Rosen, Co-director Recommended to the Graduate Council Date:____________ _________________________________ Professor Lynne Joyrich, Reader Approved by the Graduate Council Date:____________ _________________________________ Dean Peter Weber, Dean of the Graduate School iii Curriculum Vitae Joseph E.J. Clark Date of Birth: July 30, 1975 Place of Birth: Beverley, United Kingdom Education: Ph.D. American Civilization, Brown University, 2011 Master of Arts, American Civilization, Brown University, 2004 Master of Arts, History, University of British Columbia, 2001 Bachelor of Arts, University of British Columbia, 1999 Teaching Experience: Sessional Instructor, Department of Gender, Sexuality, and Women’s Studies, Simon Fraser University, Spring 2010 Sessional Instructor, Department of History, Simon Fraser University, Fall 2008 Sessional Instructor, Department of Theatre, Film, and Creative Writing, University of British Columbia, Spring 2008 Teaching Fellow, Department of American Civilization, Brown University, 2006 Teaching Assistant, Brown University, 2003-2004 Publications: “Double Vision: World War II, Racial Uplift, and the All-American Newsreel’s Pedagogical Address,” in Charles Acland and Haidee Wasson, eds. -
The Clear Picture on Clear Channel Communications, Inc.: a Corporate Profile
Cornell University ILR School DigitalCommons@ILR Articles and Chapters ILR Collection 1-28-2004 The Clear Picture on Clear Channel Communications, Inc.: A Corporate Profile Maria C. Figueroa Cornell University, [email protected] Damone Richardson Cornell University, [email protected] Pam Whitefield Cornell University, [email protected] Follow this and additional works at: https://digitalcommons.ilr.cornell.edu/articles Part of the Advertising and Promotion Management Commons, Arts Management Commons, and the Unions Commons Thank you for downloading an article from DigitalCommons@ILR. Support this valuable resource today! This Article is brought to you for free and open access by the ILR Collection at DigitalCommons@ILR. It has been accepted for inclusion in Articles and Chapters by an authorized administrator of DigitalCommons@ILR. For more information, please contact [email protected]. If you have a disability and are having trouble accessing information on this website or need materials in an alternate format, contact [email protected] for assistance. The Clear Picture on Clear Channel Communications, Inc.: A Corporate Profile Abstract [Excerpt] This research was commissioned by the American Federation of Labor-Congress of Industrial Organizations (AFL-CIO) with the expressed purpose of assisting the organization and its affiliate unions – which represent some 500,000 media and related workers – in understanding, more fully, the changes taking place in the arts and entertainment industry. Specifically, this report examines the impact that Clear Channel Communications, with its dominant positions in radio, live entertainment and outdoor advertising, has had on the industry in general, and workers in particular. Keywords AFL-CIO, media, worker, arts, entertainment industry, advertising, organization, union, marketplace, deregulation, federal regulators Disciplines Advertising and Promotion Management | Arts Management | Unions Comments Suggested Citation Figueroa, M. -
Comparing Digital Television in Transition Between Japan and the U.S
A Service of Leibniz-Informationszentrum econstor Wirtschaft Leibniz Information Centre Make Your Publications Visible. zbw for Economics Kanayama, Tsutomu Conference Paper Broadcasting Policy and Regulation in transition before dawn of a New Paradigm: Comparing Digital Television in Transition between Japan and the U.S. 14th Asia-Pacific Regional Conference of the International Telecommunications Society (ITS): "Mapping ICT into Transformation for the Next Information Society", Kyoto, Japan, 24th-27th June, 2017 Provided in Cooperation with: International Telecommunications Society (ITS) Suggested Citation: Kanayama, Tsutomu (2017) : Broadcasting Policy and Regulation in transition before dawn of a New Paradigm: Comparing Digital Television in Transition between Japan and the U.S., 14th Asia-Pacific Regional Conference of the International Telecommunications Society (ITS): "Mapping ICT into Transformation for the Next Information Society", Kyoto, Japan, 24th-27th June, 2017, International Telecommunications Society (ITS), Calgary This Version is available at: http://hdl.handle.net/10419/168497 Standard-Nutzungsbedingungen: Terms of use: Die Dokumente auf EconStor dürfen zu eigenen wissenschaftlichen Documents in EconStor may be saved and copied for your Zwecken und zum Privatgebrauch gespeichert und kopiert werden. personal and scholarly purposes. Sie dürfen die Dokumente nicht für öffentliche oder kommerzielle You are not to copy documents for public or commercial Zwecke vervielfältigen, öffentlich ausstellen, öffentlich zugänglich -
Fake TV News: Widespread and Undisclosed
Fake TV News: Widespread and Undisclosed A multimedia report on television newsrooms’ use of material provided by PR firms on behalf of paying clients Diane Farsetta and Daniel Price, Center for Media and Democracy April 6, 2006 Center for Media and Democracy 520 University Ave., Suite 227 Madison, WI 53703 Phone: 608-260-9713 Fax: 608-260-9714 Website: www.prwatch.org Contents News Release - 2 Executive Summary - 4 Introduction - 9 Findings: Video News Releases - 14 Findings: TV Stations - 19 Findings: Corporations - 22 Recommendations - 26 Take Action - 32 Frequently Asked Questions - 33 Appendix A: About This Report - 39 Appendix B: VNRs in Detail - 40 1 News Release Press Advisory: New Report: Fake TV News Widespread and Undisclosed Investigation catches 77 local TV stations presenting corporate PR as real news Groups file complaints urging FCC to take action against deceptive broadcasters WASHINGTON The Center for Media Democracy and Free Press today exposed an epidemic of fake news infiltrating local television broadcasts across country. At a press conference in Washington with FCC Commissioner Jonathan S. Adelstein, the groups called for a crackdown on stations that present corporate-sponsored videos as genuine news to an unsuspecting audience. CMD, which unveiled the results of a 10-month investigation, found scores of local stations slipping commercial “video news releases,” or VNRs, into their regular news programming. The new multimedia report released today includes footage of 36 separate VNRs and their broadcast as “news” by TV stations and networks nationwide, including those in the nation’s biggest markets. The full report -- “Fake TV News: Widespread and Undisclosed” -- is now available complete with VNR and TV station video footage at www.prwatch.org/fakenews/execsummary. -
Federal Communications Commission FCC 19-67 Before the Federal Communications Commission Washington, D.C. 20554 in the Matter Of
Federal Communications Commission FCC 19-67 Before the Federal Communications Commission Washington, D.C. 20554 In the Matter of ) ) Children’s Television Programming Rules ) MB Docket No. 18-202 ) Modernization of Media Regulation Initiative ) MB Docket No. 17-105 REPORT AND ORDER AND FURTHER NOTICE OF PROPOSED RULEMAKING Adopted: July 10, 2019 Released: July 12, 2019 Comment Date: (30 days after date of publication in the Federal Register) Reply Comment Date: (60 days after date of publication in the Federal Register) By the Commission: Chairman Pai and Commissioners O’Rielly and Carr issuing separate statements; Commissioners Rosenworcel and Starks dissenting and issuing separate statements. TABLE OF CONTENTS Heading Paragraph # I. INTRODUCTION...................................................................................................................................1 II. BACKGROUND.....................................................................................................................................3 III. DISCUSSION........................................................................................................................................10 A. Statutory Authority .........................................................................................................................10 B. The Current State of the Marketplace for Children’s Programming ..............................................11 C. Core Programming..........................................................................................................................21 -
Digital Signage Software 1/ Is Infoplayout for YOU?
CONTENTS 1/ Is InfoPLAYOUT for YOU? 2/ InfoPLAYOUT - and your message will be viewed 3/ What Does InfoPLAYOUT Provide? – Robustness and Flexibility 4/ General Overview of the System – System Requirements 5/ Management tools a) InfoMANAGER b) InfoMEDIALIST 6/ InfoPLAYER 7/ InfoWEB 8/ InfoDISTRIBUTOR 9/ InfoCONFIGURATOR 10/ InfoSTATUS 11/ InfoAGENT 12/ Description of the Main Functions 13/ Who is using InfoPLAYOUT already? 14/ Copyright Information and Contact we set the standards 2 digital signage software 1/ Is InfoPLAYOUT for YOU? Do you have a Digital Ad already? Do you use or plan to use LCD and/or Plasma-screens, LED-walls or beamers for commercial or just informative purposes? Do you want to create impressive presentations for your clients, employees or specific target groups in an easy and professional way? Even though you may feel pretty confident about your presentation style – it is always possible to make it better … …Let us introduce you our product… 2/ InfoPLAYOUT - and your message will be viewed The phrase “A picture says more than thousand words” is a principle always used by advertising. This is a reason why until today billboards are one of the most popular advertising media. But there is an improvement for an image: the movie! Moving images cast a spell on people. No wonder that digital signage systems capture more and more our every-daily life. In a station or on an airport: digital signage systems shorten the sensed waiting period and pre- vent effectively boredom. Or in a shopping mall: displays at point of sales will be used as a new kind of product presenta- tions. -
Dowlohnes Robert J
DowLohnes Robert J. Folliard, III D 202.776.2357 E [email protected] January 6,2011 FILED/ACCEPTED VIA COURIER JAN-6 2011 Marlene H. Dortch, Esquire Federal Communications Commission Secretary Office of the Secretary Federal Communications Commission 445 12th Street, SW Washington, DC 20554 Re: WBNG-TV, Binghamton, New York (Fac. Id. 23337) CBS Network Affiliation Agreement Dear Ms. Dortch: On behalf of WBNG License, Inc., licensee of WBNG-TV, Binghamton, New York, we hereby submit, in triplicate, a redacted copy of the network affiliation agreement between WBNG License, Inc. and CBS. The agreement is being filed pursuant to Section 73.3613 of the Rules. If you should have any questions about this matter, please contact me. Respectfully sutenitted, RJF2/cjp2 Enclosure Dow Lohnes PLLC Washington, DC I Atlanta, GA 1200 New Hampshire Avenue, NW, Suite 800 Washington, DC 20036-6802 Attorneys at Law T 202.776.2000 F 202.776.2222 www.dowlohnes.com CBS AFFILIATE RELATIONS A Unit of CBS Corporation AFFILIATION AGREEMENT CBS AFFILIATE RELATIONS, A Unit of CBS Corporation, 51 West 52 Street, New York, New York 10019 ("CBS"), and WBNG LICENSE INC. ("Broadcaster"), authorized to operate television station WBNG-TV at Binghamton, New York on channel number 7 (virtual channel 12) ("Affiliated Station"), hereby mutually covenant and agree, as of January 1, 2011, as follows: I. Definitions. The following terms shall have the meanings set forth in this Paragraph 1: "Adjusted CBS Households" means the total of Affiliated Station Households for all television stations affiliated with the CBS Network, minus the total number of television households for the 1997-98 Broadcast Season in the DMAs in which a television station is owned by CBS or any Affiliate thereof. -
15 Stocks That Don't Need a Trade Deal to Reward Investors
THE DOW JONES BUSINESS AND FINANCIAL WEEKLY www.barrons.com NOVEMBER 1, 2019 COVER % China Roundtable: 15 Stocks That Don’t Need a Trade Deal to Reward Investors The following has been excerpted By Reshma Kapadia ons, and offer insights into their favorite important, China was acting more assert- Chinese stocks in the edited Roundtable ively as a geopolitical rival. Now, there is China’s economic slowdown, its trade transcript below. The group includes Ar- no consensus on our stance against China. dispute with the U.S., and pro-democracy thur Kroeber, founding partner of China David Semple: The narrative has hard- protests in Hong Kong have dominated research firm Gavekal Dragonomics, who ened politically and probably on Main the news this year. Yet, for all this turmoil, splits his time between New York and Bei- Street against China. We might not have Chinese stocks have done remarkably well. jing; Winnie Chwang, co-manager of the consensus, but it’s not moving in a good The Shanghai Composite index, home to $796 million Matthews China fund (ticker: direction. stocks bought mainly by domestic inves- MCHFX); Lewis Kaufman, manager of tors, has returned 19% in U.S. dollars, the $2.7 billion Artisan Developing World What does this mean for investors? while the Hong Kong–traded Hang Seng Strategy and David Semple, manager of Winnie Chwang: China has already piv- index, whose shares are favored by foreign the $2 billion VanEck Emerging Markets oted to a services- and a consumption-led investors, is up 10%. fund (GBFAX). economy. Net exports have dipped below The members of Barron’s China Round- 1% of gross domestic product, so China has table offer an easy explanation for these Barron’s: Let’s tackle the 800-pound more incentive to get its own economy right. -
Catv Form 100 Application Form
CATV FORM 100 APPLICATION FORM Purpose of application: Recertification of an existing license Request for a new license Transfer/assignment of an existing license X Renewal of license INSTRUCTIONS FOR COMPLETING FORM 100 1) File two copies of this application with the issuing authority and one copy with the Massachusetts Community Antenna Television Commission. 2) The application must be accompanied by a fee of $100.00 payable to the city or town for which the cable television license is sought. 3) All applicants must answer Sections I-VI, VIII and IX. Applicants for transfer (transferee) or assignment (assignee) of an existing license must also answer Section VII. 4) Answer question on the form itself wherever space is provided for that purpose. Where Exhibits are requested, indicate the Exhibit number in the appropriate blank on the form, keyed to the attachment. 5) In completing Attachment 2 (Ownership), follow carefully the instructions for the attachment and (insofar as possible) provide the requested information in the format provided. 6) In completing Schedule A, applicants are requested to distribute projected capital and operating expenses according to the following three categories: a) Signals: All costs incurred in capturing or producing any signals fed into the system. b) Distribution: All costs incurred in building and operating the trunk and feeder distribution plant, but excluding drop costs. c) Subscribers: All costs incurred in bringing new subscribers onto the system, and servicing of current subscribers. I. IDENTIFICATION 1. Name and location of municipality for which cable television franchise is sought: Plympton___ Plymouth Municipality County 2. Name of applicant Harron Cablevision of MA dba Adelphia Cable Communications Street Address 5 West 3rd St., Box 472 City Coudersport State PA Zip Code 16915 3. -
Trying to Promote Network Entry: from the Chain Broadcasting Rules to the Channel Occupancy Rule and Beyond
Trying to Promote Network Entry: From the Chain Broadcasting Rules to the Channel Occupancy Rule and Beyond Stanley M. Besen Review of Industrial Organization An International Journal Published for the Industrial Organization Society ISSN 0889-938X Volume 45 Number 3 Rev Ind Organ (2014) 45:275-293 DOI 10.1007/s11151-014-9424-1 1 23 Your article is protected by copyright and all rights are held exclusively by Springer Science +Business Media New York. This e-offprint is for personal use only and shall not be self- archived in electronic repositories. If you wish to self-archive your article, please use the accepted manuscript version for posting on your own website. You may further deposit the accepted manuscript version in any repository, provided it is only made publicly available 12 months after official publication or later and provided acknowledgement is given to the original source of publication and a link is inserted to the published article on Springer's website. The link must be accompanied by the following text: "The final publication is available at link.springer.com”. 1 23 Author's personal copy Rev Ind Organ (2014) 45:275–293 DOI 10.1007/s11151-014-9424-1 Trying to Promote Network Entry: From the Chain Broadcasting Rules to the Channel Occupancy Rule and Beyond Stanley M. Besen Published online: 25 June 2014 © Springer Science+Business Media New York 2014 Abstract This article traces the efforts by the U.S. Federal Communications Com- mission to promote the entry of new networks, starting from its regulation of radio networks under the Chain Broadcasting Rules, through its regulation of broadcast television networks under its Financial Interest and Syndication Rules and its Prime Time Access Rule, and finally to its regulation of cable television networks under its Channel Occupancy and Leased Access Rules and its National Ownership Cap.