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Federal Communications Commission Approved by OMB FOR FCC USE ONLY Washington, D.C. 20554 3060-0506 (June 2002) FCC 302-FM FOR COMMISSION USE ONLY APPLICATION FOR FM BROADCAST STATION FILE NO. LICENSE BXLED - 20130808AAN

Read INSTRUCTIONS Before Filling Out Form Section I - General Information 1. Legal Name of the Applicant PASADENA AREA COMMUNITY COLLEGE DISTRICT Mailing Address 1570 E. COLORADO BLVD. City State or Country (if foreign address) ZIP Code PASADENA CA 91106 - Telephone Number (include area code) E-Mail Address (if available) 6265857201 [email protected] FCC Registration Number: Facility Identifier 0005085204 KPCC 51701 2. Contact Representative (if other than Applicant) Firm or Company Name JOHN CRIGLER GARVEY SCHUBERT & BARER Telephone Number (include area code) E-Mail Address (if available) 2022982521 JCRIGLER&GSBLAW.COM 3. If this application has been submitted without a fee, indicate reason for fee exemption (see 47 C.F.R. Section 1.1114): Noncommercial Educational Licensee/Permittee

4. Facility Information: a. b. Directional c. Community of License: City: PASADENA State: CA 5. Program Test Authority:

6. Purpose of Application: -- starts with the BMXPED- prefix BPH, BNPH, BMPH, BPED, BMPED, or BMPED): 20120410AAE

-- starts with the prefix BLH, BMLH, - BLED, or BMLED):

If an amendment, submit as an Exhibit a listing by Section and Question Number the portions of the pending application that are being revised. [Exhibit 1]

NOTE: In addition to the information called for in this section, an explanatory exhibit providing full particulars must be submitted for each question for which a "No" response is provided.

Section II - Legal and Financial

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1. Certification. Applicant certifies that it has answered each question in this application based on Yes its review of the application instructions and worksheets. Applicant further certifies that where it has made an affirmative certification below, this certification constitutes its representation that the application satisfies each of the pertinent standards and criteria set forth in the application instructions and worksheets. 2. Licensee/Permittee certifies that all terms, conditions, and obligations set forth in the underlying Yes construction permit have been fully met. See Explanation in [Exhibit 2] 3. Licensee/Permittee certifies that, apart from changes already reported, no cause or circumstance Yes has arisen since the grant of the underlying construction permit which would result in any See Explanation in statement or representation contained in the construction permit application to be now incorrect. [Exhibit 3] 4. Character Issues. Applicant certifies that neither licensee/permittee nor any party to the Yes application has or has had any interest in, or connection with: See Explanation in [Exhibit 4] a.any broadcast application in any proceeding where character issues were left unresolved or were resolved adversely against the applicant or party to the application; or b.any pending broadcast application in which character issues have been raised. 5. Adverse Findings. Applicant certifies that, with respect to the applicant and any party to the Yes application, no adverse finding has been made, nor has an adverse final action been taken See Explanation in related to the following: any felony; mass media-related antitrust or unfair competition; [Exhibit 5] fraudulent statements to another governmental unit; or discrimination. 6. Anti-Drug Abuse Act Certification. Applicant certifies that neither licensee/permittee nor any Yes party to the application is subject to denial of federal benefits pursuant to Section 5301 of the Anti-Drug Abuse Act of 1988, 21 U.S.C. Section 862.

I certify that the statements in this application are true, complete, and correct to the best of my knowledge and belief, and are made in good faith. I acknowledge that all certifications and attached Exhibits are considered material representations. I hereby waive any claim to the use of any particular frequency as against the regulatory power of the United States because of the previous use of the same, whether by license or otherwise, and request an authorization in accordance with this application. (See Section 304 of the Communications Act of 1934, as amended.)

Typed or Printed Name of Person Signing Typed or Printed Title of Person Signing ROBERT B MILLER ASSISTANT SUPERINTENDENT/SENIOR VICE PRESIDENT Signature Date 8/8/2013

SECTION III - PREPARER'S CERTIFICATION

I certify that I have prepared Section III (Engineering data) on behalf of the applicant, and that after such preparation, I have examined and found it to be accurate and true to the best of my knowledge and belief.

Name Relationship to Applicant (e.g., Consulting Engineer) KATE ENGLISH TECHNICAL CONSULTANT Signature Date 8/2/2013 Mailing Address DOUG VERNIER TELECOMMUNICATIONS CONSULTANTS 401 MAIN STREET SUITE 213 City State or Country (if foreign address) Zip Code CEDAR FALLS IA 50613 - Telephone Number (include area code) E-Mail Address (if available) 3192668402 [email protected]

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WILLFUL FALSE STATEMENTS ON THIS FORM ARE PUNISHABLE BY FINE AND/OR IMPRISONMENT (U.S. CODE, TITLE 18, SECTION 1001), AND/OR REVOCATION OF ANY STATION LICENSE OR CONSTRUCTION PERMIT (U.S. CODE, TITLE 47, SECTION 312(a)(1)), AND/OR FORFEITURE (U.S. CODE, TITLE 47, SECTION 503).

Section III - Engineering TECHNICAL SPECIFICATIONS Ensure that the specifications below are accurate. Contradicting data found elsewhere in this application will be disregarded. All items must be completed. The response "on file" is not acceptable. TECH BOX 1. Channel: 207 2. a. : 10 kW(H) 10 kW(V) b. Maximum Effective Radiated Power: kW(H) kW(V) (Beam-Tilt Antenna ONLY) 3. Transmitter Power Output: 4.64 kW 4. Antenna Data

Manufacturer Model Number of Sections Spacing Between Sections (wavelength) ERI LP-4C-DA-HW 4 0.5 NOTE: In addition to the information called for in this section, an explanatory exhibit providing full particulars must be submitted for each question for which a "No" response is provided.

CERTIFICATION

All applicants must complete this section. 5. Main Studio Location. The main studio location complies with 47 C.F.R. Section 73.1125. No

See Explanation in [Exhibit 6] 6. Transmitter Power Output. The operating transmitter power output produces the No authorized effective radiated power. See Explanation in [Exhibit 7] APPLICATIONS FILED TO COVER A CONSTRUCTION PERMIT. Only applicants filing this application to cover a construction permit must complete the following section. NOTE: In addition to the information called for in this section, an explanatory exhibit providing full particulars must be submitted for each question for which a "No" response is provided. 7. Constructed Facility . The facility was constructed as authorized in the underlying No construction permit or complies with 47 C.F.R. Section 73.1690. See Explanation in [Exhibit 8] 8. Special Operating Conditions. The facility was constructed in compliance with all special No operating conditions, terms, and obligations described in the construction permit. See Explanation in [Exhibit 9] An exhibit may be required. Review the underlying construction permit. [Exhibit 10] APPLICATIONS FILED PURSUANT TO 47 C.F.R. SECTIONS 73.1675(c) or 73.1690(c). Only applicants filing this application pursuant to 47 C.F.R. Sections 73.1675(c) or 73.1690(c) must complete the following section.

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9. Changing transmitter power output. Is this application being filed to authorize a change in No transmitter power output caused by the replacement of omnidirectional antenna with another omnidirectional antenna or an alteration of the transmission line system? See 47 C.F.R. Sections 73.1690(c)(1) and (c)(10). 10. Increasing effective radiated power. Is this application being filed to authorize an increase No in ERP for a station operating in the nonreserved band (Channels 221-300)? See 47 C.F.R. Sections 73.1690(c)(4), (c)(5) and (c)(7).

If "Yes" to the above, the applicant certifies the following: a. Spacing Requirements. The increase in ERP was authorized pursuant to MM Docket 88- No 375 (Class A stations) OR the facility complies with the spacing requirements of 47 C.F.R. Section 73.207. See Explanation in [Exhibit 11] b. International Coordination. The transmitter site is greater than 320 km from the Canadian No or Mexican borders OR coordination for the station's international class is complete. See Explanation in [Exhibit 12] c. Interference. The requirements of 47 C.F.R. Section 73.1030 regarding notification to No radio astronomy installations, radio receiving installations and FCC monitoring stations have either been satisfied OR are not applicable. See Explanation in [Exhibit 13] Exhibit required. If the proposed facility must be notified to the entities set forth in 47 [Exhibit 14] C.F.R. Section 73.1030, the applicant must provide a copy of the written approval for the ERP increase from the affected entity. d. Multiple Ownership Showing. The increase in ERP will not require the consideration of a No multiple ownership showing pursuant to 47 C.F.R. Section 73.3555. See Explanation in [Exhibit 15] e. Environmental Protection Act. The proposed facility is excluded from environmental No processing under 47 C.F.R. Section 1.1306 (i.e., the facility will not have a significant environmental impact and complies with the maximum permissible radiofrequency See Explanation in electromagnetic exposure limits for controlled and uncontrolled environments). Unless the [Exhibit 16] applicant can determine compliance through the use of the RF worksheets in Appendix A, an Exhibit is required. By checking "Yes" above, the applicant also certifies that it, in coordination with other users of the site, will reduce power or cease operation as necessary to protect persons having access to the site, tower or antenna from radiofrequency electromagnetic exposure in excess of FCC guidelines. 11. Increasing vertically polarized effective radiated power. Is this application being filed No pursuant to 47 C.F.R. Section 73.1690(c)(4) to authorize an increase in the vertically polarized ERP for a station operating in the reserved band (Channels 200-220)?

If "Yes" to the above, the applicant certifies the following: a. TV Channel 6 Protection Requirements. The facility complies with the spacing No requirements of 47 C.F.R. Section 73.525(a)(1). See Explanation in [Exhibit 17] b. Environmental Protection Act. The proposed facility is excluded from environmental No processing under 47 C.F.R. Section 1.1 306 (i.e., the facility will not have a significant environmental impact and complies with the maximum permissible radiofrequency See Explanation in electromagnetic exposure limits for controlled and u ncontrolled environments). Unless the [Exhibit 18] applicant can determine compliance through the use o f the RF worksheets in Appendix A, an Exhibit is required.

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By checking "Yes" above, the applicant also certifies that it, in coordination with other users of the site, will reduce power or cease operation as necessary to protect persons having access to the site, tower or antenna from radiofrequency electromagnetic exposure in excess of FCC guidelines. 12. Decreasing effective radiated power (non-reserved channel). Is this application being No filed pursuant to 47 C.F.R. Section 73.1690(c)(8) to authorize a decrease in the ERP for a station operating in the nonreserved band (Channels 221-300)?

If "Yes" to the above, the applicant certifies the following: a. Community Coverage . The proposed facility complies with the community coverage No requirements of 47 C.F.R. Section 73.315 where the distance to the 3.16 mV/m contour is predicted using the standard prediction method in 47 C.F.R. Section 73.313. See Explanation in [Exhibit 19] b. Auxiliary Facilities. The authorized or pending auxiliary facilities for this station comply No with 47 C.F.R. Section 73.1675(a). See Explanation in [Exhibit 20] c. Multiple Ownership Showing. The decrease in ERP is not requested or required to No establish compliance with 47 C.F.R. Section 73.3555. See Explanation in [Exhibit 21] 13. Decreasing effective radiated power (reserved channel). Is this application being filed No pursuant to 47 C.F.R. Section 73.1690(c)(8) to authorize a decrease in the ERP for a station operating in the reserved band (Channels 200-220)?

If "Yes" to the above, the applicant certifies the following: a. Community Coverage . The proposed facility complies with the community coverage No requirements of 47 C.F.R. Section 73.1690(c)(8)(i) where the distance to the 1 mV/m contour is predicted using the standard prediction method in 47 C.F.R. Section 73.313. See Explanation in [Exhibit 22] b. Auxiliary Facilities. The authorized or pending auxiliary facilities for this station comply No with 47 C.F.R. Section 73.1675(a). See Explanation in [Exhibit 23] 14. Replacing a directional antenna. Is this application being filed pursuant to 47 C.F.R. No Section 73.1690(c)(2) to replace a directional antenna with another directional antenna?

If "Yes" to the above, the applicant certifies the following: a. Measurement of Directional Antenna. The composite measured pattern and measurement No procedures comply with 47 C.F.R. Section 73.1690(c)(2). Exhibit required. See Explanation in [Exhibit 24]

[Exhibit 25] b. Installation of Directional Antenna. The installation of the directional antenna complies No with 47 C.F.R. Section 73.1690(c)(2). Exhibit required. See Explanation in [Exhibit 26]

[Exhibit 27] 15. Deleting contour protection status. Is this application being filed pursuant to 47 C.F.R. No Section 73.1690(c)(6) to delete contour protection status (47 C.F.R. Section 73.215) for a station operating in the nonreserved band (Channels 221-300)? If "Yes" to the above, the applicant certifies that the facility complies with the spacing No

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requirements of 47 C.F.R. Section 73.207. See Explanation in [Exhibit 28]

16. Use a formerly licensed main facility as an auxiliary facility. Is this application being No filed pursuant to 47 C.F.R. Section 73.1675(c)(1) to request authorization to use a formerly licensed main facility as an auxiliary facility and/or change the ERP of the proposed auxiliary facility?

If "Yes" to the above, the applicant certifies the following: a. Auxiliary antenna service area. The proposed auxiliary facility complies with 47 C.F.R. No Section 73.1675(a). See Explanation in [Exhibit 29] b. Environmental Protection Act. The proposed facility is excluded from environmental No processing under 47 C.F.R. Section 1.1 306 (i.e., the facility will not have a significant environmental impact and complies with the maximum permissible radiofrequency See Explanation in electromagnetic exposure limits for controlled and uncontrolled environments). Unless the [Exhibit 30] applicant can determine compliance through the use of the RF worksheets in Appendix A, an Exhibit is required. By checking "Yes" above, the applicant also certifies that it, in coordination with other users of the site, will reduce power or cease operation as necessary to protect persons having access to the site, tower or antenna from radiofrequency electromagnetic exposure in excess of FCC guidelines. 17. Change the license status. Is this application being filed pursuant to 47 C.F.R. Section No 73.1690(c)(9) to change the license status from commercial to noncommercial or from noncommercial to commercial?

If "Yes" to the above, submit an exhibit providing full particulars. For applications changing [Exhibit 31] license status from commercial to noncommercial, include Section II of FCC Form 340 as an exhibit to this application.

PREPARERS CERIFICATION ON PAGE 3 MUST BE COMPLETED AND SIGNED.

Exhibits

Exhibit 6 Description: MAIN STUDIO LOCATION

THE MAIN STUDIO IS LOCATED IN PASADENA, , THE COMMUNITY OF LICENSE.

Attachment 6

Exhibit 7 Description: TRANSMITTER POWER OUTPUT

TPO = ERP/(EFF*GAIN) ERP = 10 KW EFF OF TRANSMISSION LINE = 93.3% GAIN OF ANTENNA = 2.308 TPO = 10/(0.933*2.308) TPO = 4.64 KW

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Attachment 7

Exhibit 8 Description: CONSTRUCTED FACILITY

THE FACILITY WAS CONSTRUCTED AS AUTHORIZED IN THE UNDERLYING CONSTRUCTION PERMIT BMXPED-20120410AAE.

Attachment 8

Exhibit 9 Description: SPECIAL OPERATING CONDITIONS

THE FACILITY WAS CONSTRUCTED IN COMPLIANCE WITH ALL SPECIAL OPERATING CONDITIONS, TERMS, AND OBLIGATIONS DESCRIBED IN THE CONSTRUCTION PERMIT BMXPED-20120410AAE. PLEASE SEE ATTACHMENTS: 1. ANTENNA MANUFACTURER'S PROOF OF PERFORMANCE FOR DIRECTIONAL ANTENNA. 2. AFFIDAVIT OF SURVEYOR. 3. AFFIDAVIT OF ENGINEER. 4. REPORT OF RF FIELD STRENGTH MEASUREMENTS.

THE RELATIVE FIELD STRENGTH OF NEITHER THE MEASURED HORIZONTALLY NOR VERTICALLY POLARIZED RADIATION COMPONENT DOES NOT EXCEED AT ANY AZIMUTH THE VALUE INDICATED ON THE COMPOSITE RADIATION PATTERN AUTHORIZED BY THE CONSTRUCTION PERMIT. THE PRINCIPAL MINIMA BETWEEN 210 AND 290 DEGREES DOES NOT EXCEED 1.6 KW.

THE APPLICANT REQUESTS PROGRAM TEST AUTHORITY.

Attachment 9 Description Exhibit #9, Special Operating Conditions, Attachment #1 - Antenna Proof of Performance Exhibit #9, Special Operating Conditions, Attachment #2 - Surveyor Affidavit Exhibit #9, Special Operating Conditions, Attachment #3 - Installer Affidavit Exhibit #9, Special Operating Conditions, Attachment #4 - RF Field Measurement Report

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RADIOFREQUENCY ELECTROMAGNETIC FIELD

AT KLAX, KKGO AND KPCC TOWER ON FLINT PEAK

FOR PASADENA AREA COMMUNITY COLLEGE

DISTRICT, LICENSEE OF KPCC, CH207B, PASADENA,

CALIFORNIA

JULY 2013

By: BEEM CO. ARCADIA, CA 626 446 3468

ENGINEERING STATEMENT OF JOEL T. SAXBERG

A number of auxiliary FM facilities have been installed on Flint Peak. These facilities are for standby operation purposes. There is only one FM facility that operates from Flint Peak as its main facility and that is KLAX-FM, 33 kW, 29m AGL with a directional ERI antenna.

On the KLAX-FM tower at the top antenna location is KLAX-FM, below this antenna is that of KKGO’s auxiliary antenna which is 35 kW ERP at 18 m AGL. This antenna is vertical polarization only and is used for auxiliary purposes only. The bottom antenna position is KPCC, 10 kW, directional at 8.1 m AGL. Again this antenna is for auxiliary purposes only.

Power Density contributions around the tower base are from the main KLAX-FM antenna. The power density from KLAX-FM is 264 uW/cm² in the direction of the main antenna lobe. This is towards the southwest, south, and toward the southeast. The two auxiliary antennas are normally turned off as their main antennas are located on Mt Wilson. If the two auxiliary antennas are operating along with the main KLAX-FM the added power density around the tower base would be:

KLAX-FM 269 uW/cm² KKGO 50 uW/cm² KPCC 450 uW/cm²

Total 769 uW/cm²

The power density sum is in the direction of the main lobes of the two directional antennas, KLAX-FM and KPCC. KLAX radiates southwest, south and southeast. KPCC radiates in the direction of north, northeast, east, and southeast. Therefore the fields would not add as shown above. The added power density would be expected to be less than the 769 uW/cm² because of the directional characteristics of the individual antennas.

Adding the fields from KLVE and KSCA the on the second monopole would add 35 uW/cm² to the power density at the KLAX monopole. Therefore the total would be 804 uW/cm² or 80% of the MPE for occupation areas. The remaining FM self support structure is 197’ from the KLAX-FM tower and this site has a higher ground elevation and some of the antenna have a lower ERP. The top antenna on the self supporting tower is KROQ with an ERP of 6.5 kW and 41m AGL. It would be categorically excluded from environmental processing as the power density at the tower base is less than 5%. KSWD is combined with KXOS. KSWD has and ERP of 5 KW at 38 M AGL. At the KLAX site we would expect from KSWD a power density of less than 5% or it would be categorically excluded from environmental processing. Two FM contributors would be left, KXOS 35 kW 38m AGL. And KKLA, 9.0 kW, 16m AGL which would produce a power density of 47 uW/cm² at the base of the KLAX-FM monopole. Adding these power densities would yield a total of 816 uW/cm². Assuming all of the FM auxiliary antennas to be radiating the combines power density would be less than 816 uW/cm².

The transmitter site is deemed to be a controlled site. It is fenced and has a locked gate. It would be unusual for all the antennas to be in the radiate mode, however, should they all be turned on. It is believed that the site would meet the FCC guideline requirements for MPE limits for controlled areas.

ENGINEERING CERTIFICATION

JOEL T. SAXBERG deposes and says:

1. That he is President of Broadcast Engineering and Equipment Maintenance Company, "BEEM CO.", radio engineering consultants. BEEM CO. maintains offices at: 2322 S. Second Avenue, Arcadia, CA 91006. Telephone (626) 446-3468

2. That he was graduated from California State University at , February 1966, with a Bachelor of Science degree in Electronic Engineering.

3. That he has submitted many applications to the Federal Communications Commission for broadcast and auxiliary broadcast construction permits and licenses.

4. That his experience in broadcast engineering is a matter of record and he has spent over forty years working in the field of radio engineering.

5. That the attached report was prepared by him or under his direction and supervision. That he believes the facts stated therein to be both true and accurate. Statements that are based on information supplied by others are also believed to be true and accurate.

6. That he has performed field work on AM and FM broadcast transmitting systems throughout this country and continues to provide technical consulting services on a daily basis to broadcasters.

7. That he declares under penalty of perjury the foregoing is true and correct.

Executed 7/19/2013 on Joel T. Saxberg