2020Annual Childrenscertificat
Total Page:16
File Type:pdf, Size:1020Kb
NR NM ROP OP QH%IVJ %IGV`7 NR NM ROP OP QH%IVJ %IGV`7 NR NM ROP OP QH%IVJ %IGV`7 NR NM ROP OP QH%IVJ %IGV`7 %'"!$$( #%& January 27, 2021 Via Electronic Mail Brian Jones Vice President - Operations National Cable Television Cooperative, Inc. [email protected] Dear Brian Jones: Pursuant to Section 17(c) of the Agreement dated January 1, 2016 between National Cable Television Cooperative, Inc., on the one hand, and AMC Network Entertainment LLC (“AMCN”), WEtv LLC, IFC TV LLC, SundanceTV LLC, New Video Channel America, L.L.C. (collectively with AMCN, WEtv LLC, IFC TV LLC and Sundance TV LLC, the “Networks”) and IFC in Theaters LLC, on the other hand, I hereby certify on behalf of the Networks that (i) for the fourth quarter of 2020, all of the linear programming on AMC, IFC, Sundance TV, WE tv, BBC America and BBC World News (the “Services”) was in compliance with the Federal Communications Commission’s closed captioning regulations contained in 47 C.F.R. § 79.1, and (ii) for the 2020 calendar year, none of the Services’ programming was originally produced and broadcast primarily for an audience of children 12 years old and under. Sincerely, Roy Cho SVP, Distribution FIRST 20 3 April, 2020 CHILDREN´S PROGRAMMING AND CLOSED-CAPTIONING RULES CERTIFICATION FOURTH QUARTER 2020 This is to certify that Atresmedia Corporación de Medios de Comunicación, S.A. (hereinafter Atresmedia Corporación), as standard practice, formats and airs all programs and series originally produced and broadcast primarily for an audience of children 12 years old and under aired on the Channel named “Atres Series” so that the total commercial time did not exceed 10.5 minutes per hour on weekends and 12 minutes per hour on weekdays, in compliance with the Children´s Television Act of 1990 and the rules and regulations of the Federal Communications Commission. Moreover, I certify that Atresmedia Corporación is exempt from the closed- captioning requirements set forth by section 79.1 of Title 47 of the Code of Federal Regulations closed captioning because: - Provider´s Annual gross revenues is under $3 million I hereby declare that the foregoing is true and correct Executed this 27th day of january, 2021 Mar Martínez-Raposo General Manager Atresmedia Internacional Avda. Isla Graciosa, 13. 28703 San Sebastián de los Reyes, Madrid. Tel. +34 916 230 500. www.atresmedia.com QUARTERLY CHILDREN’S PROGRAMMING CERTIFICATION Quarter – 20 The undersigned hereby certifies that the programming found on the AXS TV network complied fully with the provisions of the Children’s Television Act of 1990 and the associated rules and regulations of the Federal Communications Commission promulgated thereunder for the period of 1, 20 through 3, 20 HDNet LLC certifies that the above stated status will continue to be the model for The Network. I hereby declare that the foregoing is true and correct. This certification was executed on the 1st day of . By: ___________________________________ _____ Anthonyhony C Cicioneicione VP Operations HDNet LLC 8269 E. 23rd Ave Denver, CO 80238 (303) 542-5600 First Media 3550 Wilshire Blvd, Ste 2010 Los Angeles, CA 90010 //202 NCTC 11200 Corporate Ave. Lenexa, KS 66219 RE: BabyFirst Certificate of Compliance - NCTC This letter certifies that to the best of my knowledge after reasonable review, BFTV, LLC dba BabyFirst, A First Media Company, is in compliance with the “commercial limitations” set forth in the Children’s Television Act of 1990 and Closed Captioning requirements set out under 47 C.F.R. 79.1 and the 21st Century Communications and Video Accessibility Act of 2010 during the quarter of 2020. Additionally, our CALM certification is available at www.babyfirsttv.com under the Company information tab. )P3GI7G II35@76@7G7IEAHAD8EGC3IAEDHP88A5A7DIIE7D34B7 GE3653HI7GIE 5ECFB7I7I@7 @AB6G7DUHGE9G3CCAD907FEGI$EGC8EGI@7"!@3DD7B BBFGE9G3CCAD9FGEQA6768EG4GE3653HIEDI@7HI3IAED6PGAD9I@AHCEDI@R3H5BEH76 53FIAED76 7S57FI8EGI@7FGE9G3CHDEI7647BER3BED9RAI@I@73FFBA534B7$##7S7CFIAED "PGAD9)(GE9G3CC7G3AG76I@78EBBERAD9#% FGE9G3CCAD93AC763I3D3P6A7D57E8I77DHT73GHE83973D6I@7G78EG7I@7GPB7HE8! $ 0 175IAED 8EG5ECC7G5A3BBACAIH3D6R74HAI7GPB7H6EDEI3FFBT !@AB6G7DUH(GE9G3C "3TH3D6IAC7H3AG76 13I 3C#2 13I3C#2 13I 3C#2 13I3C#2 13I3C#2 13I3C#2 !7GIA8A76I@AHI@"3TE8&3DP3GT T0T3D03AD7H !'' This letter is intended to assist The Cowboy Channel affiliates in satisfying their obligations with the Federal Communications Commission’s Television Regulations. The Cowboy Channel hereby certifies that: 1. _ All programming provided during this past calendar quarter, ending , was in compliance with the Federal CommunicationsCommission’s Children’s Television Regulations (including, withoutlimitation, regulations regarding the display of website addresses and/or“host selling” activities “Children’s TV Rules”). OR 2. _X_The Cowboy Channel is not required to comply with the Children’s TV Rules with respect to the Service because (please explain): _The Cowboy Channel doesn’t carry children’s programming at this time. The Cowboy Channel agrees that it will notify affiliates within thirty (30) days of a change in the compliance with the Children’s TV Rules. Sincerely yours, Patrick Gottsch President 49 Music Square West, Suite 301, Nashville, TN 37203 Main 615-227-9292 | Fax 615-296-9822 | www.rfdtv.com COZI NETWORK ANNUAL CERTIFICATION OF COMPLIANCE WITH COMMERCIAL LIMITS IN CHILDREN’S PROGRAMMING January 1, 2020 – December 31, 2020 This certification confirms that during the above-referenced year, Cozi Network (the “Network”) complied with the commercial limits in children’s programming imposed by the FCC as follows: Please check only one: X During 2020, the Network televised no programming originally produced and broadcast primarily for an audience of children 12 years old and younger, and therefore, the commercial limits requirement set forth in Section 73.670 of the FCC’s Rules did not apply. OR ___ During 2020, the Network televised programming originally produced and broadcast primarily for an audience of children 12 years old and younger, and that programming complied with the FCC commercial limits of 10.5 minutes per hour on weekends and 12 minutes per hour on weekdays. *************************** Signed: __ //Diane Hernandez-Feliciano//__ Name: Diane Hernandez-Feliciano Title: Director, Traffic and Program Operations Date: January 6, 2021 SILVER SPRING, MD 20910 January 8, 2021 Children’s Television Act Certification Dear Affiliate: This letter is intended to assist you in satisfying your obligations under the Children’s Television Act of 1990 (the “CTA”) and the FCC regulations relating thereto in connection with your carriage of our video programming services (the “Discovery Networks”). The attached schedule lists the Discovery Networks that aired children’s programs (as defined in the CTA) last quarter and identifies the children’s programs aired on each such network. The schedule excludes all networks distributed by Discovery that did not air children’s programs last quarter (Discovery Channel, TLC, Animal Planet, Investigation Discovery, Destination America, Science, American Heroes Channel (formerly Military Channel), Discovery En Español, Discovery Life Channel (formerly Discovery Fit and Health) and MotorTrend (formerly Velocity). Discovery Communications, LLC certifies that, as standard practice, the children’s programs identified on the attached schedule are formatted so that the total commercial time (including local ad avails) is no more than 10.5 minutes per hour on weekends and 12 minutes per hour on weekdays in each quarter of 2020. This is in compliance with the CTA and the rules and regulations of the FCC. We trust that this enables you to satisfy your obligations under the CTA and its regulations in connection with your carriage of the Discovery Networks. Please forward this letter (or copies) to any other appropriate individual(s) in your organization. As always, we appreciate your support. Sincerely, DISCOVERY COMMUNICATIONS, LLC By: _____________________________ Name: _____________________________Elisa Freeman Title: _____________________________EVP %'"!$$( #%& CHILDREN’S PROGRAMMING CERTIFICATION The undersigned hereby certifies to Affiliate that the television programming service currently known as Disney Channel was in compliance in all material respects with the commercial time provisions of the Children’s Television Act of 1990 (the “Act”), as set forth in 47 U.S.C. Section 303a and the rules and regulations of the Federal Communications Commission promulgated thereunder, during the period January 1st, 2020 through December 31st, 2020 (the “Applicable Year”). A list of all programs that Disney Channel considered children’s programming under the Act that aired on Disney Channel during the Applicable Year has been attached as Schedule A hereto and is fully incorporated herein. I hereby declare that the foregoing is true and correct to the best of my knowledge. Executed this ___ day of January, 2021. ABC Cable Networks Group d/b/a Disney Channel Signature: ___________________________ Name: Jane Gould Title: Senior Vice President, Consumer Insights & Programming Strategy Disney Channel, Disney Junior and Disney XD This is a copy. The original is on file at ABC Cable Networks Group d / b / a / Disney Channel offices located