Federal Communications Commission Record DA 95-1584

Federal Communications Commission Record DA 95-1584

10 FCC Red No. 16 Federal Communications Commission Record DA 95-1584 mit accordingly (RM-8182).2 Comments and a counter Before the proposal were also jointly filed by El Mundo Broadcasting Federal Communications Commission Corporation, licensee of Station WKAQ-FM, San Juan, Washington, D.C. 20554 Puerto Rico; Estereotempo, Inc., licensee of Station WIOC- FM, Ponce, Puerto Rico; Radio Redentor, Inc., licensee of Station WERR-FM, Utuado, Puerto Rico; and Aurio Matos, licensee of Station WNNV-FM, Aguada, Puerto Rico MM Docket No. 92-244 ("counterproponents"), proposing the substitution of Chan nel 287B1 for Channel 288A at Aguada, Puerto Rico, and In the Matter of the modification of Station WNNV(FM)©s construction per mit accordingly. Additionally, counterproponents request Amendment of Section 73.202(b), RM-8027 the reallotment of Channel 28 IB from Utuado to Gurabo, Puerto Rico, and the modification of Station WERR-FM©s Table of Allotments, RM-8182 license to reflect the change of community of license. In FM Broadcast Stations. RM-8183 order to accommodate their proposal, counterproponents (Charlotte Amalie, Cruz Bay, propose the substitution of Channel 285B for Channel Frederiksted and Christiansted 284B at San Juan, Puerto Rico; the substitution of Channel Virgin Islands and Aguada, Gurabo, 283B for Channel 286B at Ponce, Puerto Rico; the sub stitution of Channel 267B for Channel 246B and the sub Utuado, San Juan, Ponce and Carolina, stitution of Channel 298B for Channel 282B at Charlotte Puerto Rico)1 Amalie, Virgin Islands; the substitution of Channel 300B for Channel 299B at Carolina, Puerto Rico; the allotment of Channel 282A at Frederiksted, Virgin Islands; and the REPORT AND ORDER allotment of Channel 274A at Christiansted, Virgin Islands (Proceeding Terminated) (RM-8183).3 Comments were filed by Virgin Islands Stereo Communications Corporation ("VISC") and Asociacion Adopted: July 14,1995; Released: July 26, 1995 Puertorriquena Del Este De Los Adventistas Del Septimo Dia ("Adventistas"). Adventistas also filed a supplement to By the Chief, Allocations Branch: its comments.4 Reply comments were filed by petitioner, Paradise, counterproponents, VISC and Radio Redentor, 1. At the request of Robert E. Miller, Jonathan Cohen Inc. VISC also filed further reply comments. Petitioner and Arthur V. Belendiuk, d/b/a Calypso Communications filed a motion for extension of time to file reply ("petitioner"), the Commission has before it the Notice of comments.5 After the pleading cycle closed, Proposed Rule Making, 1 FCC Red 7236 (1992), proposing counterproponents filed a motion for leave to file sup the substitution of Channel 267B for Channel 246B at plemental comments.6 Charlotte Amalie, Virgin Islands, and the modification of 2. Pleadings. In support of its proposal, petitioner states Station WVNX(FM)©s construction permit accordingly that Station WVNX(FM) was granted a construction permit (RM-8027). Petitioner filed comments in support of the (BPH-870707MI) for Channel 246B at Charlotte Amalie, proposal reaffirming its intention to apply for the channel, Virgin Islands. However, petitioner claims it cannot con if allotted. Paradise Broadcasting Corporation ("Paradise"), struct and operate a Class B facility on the channel without permittee of Station WDCM(FM), filed comments and a causing objectionable electrical interference to Channel counterproposal proposing the substitution of Channel 247C, Tortola, British Virgin Islands. Petitioner asserts that 267B for Channel 222B at Cruz Bay, Virgin Islands, and the problem can be eliminated if Station WVNX(FM) op- the modification of Station WDCM(FM)©s construction per 1 The communities of Cruz Bay, Aguada, Gurabo, Utuado, San 4 Adventistas submitted a supplement of an executed affidavit Juan, Ponce, and Carolina, Puerto Rico, have been added to the by its consulting engineer of the technical exhibit (Appendix B) caption. originally filed with its comments. 2 We note that Station WDCM(FM)©s construction permit (File 5 An extension of time for petitioner to file reply comments No. BPH-930106J1) was assigned from Paradise Broadcasting was informally granted on January 19, 1993. Corporation to Jersey Shore Broadcasting Corporation (File No. 6 Although the Commission©s Rules do not contemplate the BAPH-G) on December 28, 1993 and consummated on January filing of pleadings beyond the comment and reply comment 14, 1994. periods, counterproponents© supplemental comments were ac 3 Public Notice of the counterproposals was given on February companied by a motion for leave to file. However, with the 17, 1993, Report No. 1927. withdrawal of the counterproponents© petition, the supplemen The counterproponents filed identical comments and counter tal comments which are in response to VISC©s allegation that proposal in MM Docket Nos. 92-244, 92-245 and 92-247. After two affected parties were not served are now moot and will not the pleading cycles closed, counterproponents filed a consoli be discussed herein. dated notice of withdrawal in all three dockets. An affidavit was After the pleading cycle closed, a letter was also filed by Rich filed by counterproponents stating that no consideration was ard L. Biby ("Biby") of Communications Engineering Services, received in exchange for their withdrawal pursuant to Section refuting petitioner©s representation that Biby had prepared peti 1.420(j)(l) of the Commission©s Rules. We will grant the with tioner©s engineering statement. A motion to strike Biby©s drawal request. Accordingly, responsive pleadings to the coun unauthorized was filed by petitioner. We find that the pleadings terproposal are moot and will not be discussed herein. do not provide us with information of decisional significance. Therefore, in accordance with Section 1.415(d) of the Commis sion©s Rules, we will not accept the unauthorized pleadings. 8111 DA 95-1584 Federal Communications Commission Record 10 FCC Red No. 16 crates on another frequency. Petitioner suggests that Chan 4. In its opposing comments, VISC alleges that the site nel 267B would be an acceptable substitution that satisfies proposed by petitioner for Channel 267B at Charlotte the Commission©s technical requirements. Amalie is "sheltered by mountains" and completely blocks 3. In its counterproposal, Paradise requests the substitu the possibility of any line-of-sight transmission from the St. tion of Channel 2678 for Channel 222B at Cruz Bay, John antenna to Charlotte Amalie. VISC submits a terrain Virgin Islands, to eliminate harmful electrical interference profile demonstrating the shadowing that would result and with Channels 219C and 222B1 in Tortola, British Virgin contends that the site does not provide city grade coverage, Islands. In support of its proposal, Paradise states that the and is, therefore, not in compliance with Section 73.315 of substitution of Channel 267B for Channel 222B at Cruz the Commission©s Rules. VISC argues that petitioner©s con Bay would provide the community with its first local aural tention that Channel 246B at Charlotte Amalie would transmission service. Paradise acknowledges that both peti cause harmful interference with Channel 247C in Tortola, tioner and Paradise seek substitutions of their respective British Virgin Islands, is not valid since petitioner had "full channels to eliminate harmful international electrical inter knowledge" of the Tortola problem.8 Moreover, VISC as ference. However, Paradise asserts that under FM priority serts that an additional station would cause a financial three, a first local aural transmission service at Cruz Bay hardship on existing stations and would best be deferred should be preferred over a ninth local transmission service until such time as it is "economically feasible." Accord at Charlotte Amalie, citing Revision of FM Assignment Poli ingly, VISC concludes that since petitioner knew of the cies and Procedures, 90 FCC 2d 88, 90-93 (1982).7 Paradise possible electrical interference with the Tortola allotment claims that Charlotte Amalie already has eight (three AM at the time its application was filed, petitioner should not and five FM) local transmission services. Paradise main be allowed to use that problem to justify changing chan tains that the Commission has long recognized the impor nels.9 Also, since the substitution of Channel 267B at Char tance of providing a community with its first local aural lotte Amalie would not provide 70 dBu coverage because transmission service, citing Atchison et al, Kansas, 7 FCC of shadowing, VISC urges that petitioner©s proposal be Red 4645 (1992); Alegria I, Inc., 61 RR 2d 136 (1986); denied. 10 Caldwell Broadcasting Corp., 100 FCC 2d 115 (1985); 5. In its reply comments, petitioner argues that VISC©s Alessandro Broadcasting Corp., 99 FCC 2d 1 (1984). Fur opposition to the substitution of Channel 267B at Charlotte ther, Paradise claims that under priority four, Paradise©s Amalie is without merit. Petitioner submits an engineering proposal should prevail over petitioner©s proposal because analysis showing that at reference coordinates 18-21-26 and the public interest would be better served by the substitu 64-56-50, either Channel 267B or Channel 298B, in con- tion of Channel 267B for Channel 222B at Cruz Bay. formance with the various proposals advanced in this pro Additionally, Paradise states that Cruz Bay is the principal ceeding, can be allotted at Charlotte Amalie without city on the island of St. John. As such, maintains Paradise, terrain shadowing limitations. n In addition, petitioner it is the primary source of local information for the resi asserts that coverage of a community is properly addressed dents of the island. In addition, the island©s Medical Cen at the application stage where certification must be made ter, post office, library, government administrative offices, that the 3.16 mV/m contour of a station serves the commu telephone company and other utilities offices, as well as nity without any major terrain obstruction. Petitioner ar several churches, schools and shops are located in Cruz gues that its proposed substitution is in the best interest of Bay.

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