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Upcoming FCC Broadcast Deadlines for May – July

By Anne Goodwin Crump on May 3, 2022
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June 1, 2022

Television License Renewal Applications Due – Applications for renewal of license for television stations located in Arizona, Idaho, Nevada, New Mexico, Utah, and Wyoming must be filed in LMS.  These applications must be accompanied by Schedule 396, the Broadcast EEO Program Report, also filed in LMS, regardless of the number of full-time employees.  Under the new public notice rules, television  stations filing renewal applications must begin broadcasts of their post-filing announcements concerning their license renewal applications between the date the application is accepted for filing and five business days thereafter and must continue for a period of four weeks.  Once complete, a certification of broadcast, with a copy of the announcement’s text, must be posted to the Online Public Inspection File (“OPIF”) within seven days.

EEO Public File Reports – All radio and television station employment units with five or more full-time employees and located in Arizona, the District of Columbia, Idaho, Maryland, Michigan, Nevada, New Mexico, Ohio, Utah, Virginia, West Virginia, and Wyoming must place EEO Public File Reports in their OPIFs. For all stations with websites, the report must be posted there as well. Per announced FCC policy, the reporting period may end ten days before the report is due (May 21), and the reporting period for the next year will begin on the following day.

July 10, 2022

Issues/Programs Lists – For all commercial and noncommercial radio, television, and Class A television stations, listings of each station’s most significant treatment of community issues during the second quarter of 2022 must be placed in the station’s online public inspection file.  The lists should include brief narratives describing the issues covered and the programs which provided the coverage, with information concerning the time, date, duration, and title of each program with a brief description of the program.  The issues may be either local or national, so long as they are of concern to the local community.

Class A Television Stations Continuing Eligibility Documentation – The Commission requires that all Class A Television Stations maintain in their online public inspection files documentation sufficient to demonstrate that the station is continuing to meet the eligibility requirements of broadcasting at least 18 hours per day and broadcasting an average of at least three hours per week of locally produced programming.  While the Commission has given no guidance as to what this documentation must include or when it must be added to the public file, we believe that a quarterly certification which states that the station continues to broadcast at least 18 hours per day, that it broadcasts on average at least three hours per week of locally produced programming, and lists the titles of such locally produced programs should be sufficient.

Photo of Anne Goodwin Crump Anne Goodwin Crump

Mrs. Crump has represented both commercial and non-commercial clients in a variety of transactional and regulatory matters. These have included guiding clients through the purchase and sale of broadcast stations, assisting with the license renewal process, and advising on the DTV and repack…

Mrs. Crump has represented both commercial and non-commercial clients in a variety of transactional and regulatory matters. These have included guiding clients through the purchase and sale of broadcast stations, assisting with the license renewal process, and advising on the DTV and repack transition processes. She also has assisted clients with day-to-day regulatory matters, including political broadcasting, children’s television matters, EEO reports and audits, and helps clients develop strategies for meeting their goals while complying with FCC rules.

Mrs. Crump has filed comments on behalf of clients in a variety of FCC rulemaking proceedings, which have included both broad policy issues, such as ownership regulations and broadcast localism, and station-specific matters, such as non-routine changes in community of license. She also has engaged in written advocacy for clients, whether arising from contested transactions or FM translator interference issues, or other matters.

Read more about Anne Goodwin CrumpEmail
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  • Posted in:
    Communications, Media & Entertainment
  • Blog:
    CommLawBlog
  • Organization:
    Fletcher, Heald & Hildreth, PLC
  • Article: View Original Source

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