FCC Web Documents citing 1.16
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- information about felony convictions. (Footnote omitted.) By filing renewal-only applications rather than renewal/modification applications, CRS failed to provide information to the Commission about Mr. Doty's felony convictions that it was otherwise required to disclose.''] Show Cause Order, supra, note 7. See 47 U.S.C. § 309(d)(1). See id. Id. Supplement at 7. See Motion at 5. See id at 6. Section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, allows a declaration under penalty of perjury in lieu of an affidavit. For the purposes of the instant order, we will conclude that Ms. Black intended her ``verification'' to be a declaration pursuant to Section 1.16. As noted supra however, the verification fails even when so considered. 47 C.F.R. § 1.939(d). See
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- by an authorized officer of the Company with personal knowledge of the representations therein, verifying that Covad has complied with the terms of this Consent Decree. The declaration shall be submitted to Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. Within five business days after the Adopting Order becomes a Final Order, Covad agrees that it shall make a voluntary contribution to the United States Treasury in the amount of $35,000. The payment shall be made by check or similar instrument, payable to
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- Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission to P.J. Moody, Controller, Communication Options, Inc. (Aug. 28, 2006). See Letter from P.J. Moody, Controller, Communication Options, Inc. to David Janas, Special Counsel, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, dated August 30, 2006, (``LOI Response''). LOI at 9 (directing COI to comply with 47 C.F.R. § 1.16). 47 U.S.C. § 503(b)(1)(B); 47 C.F.R. § 1.80(a)(1); see also 47 U.S.C. § 503(b)(1)(D) (forfeitures for violation of 14 U.S.C. § 1464). 47 U.S.C. § 312(f)(1). H.R. Rep. No. 97-765, 97th Cong. 2d Sess. 51 (1982). See, e.g., Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388 (1991) (``Southern California Broadcasting Co.''). See, e.g., Callais Cablevision,
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- Annual Report. Twelve (12) months and twenty-four (24) months after the Effective Date, TELUS shall submit an affidavit or declaration under penalty of perjury, signed and dated by an authorized representative of TELUS with personal knowledge of the representations therein, verifying that TELUS has complied with the terms of this Consent Decree. The declaration or affidavit must comply with Section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein The declaration shall be submitted to Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. Termination. TELUS' obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. The Commission agrees that in
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- Enforcement Division Enforcement Bureau Letter from Kathryn S.Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, to Mr. Anthony Gallagher, President, Digital Antenna, Inc. (November 5, 2007). Response from Anthony Gallagher, President, Digital Antenna, Inc., to Kathryn Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau , Federal Communications Commission (November 6, 2007) (``response''). Id. at 2. Id. 47 C.F.R. § 1.16. Letter from Kathryn S. Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, to Mr. Anthony Gallagher, President, Digital Antenna, Inc. (February 4, 2008). Response from Anthony Gallagher, President, Digital Antenna, Inc., to Kathryn Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission (February 15, 2008) (``second LOI response''). Although the second LOI response was dated February 15,
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- signed and dated by an authorized officer of USWDI with personal knowledge of the representations therein, verifying that USWDI has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. Termination. USWDI's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. The Bureau agrees that in the absence of new material evidence, it will not use the facts developed in this Investigation through the Effective Date, or the existence
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- David Janas, Special Counsel, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, dated August 23, 2006. Letter from Trent Harkrader, Acting Deputy Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission to P.J. Moody, Controller, Communication Options, Inc. (Aug. 28, 2006). See LOI Response, supra note 4. LOI at 9 (directing COI to comply with 47 C.F.R. § 1.16). COI NAL, supra note 3. Id. at ¶ 24. 47 U.S.C. § 503(b)(1)(B). 47 U.S.C. § 312(f)(1). H.R. Rep. No. 97-765, 97th Cong. 2d Sess. 51 (1982). See, e.g., Application for Review of Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388, ¶ 5 (1991) (``Southern California Broadcasting Co.''). See, e.g., Callais Cablevision, Inc., Grand Isle,
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- and dated by an authorized officer of T-Mobile with personal knowledge of the representations therein, verifying that T-Mobile has complied with the terms of this Consent Decree. The affidavit or declaration shall be submitted to the Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The affidavit or declaration must comply with Section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. Termination. The provisions of this paragraph shall remain in effect for two (2) years from the Effective Date. Section 208 Complaints; Subsequent Investigations. Nothing in this Consent Decree shall prevent the Commission or its delegated authority from adjudicating any formal or informal complaint
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- signed and dated by an authorized officer of ARINC with personal knowledge of the representations therein, verifying that ARINC has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. Termination. ARINC's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. Voluntary Contribution. ARINC agrees that it will make a voluntary contribution to the United States Treasury in the amount of Fifteen Thousand Dollars ($15,000.00). The payment will be
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- and Sections 2.803 and 15.205(a) of the Commission's Rules (``Rules''). As explained below, future violations of the Commission's rules in this regard may subject your company to monetary forfeitures. In March 2008, the Spectrum Enforcement Division of the Enforcement Bureau (``Division'') received a complaint alleging that Spy Camera was marketing unauthorized wireless video transmitters that operate in the 1.08, 1.12, 1.16 and 1.2 GHz bands. We initiated an investigation and on May 13, 2008, we sent a Letter of Inquiry (``LOI'') to Spy Camera. In your June 9, 2008 response to our LOI, you admit marketing wireless video transmitters beginning in early 2006 on your web site, www.spycameras.com, to end users and resellers. You admit that these wireless video transmitters all
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- signed and dated by an authorized officer of Hughes with personal knowledge of the representations therein, verifying that Hughes has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. Termination. Hughes's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. Voluntary Contribution. Hughes agrees that it will make a voluntary contribution to the United States Treasury in the amount of twelve thousand dollars ($12,000.00). The payment will be
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- IT IS FURTHER ORDERED that within thirty days of the release of this NAL that Indianapolis Community Television Inc. SHALL FILE a written statement concerning the steps that it has taken to come into compliance with the staffing requirements for its main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. Payment of the forfeiture must be made by check or
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- with any questions regarding payment procedures. CruiseEmail will also send electronic notification to Ricardo Durham at Ricardo.Durham@fcc.gov and Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. 13.
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- was submitted; and (3) is not aware of any instances of non-compliance. If the Compliance Official is not able to so certify, he shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Commission's rules, and be substantially in the form set forth therein. (e) Self-Disclosure. QCC will report any occurrences of non-compliance with the terms and conditions of this Consent Decree, with section 276 of the Act, and with the Commission's rules and regulations regarding the obligations of telecommunications service providers to transmit payphone-specific coding digits, within 60 days after
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- forfeiture. with any questions regarding payment procedures. Wi-Ex will also send electronic notification on the date said payment is made to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. The Commission
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- forfeiture. with any questions regarding payment procedures. Cellphone-Mate will also send electronic notification on the date said payment is made to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. The Commission
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- with any questions regarding payment procedures. Alpheus will also send electronic notification on the date said payment is made to Kathryn Berthot at Kathy.Berthot@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The response should also be e-mailed to Kathryn Berthot at Kathy.Berthot@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. The
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Verizon will also send electronic notification on the date said payment is made to Jennifer.Burton@fcc.gov and JoAnn.Lucanik@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Jennifer Burton at Jennifer.Burton@fcc.gov. The Commission
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- ensure compliance with the terms and conditions of this Consent Decree and with section 20.19 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Huawei, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- ensure compliance with the terms and conditions of this Consent Decree and with section 20.19 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Qomo, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- conditions of this Consent Decree, and with Sections 2.803(a) and 87.199(f) of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that Kannad has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) that Kannad is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Kannad, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- Email: arinquiries@fcc.gov with any questions regarding payment procedures. Oklahoma Independent RSA 5 Partnership will also send electronic notification on the date said payment is made to Kathy Berthot at Kathy.Berthot@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Kathy Berthot at Kathy.Berthot@fcc.gov. The Commission will not consider reducing or
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- any questions regarding payment procedures. TX-10 Licensee, LLC will also send electronic notification on the date said payment is made to Kathy Berthot at Kathy.Berthot@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The response should also be emailed to Kathy Berthot at Kathy.Berthot@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. The Commission
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- with the Sponsorship Identification Laws or this Consent Decree, what steps it has taken to resolve those difficulties, and the success of those steps in doing so. All compliance reports shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, Room 4-C330, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Commission's rules and be substantially in the form set forth therein. Termination Date. Unless stated otherwise, the requirements of the Compliance Plan will expire three (3) years after the Effective Date. Voluntary Contribution. Licensee agrees that it will make a voluntary contribution to the United States Treasury in the amount of Twenty-One Thousand Dollars ($21,000.00). The payment will
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- the Act, Rules or FCC orders. If the Compliance Director or other equivalent Company Officer is not able to so certify, he or she shall explain fully the reason(s) therefor. All Compliance Reports shall be directed to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with Section 1.16 of the Rules, and be substantially in the form set forth therein. (b) Self-Disclosure. The Company shall report any known (following an internal review) violations of the Act, Rules or orders, within thirty (30) calendar days of discovery to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The Company shall likewise
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- the Rules together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) Globalstar has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with either this Consent Decree or the Act, Rules, or Commission Orders. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Globalstar, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- and conditions of this Consent Decree and with Section 310 of the Act and Section 73.3540 of the Commission's Rules, together with an accompanying statement explaining the basis for the certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that LIU has taken or
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- conditions of this Consent Decree and with Section 310 of the Act and Section 73.3540 of the Commission's Rules, together with an accompanying statement explaining the basis for the compliance certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certifications shall comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the President of Peconic cannot provide the requisite certification, he/she, as an agent of and on behalf of Peconic, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the
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- operating procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Callaway, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- (i) has established operating procedures intended to ensure compliance with the terms and conditions of this Consent Decree, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of VisionTek, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- any questions regarding payment procedures. TCM also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn.Lucanik@ fcc.gov and to Jacqui.Johnson@fcc.gov. The Commission will not consider reducing
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. IDT also shall send electronic notification to Sam.Peoples@fcc.gov and Ricardo.Durham@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Sam Peoples at Sam.Peoples@fcc.gov. The Commission
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- ARINQUIRIES@fcc.gov with any questions regarding payment procedures. MGA also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov. The Commission
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2047A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2047A1.pdf
- the Termination Date. Each Compliance Report will include a certification by the Compliance Officer that Delta is, and at all times since the previous Compliance Report was submitted has been, in compliance with the terms and conditions of this Consent Decree and with Section 310(d) of the Act and Section 1.948 of the Rules. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer is not able to so certify, he shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington,
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- ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Cbeyond also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov. The Commission
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2068A2.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2068A2.pdf
- officer is not able to so certify, he or she shall explain fully the reasons therefor. (b) All Compliance Reports and other disclosures required by this Consent Decree shall be in writing and shall be directed to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554. The certification must comply with Section 1.16 of the Rules and must be substantially in the form set forth therein. Voluntary Contribution. Verizon Wireless agrees to make a voluntary contribution to the U.S. Treasury in the amount of twenty-five million dollars ($25,000,000). The payment must be made by check or similar instrument, payable to the order of the Federal Communications Commission within five (5) days after the
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- seeking reduction or cancellation of the proposed forfeiture. . Mapleton License of San Luis Obispo, LLC, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- 301 and 310(d) of the Act, and sections 25.102, 25.119 and 25.121(e) of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) Shared Data has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that Shared Data has taken
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- ensure compliance with the terms and conditions of this Consent Decree and with Part 52 of the Rules, together with an accompanying statement explaining the basis for the officer's compliance certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of PTI Pacifica, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) Norlight has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with either the Consent Decree or Section 4.9 of the Rules. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Norlight, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- Decree together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures for the entire term of the Consent Decree; and (iii) the officer is not aware of any instances of non-compliance with this Consent Decree that have not otherwise been disclosed pursuant to subsection (C) above. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. Such certification must be mailed within fifteen (15) days of the one (1) and the two (2) year anniversary, and AT&T must mail its certification to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W.,
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- any questions regarding payment procedures. Lightyear also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn.Lucanik@fcc.gov and to Jacqui.Johnson@fcc.gov. The Commission will not consider reducing or
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- the Rules, together with an accompanying statement explaining the basis for the certification; (ii) Liberty-Bell has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act and the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and those specified sections of the Act and the Rules, and (ii)
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- regarding payment procedures. East Buchanan Telephone Cooperative must also send electronic notification on the date said payment is made to Ricardo Durham at Ricardo.Durham@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. Number referenced in the caption. The statement must also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. The
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2276A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2276A1.pdf
- the release date of this NAL. The statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Portland Resident Agent Office, P.O. Box 61469, Vancouver, Washington, 98666-1469. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Portland Resident Agent Office, P.O. Box 61469, Vancouver, Washington, 98666-1469 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a claim
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2290A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2290A1.pdf
- Decree, and with sections 2.803(a), 2.925, and 15.204(d)(1), (2) of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that RF Linx has been utilizing those procedures since the commencement of the Compliance Plan; and (iii) that RF Linx is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of RF Linx, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that XO has been utilizing those procedures since the development of the Compliance Plan, and in any event no later than thirty (30) days after the Effective Date; and (iii) that XO is not aware of any instances of noncompliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of XO, shall provide the Commission with a detailed explanation of: (i) any instances of noncompliance with this Consent Decree or
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- compliance with the terms and conditions of this Consent Decree, the Underwriting Laws, and the Sponsorship Identification Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
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- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. BASF Corporation must also send electronic notification to Ricardo.Durham@fcc.gov and to Linda.Nagel@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Ricardo.Durham@fcc.gov and to Linda.Nagel@fcc.gov. The Commission will not consider reducing or
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2378A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2378A1.pdf
- to ensure compliance with this Consent Decree and with Section 20.19 of the Rules together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) MaxCell has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of MaxCell, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- any questions regarding payment procedures. Sandhill Communications must also send electronic notification on the date said payment is made to Jennifer Burton at Jennifer.Burton@fcc.gov and to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account No. referenced in the caption. The statement must also be emailed to Jennifer Burton at Jennifer.Burton@fcc.gov and to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov. The
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- Telephone Company d/b/a CT Communications, Inc. also shall send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. 15.
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- questions regarding payment procedures. Indigo Wireless, Inc. will also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. The
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2439A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-10-2439A1.pdf
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. STi Prepaid must also send electronic notification on the date said payment is made to Katherine.Power@fcc.gov and Pamera.Hairston@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. The
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- regarding payment procedures. Epic Touch Co., Inc. must also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The
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- Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. The University of San Diego will also send electronic notification on the date said payment is made to Celia.Lewis@fcc.gov and Ricardo.Durham@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Celia Lewis at Celia.Lewis@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. 17. The
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- any questions regarding payment procedures. Lubbock Aero will also send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn.Lucanik@fcc.gov and to Jacqui.Johnson@fcc.gov. The Commission will not consider reducing or
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- of the release of this NAL that Birach Broadcasting Corporation SHALL FILE a written statement concerning the steps that it has taken to reassert control over Station WMFN(AM) Zeeland, Michigan, and to comply with the FCC staffing requirements for Station WMFN(AM)'s main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. Birach Broadcasting Corporation shall also transmit a copy of the
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- of the release of this NAL that Birach Broadcasting Corporation SHALL FILE a written statement concerning the steps that it has taken to reassert control over Station WMJH(AM) Rockford, Michigan, and to comply with the FCC staffing requirements for Station WMJH(AM)'s main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. Birach Broadcasting Corporation shall also transmit a copy of the
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- with any questions regarding payment procedures. Phonejammer.com will also send electronic notification to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. The
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. ACSW will also send electronic notification on the date said payment is made to Peter.Waltonen@fcc.gov and JoAnn.Lucanik@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Peter Waltonen at Peter.Waltonen@fcc.gov. The Commission
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Doro will also send electronic notification on the date said payment is made to Ricardo.Durham@fcc.gov and Linda.Nagel@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. The Commission
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- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. East Kentucky Network will also send electronic notification on the date said payment is made to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Katherine Power at Katherine.Power@fcc.gov. The Commission
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. ZTE will also send electronic notification on the date said payment is made to Susan.Stickley@fcc.gov and Ricardo.Durham@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Susan Stickley at Susan.Stickley@fcc.gov. The Commission
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- regarding payment procedures. TCT Mobile will also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Kevin M. Pittman at Kevin.Pittman@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Kevin M. Pittman at Kevin.Pittman@fcc.gov.
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Locus will also send electronic notification on the date said payment is made to Karen.Mercer@fcc.gov and JoAnn.Lucanik@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen.Mercer@fcc.gov. The Commission will not consider
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- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Airo will also send electronic notification on the date said payment is made to Holly.Berland@fcc.gov and JoAnn.Lucanik@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, , if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Ava Holly Berland at Holly.Berland@fcc.gov. The
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- of this Notice, Fox Television Stations, Inc. SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. Payment of the forfeiture must be made by check or similar instrument, payable to the order of the Federal Communications Commission. The payment must include the NAL/Account Number and FRN Number referenced above. Payment by check or money order may be mailed to Federal Communications Commission, P.O. Box 979088, St. Louis, MO 63197-9000. Payment by overnight
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- the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(f) hereof. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of CBW, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that CBW
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- established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of SBI, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
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- international Section 214 authority from its attorney but it could find no record that the application was filed with the Commission. See File No. ITC-STA-20100319-00118. Id. See International Authorizations Granted, Public Notice, Rep. No. TEL-01422, DA No. 10-678 (rel. April 22, 2010). See LOI. See LOI Response. See 47 U.S.C. § 214; 47 C.F.R. § 63.18. See 47 C.F.R. § 1.16. See 47 U.S.C. § 214; 47 C.F.R. § 63.18. Federal Communications Commission DA 11-1058 Federal Communications Commission DA 11-1058 ù ë ë ¶ · ¶ · 0 ¶ · 0 ë ˆ „È È ^„È „È È ^„È ˆ ¤
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- number 24A (payment type code). América Móvil, S.A.B. de C.V. will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov and Kathy.Berthot@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. The
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- Rules, together with an accompanying statement explaining the basis for the certification; (ii) DRS Technologies has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act or the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and those specified sections of the Act and the Rules, and (ii)
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- this Consent Decree and with sections 64.1300, 64.1310(a), and 64.1320 of the Rules concerning payphone compensation, together with an accompanying statement explaining the basis for the certification; (ii) Compass Global has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) Compass Global is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she must provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that Compass Global has taken
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- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Licensee-Conducted Contest Rule, together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the officer cannot provide the requisite certification, the officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Licensee-Conducted Contest Rule, together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the officer cannot provide the requisite certification, the officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- § 1.80; Forfeiture Policy Statement, 12 FCC Rcd 17087, 17113 (1997). See also One Call Internet, Inc. Section 214 Transfer of Control of Domestic Transmission Lines Requirements, Order adopting Consent Decree, 18 FCC Rcd 25718 (2003) (setting the voluntary amount at $8,000 for possible unauthorized domestic section 214 transfer of control). 47 U.S.C. § 503(b)(2)(D). See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 11-1183 Federal Communications Commission DA 11-1183 l o $ m 0 0 0
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- and has addressed any instances of non-compliance and taken steps to remedy the cause thereof. Each Compliance Report must be supported by the declaration of an officer as an agent of and on behalf of ReconRobotics with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: a detailed explanation of the non-compliance; the steps ReconRobotics has taken to remedy the non-compliance and ensure future compliance; and the schedule on which the proposed remedial actions
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- statement seeking reduction or cancellation of the proposed forfeiture. . If payment is made, HK Media, Inc. will send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., Suite # 660, Los Angeles, CA 90703 and include the NAL/Acct. No. referenced in the caption. HK Media, Inc. shall also email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response
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- Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. §1.80. 47 U.S.C. § 503(b)(2)(E). See infra ¶ 5. See infra n.16. 47 U.S.C. §§ 301, 302a(b), 503(b); 47 C.F.R. §§ 0.111, 0.311, 1.80, 15.1(b), 15.1(c). 47 U.S.C. § 333. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1. 80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1311 Federal Communications Commission DA 11-1311 $ F û 0 0
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- U.S.C. § 503(b)(2)(E). See Sling Broadband, LLC, Notice of Unlicensed Operation and Notification of Harmful Interference, Document Number W201032600061 (Enf. Bur. rel. July 20, 2010). See supra ¶¶ 6, 7. See supra ¶ 11. 47 U.S.C. §§ 301, 503(b), 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 15.1(b). 47 U.S.C. § 333. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1312 Federal Communications Commission DA 11-1312 $ $ F A E E 0
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- 15 FCC Rcd 303 (1999); 47 C.F.R. §1.80. 47 U.S.C. § 503(b)(2)(E). See Ayustar Corporation, Forfeiture Order, 25 FCC Rcd 945 (Enf. Bur.), recon. denied, 25 FCC Rcd 16249 (Enf. Bur. 2010). 47 U.S.C. §§ 301, 302a(b), 503(b), 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 15.1(b), 15.1(c). 47 U.S.C. § 333. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1313 Federal Communications Commission DA 11-1313 $ F ù { Ž 0 \:Ÿ
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- § 301. 47 U. S. C. § 154(i). 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314. 47 U. S. C. § 301. 47 U.S.C. § 301. , - t u ± Æ î ü $ $ ¬ $ $ cime, Case No. 09-015722CF VOP, 11-015019CF, 10-017195CF, Application for Criminal Indigent Status, dated Feb. 28, 2011. 47 C.F.R. § 1.16. Federal Communications Commission DA 11-1324 Federal Communications Commission DA 11-1324 Federal Communications Commission DA 11-1324 F ¸ ¹ ¸ ¹ 0 ¸ ¹ 0 Í Ó „È „Lÿ^„È
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- and (3) are not aware of any instances of non-compliance. If the Compliance Officer is not able to so certify, he or she shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Rules, and be substantially in the form set forth therein. Self-Disclosure. Within thirty (30) calendar days of the Compliance Officer or senior executive management becoming aware of the matter (whether from a report from an employee or otherwise), the Companies will report any occurrences of noncompliance with the terms and conditions of this Consent Decree; with section 310(d)
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- the basis for the officer's compliance certification; (ii) has been utilizing those procedures since establishing and implementing the Compliance Plan; and (iii) is not aware of any instances of noncompliance, other than those set forth in paragraph 8(e) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Alpheus, shall provide the Commission with a detailed explanation of: (i) any instances of noncompliance with this Consent Decree, the
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- and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) STi and Progress have been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree, the Act or the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that STi and Progress have
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- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Marshall Amplification PLC will also send electronic notification to Nissa.Laughner@fcc.gov and Neal.McNeil@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability
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- 47 C.F.R. § 1.80(b)(4). See also Gabriel A. Garcia, Notice of Apparent Liability for Forfeiture, 26 FCC Rcd 3750 (Enf. Bur. 2011) (upward adjustment warranted for unlicensed operation which resulted in interference to public safety radio operations). 47 U.S.C. §§ 301, 333, 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1475 Federal Communications Commission DA 11-1475 $ Æ Æ F
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- and (3) are not aware of any instances of non-compliance. If the Compliance Officer is not able to so certify, he or she shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Rules, and be substantially in the form set forth therein. Reporting Non-Compliance. NUI will report to the Bureau any non-compliance with this Consent Decree or sections of the Act, Rules, or Commission Orders that relate to the purchase, sale, acquisition, assignment or transfer of control of NUI or NUI assets, within 15 days after the discovery of non-compliance.
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- determined under this section shall not exceed $16,000 for each violation or each day of a continuing violation, except that the amount assessed for any continuing violation shall not exceed a total of $112,500 for any single act or failure to act.'' 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 1.80. 47 C.F.R. § 1.80. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1491 Federal Communications Commission DA 11-1491 (R) ¯ F 0 0 `j· 'LŠ~`j·
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- ¶ 25. Id.; Teleplus NAL, LLC, Notice of Apparent Liability for Forfeiture, 24 FCC Rcd at 7670-71 ¶ 12; InPhonic NAL, 20 FCC Rcd at 8706 ¶ 41 (2007). See Note 34, supra. See 47 U.S.C. § 503; 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80. See 47 U.S.C. § 214(a); 47 C.F.R. §§ 63.18, 63.04. See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 11-1529 Federal Communications Commission DA 11-1529 º " $ r ø D ] '' t u t u € € € € 0 € € € € € € € € € t u € € € € 0 € € € € € € € € €
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- for Forfeiture, 23 FCC Rcd 12233 (Enf. Bur. 2008) (proposing a $25,000 forfeiture against an interconnected VoIP provider and common carrier for its violation of 1.17(a)(2) of the Commission's Rules). See 47 C.F.R. § 1.80; Forfeiture Policy Statement, 12 FCC Rcd 17087, 17113 (1997). See 47 C.F.R. §§ 1.17, 1.65(a). See 47 C.F.R. § 1.1914. See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 11-1536 Federal Communications Commission DA 11-1536 ( / * $ ï y ñ ñ € € € € € € € € ñ 0 ñ 0
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- recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). See Eleuterio Lebron, Notice of Unlicensed Operation (Enf. Bur., San Juan Office, rel. March 2, 2010). b c e $ Æ Q(Enf. Bur. 2010). 47 U.S.C. § 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 11 -1578 Federal Communications Commission DA 11 -1578 F „
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Scottsdale Lexus will also send electronic notification to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov.on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. The Commission
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Airadigm, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- arinquiries@fcc.gov with any questions regarding payment procedures. Pace must also send electronic notification on the date said payment is made to Pamera Hairston at Pamera.Hairston@fcc.gov and Katherine Power at Katherine.Power@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and Katherine Power at Katherine.Power@fcc.gov The Commission
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- Consent Decree and section 214 of the Act and sections 63.03, 63.04, 63.18, and 63.24 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- normally be grounds for an upward adjustment, but because of the system's small number of subscribers, we will refrain from doing so in this case. Future violations of our EAS rules, however, may be subject to larger penalties. 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80, 11.35(a). See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1721 Federal Communications Commission DA 11-1721 $ Æ Æ F d c c é é c c é é
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- and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 301, 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). Federal Communications Commission DA 11-1722 Federal Communications Commission DA 11-1722 7 Ÿ c à ó
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- SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . P&Y Broadcasting Corporation shall send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., Suite 660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. P&Y Broadcasting Corporation shall also email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a
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- 13740 (Enf. Bur. 2010) (petition for reconsideration pending); Loyd Morris, Forfeiture Order, 26 FCC Rcd 6856 (Enf. Bur. 2011), aff'g Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur 2010) (petition for reconsideration pending). j k $ n o o 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 11-1750 Federal Communications Commission DA 11-1750 F 0 o
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- of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. See 47 U.S.C. § 503(b)(2)(E). See 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80, 11.35(a), 73.1690(b)(2), 73.3527(b)(1). See 47 C.F.R. § 1.1914. See 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 11-1755 Federal Communications Commission DA 11-1755 ) ½ Ç $ ¼ ½ È Æ Æ Æ F ð º Ð 0
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- and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 301, 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). Federal Communications Commission DA 11-1775 Federal Communications Commission DA 11-1775 ‚ $ Æ H 0 0
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- Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 503(b), 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 17.50(a), 73.49. See 47 C.F.R. § 1.1914. See 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 11-1802 Federal Communications Commission DA 11-1802 u x $ F ¦ " Ð Ð € € 0
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- other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that CRNI is apparently liable for a $4,000 forfeiture for failure to operate its station pursuant to the authorized power limits. We further order CRNI to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of CRNI within thirty (30) days of the release date of this NAL that Station KPIO is now in compliance with section 73.1745(a) of the Rules. ORDERING CLAUSES Accordingly, IT IS ORDERED that, pursuant to section 503(b) of the Communications Act of 1934, as amended, and sections
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- Keystone Wireless, LLC d.b.a. Immix Wireless must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau-Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The Commission will
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- seeking reduction or cancellation of the proposed forfeiture. with any questions regarding payment procedures. South Bay Aviation shall send electronic notification to WR-Response@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Road, Suite 660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a
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- with any questions regarding payment procedures. Chariton Valley must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov and Paul Noone at Paul.Noone@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and Paul Noone at Paul.Noone@fcc.gov. The Commission
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- Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997), recon. denied, 15 FCC Rcd 303 (1999) (``Forfeiture Policy Statement''); 47 C.F.R. §1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80, 95.409, 95.411. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (continued....) Federal Communications Commission DA 11-1834 Federal Communications Commission DA 11- 1834 Û è G Í 0 0 K
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of OTZ, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- questions regarding payment procedures. Cricket Communications, Inc. must also send electronic notification on the date said payment is made to Kathy Harvey at Kathy.Harvey@fcc.gov and to Ricardo Durham at Ricardo.Durham@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Kathy Harvey at Kathy.Harvey@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. The Commission
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- proposed forfeiture, per paragraphs 11 and 12. . Custom Interface Technologies, a Division of Thornstar Corporation, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles District Office, 18000 Studebaker Rd., Suite 660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. Custom Interface Technologies, a Division of Thornstar Corporation, also shall email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling
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- SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . Timothy J. Mullen will send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. Timothy J. Mullen shall also email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Sprint, shall provide the Commission with a detailed explanation of: (A) each instance of non-compliance; (B) the steps that Sprint
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Carrier Coach, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Cross Wireless, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that MMG is apparently liable for a forfeiture of $8,000 for its violation of section 11.35 of the Rules. We further order MMG to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of MMG within thirty (30) days of the release date of this NAL that Station KRDD(AM) is now in compliance with section 11.35 of the Rules. ORDERING CLAUSES Accordingly, IT IS ORDERED that, pursuant to section 503(b) of the Communications Act of 1934, as amended, and sections
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- and sections 1.903, 1.948 and 1.949(a) of the Commission's Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since commencement of the Compliance Plan or the previous Compliance Report was submitted, as applicable; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he or she, as an agent of and on behalf of Rio Tinto or Alcan, respectively, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance
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- Rcd. 7589, 7591, ¶ 4 (2002). See 47 U.S.C. 214(a); see also 47 C.F.R. §§ 63.03, 63.04. 47 U.S.C. § 503(b)(2)(E). See 47 C.F.R. § 1.80; Forfeiture Policy Statement, 12 FCC Rcd. 17087, 17113 (1997). 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80. 47 U.S.C. § 214; 47 C.F.R. §§ 63.03, 63.04. See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 11-2012 Federal Communications Commission DA 11-2012 î ï 0 0 9 E
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- Rcd 74, 76 n.23 (Enf. Bur., Spectrum Enf. Div. 2011). The forfeiture amount we propose herein relates only to North Central's apparent violations that have occurred within the past year. 47 C.F.R. § 20.19(d)(3)(ii). 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.311, 1.80. { | Æ kdN 2.R. § 20.19(d)(3)(ii). 47 C.F.R. § 1.80. 47 C.F.R. §§ 1.80(f)(3), 1.16. (continued....) Federal Communications Commission DA 11-2034 Federal Communications Commission DA 11-2034 ª w (R) (R) 0 (R) 0 Ñ
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- regarding payment procedures. Affordable Phone Services, Inc. must also send electronic notification to Samantha Peoples at Sam.Peoples@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Samantha Peoples at Sam.Peoples@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. The Commission
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- Inc. dba Airfire Wireless must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov, Kathy Harvey at Kathy.Harvey@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. The
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- Caprock Cellular Limited Partnership must also send electronic notification to Celia Lewis at Celia.Lewis@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Celia Lewis at Celia.Lewis@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. The Commission
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- Big Sky Mobile must also send electronic notification to Paul Noone at Paul.Noone@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Paul Noone at Paul.Noone@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 17. The
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- Communication, Inc. also must send electronic notification to Nissa Laughner at Nissa Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. 17.
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- Centennial Communications Corporation must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 20. The
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- Holding Company d.b.a. MetTel must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must also be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov.
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- Locus Telecommunications, Inc. must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 20. The
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- procedures. NEP Cellcorp, Inc. must also send electronic notification to Linda Nagel at Linda.Nagel@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Linda Nagel at Linda.Nagel@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. The Commission
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- Maximum Communications Cellular, LLC must also send electronic notification to Jennifer Burton at Jennifer.Burton@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Jennifer Burton at Jennifer.Burton@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. The Commission
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- 1.948 of the Commission's Rules, together with an accompanying statement explaining the basis for the certification; (ii) Turner has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) Turner is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act and Rules. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the FCC Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Act or Rules, and (ii) the steps that
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- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Community Television of Southern California shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- statement as described in paragraph 9 to the New Orleans Office within thirty days of the release date of this Notice of Apparent Liability for Forfeiture and Order. . 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, New Orleans Office, 2424 Edenborn Avenue, Suite 460, Metairie, LA 70001, and must include the NAL/Acct. No. referenced in the caption. 15. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless
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- Notice of Apparent Liability for Forfeiture and Order. with any questions regarding payment procedures. Media East shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Norfolk Office 1457 Mount Pleasant Rd, Suite 113, Chesapeake, Virginia 23322 and must include the NAL/Acct. No. referenced in the caption. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the
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- knowledge that such action violated the rules). On February 10, 11, and 12, 2010, agents from the Tampa Office recorded Mr. Aversa's transmissions. Mr. Aversa discussed various conspiracy theories, sang songs, and described local landmarks, but he did not mention anything about ships in distress. 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 1.80, 80.13; 47 U.S.C. § 301. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 11-232 Federal Communications Commission DA 11 -232 F á ° „ ^„ °
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- and with section 310(d) of the Act and sections 73.3526, 73.3540, 73.3613, and 73.3615 of the Commission's Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; (iii) has filed the required annual Hearing Aid Compatibility Report and updated its public website in a timely manner consistent with the Rules; and (iv) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Pantech, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- Liability for Forfeiture, Cumulus Licensing, LLC SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. , The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. The Commission will not consider reducing or canceling
- http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-11-373A1.doc http://fjallfoss.fcc.gov/edocs_public/attachmatch/DA-11-373A1.pdf
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Pacific Spanish Network, Inc. shall send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, California, 92111, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be emailed to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response
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- late-filed outage reports and taken steps to remedy the cause of the late filings. Each Compliance Report must be supported by the declaration of the Compliance Officer as an agent of and on behalf of AT&T with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: a detailed explanation of the non-compliance; the steps AT&T has taken to remedy the non-compliance and ensure future compliance; and the schedule on which the proposed remedial actions
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- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Underwriting Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
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- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Shubat Transportation Company must also send electronic notification to Ricardo.Durham@fcc.gov and to Celia.Lewis@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Ricardo.Durham@fcc.gov and to Celia.Lewis@fcc.gov. The Commission will not consider reducing or
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- the Cable Landing License Act of 1921, and sections 1.65, 1.767, 1.948, 25.119 and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) AST has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) AST is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that AST has taken or
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- and has addressed any instances of non-compliance and taken steps to remedy the cause thereof. Each Compliance Report must be supported by the declaration of an officer as an agent of and on behalf of Allegiance with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: a detailed explanation of the non-compliance; the steps Allegiance has taken to remedy the non-compliance and ensure future compliance; and the schedule on which the proposed remedial actions
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- with an accompanying statement explaining the basis for the officer's certification; (ii) the Company has been utilizing those procedures for the entire term of the Consent Decree; and (iii) the officer is not aware of any instances of non-compliance with this Consent Decree that have not otherwise been disclosed pursuant to subsection (B) above. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. Such certification must be mailed within fifteen (15) days of the one (1) and the two (2) year anniversary of the Effective Date, and Comcast must mail its certification to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission,
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- Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. (ii) The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of PreSonus, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that PreSonus
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Mattoon Broadcasting Company will also send electronic notification on the date said payment is made to NER-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Chicago District Office, 1550 North Northwest Highway, Room 306, Park Ridge, IL 60068 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to NER-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response
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- Plan for the entire term of the Consent Decree; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree that have not been disclosed as required by Paragraph 11(d) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Sprint, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that Sprint
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- conditions of this Consent Decree, the Unauthorized Transfer of Control Laws, the Underwriting Laws, and the Origination Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree,
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- Liability for Forfeiture, Patrick H. Sickafus SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia District Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. The Commission will not consider reducing or
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- the Act, and sections 63.01, 63.03, 63.04, 63.12, 63.18 and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) PCS and Surry have been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that PCS and Surry have
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- the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Luxul, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that Luxul
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- reduction or cancellation of the proposed forfeiture. with any questions regarding payment procedures. Lazer Licenses, LLC, will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street - Suite 370, San Diego, CA 92111 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response
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- to ensure compliance with the terms and conditions of this Consent Decree and with the Sponsorship Identification Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Station, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- ensure compliance with the terms and conditions of this Consent Decree and with section 73.1206 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Station, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Call Mobile must also send electronic notification to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. The Commission
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- Media Trust, Dennis J. Watkins, Trustee, SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Chicago Office, 1550 North Northwest Highway, Room 306, Park Ridge, Illinois 60068 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in
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- Liability for Forfeiture, Stephen R. Peters SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Columbia Office, 9200 Farm House Lane, Columbia, MD, 21046, and must include the NAL/Acct. No. referenced in the caption. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits: (1)
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- Liability for Forfeiture, Della Jane Woofter SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Columbia Office, 9200 Farm House Lane, Columbia, MD, 21046 and must include the NAL/Acct. No. referenced in the caption. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits: (1)
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- any questions regarding payment procedures. SmartLabs, Inc. will also send electronic notification on the date said payment is made to Kathy Harvey at Kathy.Harvey@fcc.gov and to Neal McNeil at Neal.McNeil@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Kathy Harvey at Kathy.Harvey@fcc.gov and Neal McNeil at Neal.McNeil@fcc.gov. The Commission
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- to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Mr. Ragan is apparently liable for a forfeiture in the amount of seventeen thousand dollars ($17,000). We further order Mr. Ragan to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by Mr. Ragan, stating that he is in full compliance with Section 301and is no longer engaged in the unauthorized operation on frequency 104.9 MHz or any other frequency for which he has no license, and will make his authorized amateur station available for inspection as required by the Rules. This statement
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- and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). & ' $ * + 107 Federal Communications Commission DA 12-107 0
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- pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Casarez is apparently liable for a forfeiture of $8,000 for his violation of Section 11.35 of the Rules. We further order Casarez to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by Casarez stating that Station KCRX(AM) is now in compliance with Section 11.35 of the Rules. This statement must be provided to the San Diego Office at the address listed in paragraph 11 within thirty (30) calendar days of the release of this NAL. ORDERING CLAUSES Accordingly, IT IS ORDERED that, pursuant
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- found to be appropriate given the multiple violations and deliberate disregard for the Act and the Commission's rules. Further, the facts in the 1st NAL indicated that Mr. Fleurinor had been repeatedly informed about the violations since January 2008. 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). Federal Communications Commission DA 12-111 Federal Communications Commission DA 12-111 â ã $ ä 0
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- San Francisco Office 2011) (imposing a $25,000 forfeiture for repeated and willful violations of Section 301; the forfeiture amount included a $15,000 upward adjustment because of the deliberate nature of the violations and the interference caused to FAA operations). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-112 < = Á $ Á  Federal Communications Commission DA 12-112 F 0 0 Á
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- degree of culpability, any history of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that L&R is apparently liable for a forfeiture of $10,000. We direct L&R to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of L&R, stating that Station KPIR is maintaining and making available a complete public inspection file. This statement must be provided to the Dallas Office at the address listed in paragraph 12 within thirty (30) calendar days of the release date of this NAL. ORDERING CLAUSES Accordingly,
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- documentation (including gross revenue figures), and after applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that KM Radio is apparently liable for a $10,000 forfeiture. In addition to the proposed forfeiture, we direct KM Radio to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of KM Radio, stating that the Licensee has repaired its EAS equipment and tower lighting, it is operating its stations within authorized power limits, and it is maintaining two separate and complete public inspection files for Stations KQMG and KQMG-FM. This statement must be provided to the Kansas City Office at the
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- the evidence before us, we find that an upward adjustment of $2,000 is warranted. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Richards TV is apparently liable for a total forfeiture in the amount of $10,000. We direct Richards TV to submit a statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Richards TV stating that its cable system serving Jerusalem, Ohio is now in compliance with Section 11.35 of the Rules. The statement should also state whether Richards TV's cable systems serving Bealsville, Ohio and New Athens, Ohio are in compliance with Section 11.35 of the Rules.
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- Statement and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 503(b), 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 73.3526(e)(12). See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) Federal Communications Commission DA 12-198 Federal Communications Commission DA 12-198 $ Æ F ² 0 ° „ ^„ °
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- before consummating the transactions that transferred control of the authorizations held by HTI. Under these circumstances, we do not believe an upward adjustment of the proposed forfeiture is warranted. 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80. 47 U.S.C. § 1; Cable Landing License Order, 8 FCC Rcd at 7606, para. 6(4). See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 12-211 Federal Communications Commission DA 12-211 Á  ' Ì 0 0 0
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- terms and conditions of this Consent Decree, the Federal Regulatory Reporting and Contribution Rules, and the CPNI Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of BSCI, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of AMS, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that JHT Ventures is apparently liable for a forfeiture in the amount of $4,000. We further order JHT Ventures to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of JHT Ventures, stating that it is operating Station KULF only during daytime hours and consistent with its license authorization. This statement must be provided to the Houston Office at the address listed in paragraph 11, below, within thirty (30) calendar days of the release date of
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- to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Super W is apparently liable for a total forfeiture of $4,000. We also direct Super W to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of Super W, stating the measures it has taken to come into full compliance with Section 73.1350(a) of the Rules. This statement must be provided to the Tampa Office at the address listed in paragraph 12, below, within thirty (30) calendar days of the release date of this NAL. ORDERING CLAUSES Accordingly,
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- as a sufficient deterrent. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Argos is apparently liable for a forfeiture of $25,000 for violations of Section 301 of the Act and Section 15.1(b) of the Rules. Finally, we order Argos to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Argos stating that Argos is now operating all of its U-NII devices in compliance with their equipment authorizations and the Rules. This statement must be provided to the San Juan Office at the address listed in paragraph 19 within thirty (30) calendar days of the release
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- to notify the structure owner promptly in the event of a lighting failure or other malfunction. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Hacienda is apparently liable for a forfeiture in the amount of $4,500. We direct Hacienda to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Hacienda stating that it has submitted an FCC Form 854 to the Commission to update the ownership information for the Antenna Structure. This statement must be provided to the San Juan Office at the address listed in paragraph 11 within thirty (30) calendar days of the
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 11 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Epic Touch, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- Order, 26 FCC Rcd 6856 (Enf. Bur., Northeast Region 2011) (imposing a $15,000 forfeiture for violations of Section 301), aff'g Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur., Boston Office 2010) (petition for reconsideration pending). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) $ (continued....) Federal Communications Commission DA 12-339 Federal Communications Commission DA 12-339 F 0
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- we conclude that Mr. Czura is apparently liable for a total forfeiture of $25,000, consisting of the following: $7,000 for failure to maintain an effective locked fence, $8,000 for failure to install EAS equipment, and $10,000 for failure to maintain and make available a complete public inspection file. We direct Mr. Czura to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury that the licensee has: (1) repaired the locked fence around the base of the antenna tower; (2) placed all of the required contents in Station WNFO's public inspection file; and (3) properly installed Station WNFO's EAS equipment. This statement must be provided to the Atlanta Office at the address listed in paragraph
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- constitutes egregious behavior warranting an upward adjustment of $4,000. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Hoosier is apparently liable for a total forfeiture in the amount of $8,000. We also direct Hoosier to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of Hoosier, reporting on the status of the Station's operations (i.e., whether it is currently broadcasting; if not, an explanation as to why, and when, it has stopped broadcasting) and the location of its transmitter. This statement must be provided to the Chicago Office at the address listed in paragraph 14, below,
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Uniradio, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of ETI, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- has established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that Verizon
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- has established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon Wireless, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification, and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Hawking, shall provide the Commission with a detailed explanation of (i) each instance of non-compliance; (ii) the steps that Hawking
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- Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. §§ 301, 302a(b), 503(b), 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 15.1(b), 15.1(c). 47 U.S.C. § 333. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 12-450 Federal Communications Commission DA 12-450 A B M N O $ C O F / · Ú 4 4 0 + . E L x } Ë Ò
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- 2011) (imposing a $15,000 forfeiture for violations of Section 301), aff'g, Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur., Boston Office 2010) (petition for reconsideration pending). See 47 U.S.C. §§ 401, 501, 503, 510. 47 U.S.C. §§ 301, 303(n), 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-475 Federal Communications Commission DA 12-475 9 : æ é $ F ¦ õ { ¢ õ ¢ 0
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- the Consent Decree; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree that have not been disclosed as required by paragraph 13(I) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must be substantially in the form set forth in Section 1.16 of the Rules. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Reduced Rate Long Distance, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that Reduced Rate Long Distance has taken or will take to remedy such non-compliance, including
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- the Atlanta Office renders its actions egregious and deserving of an upward adjustment of $5,000. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Telava is apparently liable for a total forfeiture in the amount of $15,000. We direct Telava to submit a written statement, pursuant to Section 1.16 of the Rules, in addition to any statement it might submit pursuant to paragraph 12, signed under penalty of perjury by an officer or director of Telava stating that it is currently monitoring the Antenna Structure's lights on a daily basis and that the lights on the Antenna Structure have been restored. If the lights on the Antenna Structure have
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- two years demonstrates a deliberate disregard for the Commission's rules and warrants an upward adjustment of $5,000. Applying the Forfeiture Policy Statement, Section 1.80, and the statutory factors to the instant case, we conclude that Telava is apparently liable for a total forfeiture in the amount of $17,000. We also direct Telava to submit a written statement, pursuant to Section 1.16 of the Rules, in addition to any statement it might submit pursuant to paragraph 18, signed under penalty of perjury by an officer or director of Telava stating that it is currently monitoring the Antenna Structure's lights on a daily basis and that the lights on the Antenna Structure have been restored. If the lights on the Antenna Structure have
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- prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that ERJ Media is apparently liable for a forfeiture in the amount of $4,000. We further order ERJ Media to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of ERJ Media, stating that it is operating Station WOIR at its authorized power levels. This statement must be provided to the Miami Office at the address listed in paragraph 11, below, within thirty (30) calendar days of the release date of this Notice of Apparent Liability
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- of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Classic Cable is apparently liable for a forfeiture in the amount of $10,000. We direct Classic Cable to submit a written statement, pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Classic Cable, stating that the Antenna Structure has been repainted to maintain good visibility. If the Antenna Structure has not yet been cleaned and repainted, we direct Classic Cable to provide a timetable for when the work will be completed. We also direct Classic Cable to
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- of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that James Cable is apparently liable for a forfeiture in the amount of $10,000. We direct James Cable to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of James Cable stating that the Antenna Structure has been painted to maintain good visibility. If the Antenna Structure has not yet been repainted, we direct James Cable to provide a timetable for when the work will be completed. We also direct James Cable to describe the
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- Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance in the Market with this Consent Decree, the Unauthorized Transfer of Control Laws, and the Underwriting Laws. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance in the Market with
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- and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Mobile Phone of Texas, Inc. is apparently liable for a forfeiture in the amount of $10,000. We direct Mobile Phone of Texas, Inc., to submit a written statement, pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Mobile Phone of Texas, Inc., stating that the Antenna Structure and the coaxial cables have been repainted to maintain good visibility of the structure. If the Antenna Structure has not yet been cleaned and repainted, we direct Mobile Phone of Texas, Inc., to provide a timetable
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- adjustments of $2,000 for the public file violation and $1,000 for the unauthorized operation violation are warranted. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Nassau Broadcasting is apparently liable for a $17,000 forfeiture. We also direct Nassau Broadcasting to submit a written statement pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Nassau Broadcasting, stating that it is currently maintaining a public inspection file that is in full compliance with the requirements under section 73.3526 of the Rules, and that it is either operating consistent with its station authorization or has a valid STA. This statement must be
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- entire record and the factors listed above, we find that a forfeiture in the amount of $10,000 is warranted. We also note that Mapleton has not indicated whether the public inspection file for Station KXDZ(FM) has come into compliance with the requirements of Section 73.3526 of the Rules. We therefore order Mapleton to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Mapleton within thirty (30) calendar days of the release date of this Forfeiture Order that Station KXDZ(FM) is now in compliance with Section 73.3526 of the Rules. IV. ORDERING CLAUSES ACCORDINGLY, IT IS ORDERED that, pursuant to Section 503(b) of the Communications Act of 1934, as
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- 110 F.3d 816 (D.C. Cir. 1997). Ã Ä $ Æ jƒ , Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). Federal Communications Commission DA 12-60 Federal Communications Commission DA 12-60 `` ½ 2 E 0 0 ÂN¦
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- reports with the commission ninety (90) calendar days after the effective date, twelve (12) months after the Effective Date, and twenty-four (24) months after the Effective Date, and thirty-six (36) months after the Effective Date. of this Consent Decree. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth in Section 1.16. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Telrite, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each
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- The overall record and circumstances of this case does not convince us that a reduction of the forfeiture is warranted; further, we note that the original forfeiture of $13,000 in the NAL has now been reduced to $11,000, thereby reducing the financial penalty imposed against Ace. F. Reporting Requirement We direct Ace to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Ace that it is currently operating its Station with authorized transmitter output power. This statement must be provided to the Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, within thirty (30) calendar days of
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- necessary measures to achieve full compliance with the CPNI Rules; and (iv) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 14 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Ztar, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- in the amount of $1,400 is appropriate. Applying the Forfeiture Policy Statement, Section 1.80, and the statutory factors to the instant case, we conclude that US Jetting is apparently liable for a $8,400 forfeiture for marketing one model of an unauthorized radio frequency device in the United States. We order US Jetting to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of the company stating that it is no longer marketing the unauthorized wireless handheld controller and describing the disposition of the remaining inventory of the device. This statement must be provided to the Enforcement Bureau at the address listed in paragraph 13 within thirty (30) calendar days
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- of this Consent Decree and Section 214 of the Act and Sections 63.03 and 63.04 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- see also supra note 18. . . . See supra note 36. 47 U.S.C. § 214(a); 47 C.F.R. § 63.18. id. 4939-40, ¶¶ 72-74. See supra note 36. See 47 U.S.C. § 503; 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80. See 47 U.S.C. § 214(a); 47 C.F.R. §§ 63.18, 63.04. See 47 C.F.R. § 1.80. See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 12-65 Federal Communications Commission DA 12-65 { | ý ^„¦ÿ $ [ 0 0 0 @ ´ l
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- Koger Blvd. Suite 320 Duluth, GA 30096. or call the Consumer & Governmental Affairs Bureau: For sign language interpreters, CART, and other reasonable accommodations: 202-418-0530 (voice), 202-418-0432 (tty); For accessible format materials (braille, large print, electronic files, and audio format): 202-418-0531 (voice), 202-418-7365 (tty). VI. REPORTING REQUIREMENT Pursuant to Sections 4(i), 4(j), and 403 of the Communications Act and Section 1.16 of the Rules, we also direct North Chapel to submit within thirty (30) calendar days after the release date of this Citation a statement signed under penalty of perjury stating that it has updated the ownership information in the ASR database for the Antenna Structures, repainted all of the Antenna Structures and repaired any lighting outages on the Antenna Structures.
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- and the statutory factors to the instant case, we conclude that Mr. Davis is apparently liable for a total forfeiture of $13,000, consisting of the following: $10,000 for violations of Sections 17.48(a), 17.50, and 17.51(a) of the Rules and $3,000 for violation of Section 17.57 of the Rules. We direct Mr. Davis to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by Mr. Davis, stating that he has updated the ownership information for the Antenna Structure in the ASR database and that he has complied with the Commission's antenna structure painting and lighting requirements. The statement should specify any steps taken to come into compliance, including the timeframe for the repair or replacement
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- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 11 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Fisher, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each instance
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- SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . Mt. Rushmore Broadcasting, Inc., will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Denver Office, 215 S. Wadsworth Blvd., # 303, Lakewood, Colorado 80226, and include the NAL/Acct. No. referenced in the caption. Mt. Rushmore Broadcasting, Inc., also shall email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in
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- 98666-1469. Pacific Empire Radio Corporation shall also e-mail the written statement to WR-Response@fcc.gov. . Pacific Empire Radio Corporation will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Portland Resident Agent Office, P.O. Box 61469,Vancouver, Washington 98666-1469, and include the NAL/Acct. No. referenced in the caption. Pacific Empire Radio Corporation shall also email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to
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- Policy Statement and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. §1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204 0.311, 0.314, 1.80, 73.49. See 47 C.F.R. §1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-800 Federal Communications Commission DA 12-800 Æ F C y „\ \ ^„\
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- the Forfeiture Policy Statement, Section 1.80 of the rules, and the statutory factors to the instant case, we conclude that Quinn is apparently liable for a total forfeiture of $16,000, consisting of $10,000 for violation of the public file rule and $6,000 for failing to file required forms and information. We direct Quinn to submit a statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Quinn stating that: (1) the Radio issues/program lists are being compiled, and (2) the Radio issues/program lists are being placed in the Stations' public inspection files by the tenth day of the succeeding calendar quarter. This statement must be provided to the Philadelphia Office at the
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 14 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon Wireless, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each instance
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- history of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Birach is apparently liable for a total forfeiture in the amount of $17,000. We further direct Birach to submit a statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Birach stating that (1) an effective locked fence has been installed around the Antenna Structure, (2) the radio issues/program lists have been compiled, and (3) the issues/program lists have been and are continuing to be placed in the public inspection file by the tenth day of
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Horvath, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80, 73.1745(a). See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-872 Federal Communications Commission DA 12-872 É Ê $ É Ê Æ F ü P Q P Q 0
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- prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Martin Broadcasting is apparently liable for a total forfeiture in the amount of $10,000. We direct Martin Broadcasting to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Martin Broadcasting, stating that the lights on the Antenna Structure have been restored, including the date of restoration, or setting forth the timeframe for when the lights on the Antenna Structure will be repaired or replaced. In addition, an officer or director of Martin Broadcasting shall
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- Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. §§ 503(b), 301; 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80, 1.903(a). See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-875 Federal Communications Commission DA 12-875 $ Æ Æ Æ Æ F 4 5 4 5 0 0
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- Luis Ernesto Rivas, Jr., Notice of Unlicensed Operation (Enf. Bur. rel. Nov. 6, 2007) (on file in EB-07-MA-079). / 0 Æ =aff'g, Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur. 2010) (petition for reconsideration pending). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). Federal Communications Commission DA 12-876 Federal Communications Commission DA 12-876 ð ö 0
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- Order, 26 FCC Rcd 6856 (Enf. Bur., Northeast Region 2011) (imposing a $15,000 forfeiture for violations of Section 301), aff'g, Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur., Boston Office 2010) (petition for reconsideration pending). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). s t $ F(...continued from previous page) (continued....) Federal Communications Commission DA 12-888 Federal Communications Commission DA 12-888 F b ± ë 0 0
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- File No. ITC-214-20090624-00301. International Authorizations Granted, Public Notice, 25 FCC Rcd 1860 (FCC/IB 2010). During the pendency of this application for international Section 214 authorization, StanaCard was granted special temporary authority to provide international service. See IBFS File Nos. ITC-STA-20090625-00304, ITC-STA-20090902-00407, ITC-STA-20091106-00467, ITC-STA-20100105-00005. 47 C.F.R. § 64.1195(g). 47 U.S.C. §§ 214, 225. 47 C.F.R. §§ 63.18, 64.604(c)(5)(iii)(A), 64.1195(a). Id. § 1.16. 47 U.S.C. §§ 214, 225. 47 C.F.R. §§ 63.18, 64.604(c)(5)(iii)(A), 64.1195(a). Federal Communications Commission DA 12-8 Federal Communications Commission DA 12-8 Federal Communications Commission DA 12-8 Federal Communications Commission DA 12-8 E E w x È É w x È É w x È É 0 w x È É 0 0 0 E „È È ^„È „È È
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- outage reports and taken steps to remedy the cause of the late filings. Each Compliance Report will be supported by the declaration of the Compliance Officer as an agent of and on behalf of Level 3 with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration will comply with Section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: a detailed explanation of the non-compliance; the steps Level 3 has taken to remedy the non-compliance and ensure future compliance; and the schedule on which the proposed remedial
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- ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Birach is apparently liable for a total forfeiture in the amount of four thousand dollars ($4,000). We further order Birach to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Birach stating that it is operating Station WOAP in compliance with Section 73.1745(a) of the Rules. This statement must be provided to the Detroit Office at the address listed in paragraph 14, below, within thirty (30) calendar days of the release date of this NAL. ORDERING
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- forfeiture was significantly less than that applicable to broadcast licensees and common carriers. Amendment of Section 1.17 of the Commission's Rules Concerning Truthful Statements to the Commission, Notice of Proposed Rulemaking, 17 FCC Rcd 3296, 3297, para. 3 (2002). 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.17(a)(2), 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (continued....) Federal Communications Commission DA 12-931 Federal Communications Commission DA 12-931 ä # ' 2 €' ' ' ' ' 0
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- not order the station to submit another sworn statement about its compliance with our public file rules, but instead will conduct a follow-up inspection at an undisclosed time. Any additional violations may be subject to more significant monetary penalties. 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80, 73.3526. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-933 Federal Communications Commission DA 12-933 ß à Æ F ` ³
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- for reconsideration pending); Loyd Morris, Forfeiture Order, 26 FCC Rcd 6856 (Enf. Bur. 2011), aff'g, Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur. 2010) (petition for reconsideration pending). ? @ ý ÿ ÿ Æ 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-939 Federal Communications Commission DA 12-939 F ¤ 5 J 0
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- obligations set forth in Paragraph 18 hereof. Comcast shall maintain for a period of twelve (12) months following the submission of each Compliance Report the material documents and materials relating to the representations made in each such Compliance Report. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Comcast, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each instance of
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- the U.S. Table. See Unites States Proposals for the Work of the Conference, Document 30-E, dated September 4, 1997, Proposals for Agenda Item 1.9.2, at p.120. See NSF letter to Convener, Ad Hoc 212, dated March 1, 2002. See United States of America Proposals for the Work of the Conference, Document 12-E, dated January 12, 2000, Proposals for agenda item 1.16, entitled ``A proposal to modify the allocations above 71 GHz,'' at pp. 31-67. See also Letter from Associate Administrator, Office of Spectrum Management, NTIA, U.S. Department of Commerce, to Acting Chief, Office of Engineering and Technology, FCC, dated July 18, 2001. The radio frequencies of interest for the RAS depend on the characteristics of the object studied. Celestial radio sources
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- and dated by an authorized officer of Verizon with personal knowledge of the representations therein, verifying that Verizon has complied with the terms of this Consent Decree. The declaration shall be submitted to Kathryn S. Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with Section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. D. Termination. The provisions of this paragraph shall remain in effect for two (2) years from the Effective Date. The Commission agrees that, in the absence of new material evidence, it will not institute, on its own motion or in response to third-party
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- Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Radio License Holding XI, LLC must also send electronic notification on the date said payment is made to Terry.Cavanaugh@fcc.gov, Anjali.Singh@fcc.gov, and Melissa.Marshall@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement shall be mailed to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Terry.Cavanaugh@fcc.gov, Anjali.Singh@fcc.gov, and Melissa.Marshall@fcc.gov. The Commission will not
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- number 800-453-4220 in the carrier's records). (last visited Jan. 26, 2012). Citation from Kurt A. Schroeder, Deputy Chief, Telecommunications Consumers Division, Enforcement Bureau, File No. EB-07-TC-2584, to Collection Elements, ATTN: Tammy Pocknett, dated July 6, 2007. 47 U.S.C. § 503(b). 47 C.F.R. § 1.80. 47 U.S.C. § 227(b)(1)(C). 47 C.F.R. § 64.1200(a)(3). 47 C.F.R. § 1.80. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission FCC 12-23 Federal Communications Commission FCC 12-23 kd} ó & @ Z t Ž (c) Ã Þ 'I'z'"'Ü( 1J1‚1º1ò2*2c2›2Ô3 Þ¢ß)߯à6à½áDáÌâSâÛãcãëäsäüå„æ (R)áX jóýCâ5äJ œü½x §ƒ\m·Å3ycí " Ùtm(R)v•Ü[çrÛK„ åôÚå<1ðö û¯ï<Ì g,ŠF[a rUÜ ÐaY''•b¹'ŒƒŽOÔõ"uá ÈòÏ Ùnþ*i×hÑH\£Äw æ9=ºgæU tu 5 Êà (R)x$g -Ù?tm¯pÓ ûÌŒ@_``b¶Ö o,¾òG›òð ¾ ¨ÛÉ-[q ºüß/ -Œ.â6åW,Cm]¥›#x ``ªyÒ"ãÌÏ-6Ä6-à |²çnÆ Ù&ßl³ð ncÕw ]¿‰r
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- procedures. T-Mobile USA, Inc. must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov, Linda Nagel at Linda.Nagel@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement also should be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. The
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- delinquent balances. As discussed above in paragraph 2, debt collection procedures may include further administrative efforts both by the Commission and by the United States Treasury or, as appropriate, referral of the delinquent debt to the Department of Justice for enforced collection action. 47 C.F.R. § 1.1917. 47 U.S.C. § 503(b). 47 C.F.R. § 1.80. See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. (continued ...) Federal Communications Commission FCC 12-62 Federal Communications Commission FCC 12-62 $ Õ›K Y,œ Å7çðÎf·"êà ☕ cbJ õ:sâ$Å),àQg20pp¡Àf Âe``¯„ -` >\ ³ÒVÐÊÒþ5E8çVk+ÖœÆËÍ\8ðâ¼Æ0X4D)Ü!!ý ö?*|f¿vè „ä5 6?$Qìí g ÿÿ N M M N N
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- has approved the release of additional proposals for WRC-2000 which were developed by NTIA's Radio Conference Subcommittee (RCS). Included are: 1) a draft proposal for conference Agenda Item 1.15.1 (new allocations to the Radionavigation-Satellite Service (RNSS)) that proposes no change to the existing allocations in the 5000-5150 MHz band, 2) proposed changes to an existing draft proposal for Agenda Item 1.16 that improves the allocation status for the Fixed-Satellite Service (FSS) in the 231.5-241 GHz band while affording greater protection for the Radio Astronomy Service in adjacent bands, 3) a draft proposal for the modification Recommendation 66 based on the progress of work in the ITU-R, and 4) a draft proposal for the suppression of Resolutions 60 and 63 since work
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- 1.60 n/a n/a 2.30 Ireland n/a 2.20 1.00 n/a 4.15 1.60 n/a 5.18 2.26 Luxembourg n/a 2.01 2.25 n/a 2.01 2.25 n/a 2.01 2.25 Netherlands 2.00 1.17 1.00 2.00 1.60 1.41 2.52 2.06 1.70 Portugal n/a 1.20 0.99 n/a 2.37 1.63 n/a 18.00 2.58 Spain 1.51 1.49 0.99 1.51 1.49 1.59 4.22 4.17 3.07 Sweden 1.68 1.14 0.86 2.15 1.77 1.16 2.98 2.41 1.59 U.K. 0.64 0.61 0.62 0.91 0.87 0.90 1.74 1.69 1.27 Attachment 4 EU interconnection rates U.S. Cents per minute at peak rates Local Single Transit Double Transit 1997 1998 1999 1997 1998 1999 1997 1998 1999 Country Austria 8.36 2.00 1.91 8.36 2.00 1.91 9.24 2.63 2.52 Belgium 3.05 1.23 1.12 3.05 2.33 1.89 3.98 3.26 2.69
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- radiolocation and/or ARNS systems require protection from new RNSS systems in the 1215-1240 MHz band or from RNSS (space-to-Earth) systems in the 1260-1300 MHz band, it will be necessary to consider means alternative to power flux-density limits for providing such protection. (April 16, 2001) Document IWG-2/004 Author: A. Renshaw 18 April 2001 DRAFT PRELIMINARY VIEWS ON WRC-03 WRC-03 Agenda Item 1.16: to consider allocations on a worldwide basis for feeder links in bands around 1.4 GHz to the non-GSO MSS with service links operating below 1 GHz, taking into account the results of ITU-R studies conducted in response to Resolution 127 (Rev.WRC-2000), provided that due recognition is given to the passive services, taking into account No. S5.340 ISSUE: Additional allocations to
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- receive interference from the RNSS earth stations. The U.S. has proposed a new draft recommendation in U.S. Working Party 8D that contains a coordination trigger distance and a means to calculate it. (April 10, 2001) U.S. VIEW: [ To be developed ] 18 Radio Conference Subcommittee (RCS) Preparation for ITU Radiocommunication Conferences DRAFT PRELIMINARY VIEWS ON WRC-03 WRC-2003 Agenda Item 1.16: to consider allocations on a worldwide basis for feeder links in bands around 1.4 GHz to the non-GSO MSS with service links operating below 1 GHz, taking into account the results of ITU-R studies conducted in response to Resolution 127 (Rev.WRC- 2000), provided that due recognition is given to the passive services, taking into account No. S5.340; ISSUE: Additional allocations
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- of all petitions and pleadings filed with the Commission and shall state his or her address. This requirement can be met by ``a declaration, made before any officer authorized by law to administer oaths (e.g., a notary public) that the contents of the petition are true.'' Harrea Broadcasters, Inc. 52 FCC 2d 998, 1001 (Comm. 1975). However, pursuant to Section 1.16 of the Commission's Rules, unsworn verifications or declarations can be accepted in lieu of sworn affidavits or declarations if they are substantially in the following form: ``I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct. Executed on (date). Signature.'' We conclude that the language in GGR's counterproposal
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- 20554 and provide a courtesy copy to Alex Roytblat, FCC WRC-03 Director, Room 6-B505. Comments should refer to specific proposals by document number. The deadline for comments on the draft proposals and NTIA letters is August 16, 2002. I. Informal Working Group 2: Mobile-Satellite Service including GPS DRAFT PROPOSAL FOR THE WORK OF THE CONFERENCE Doc. WAC/126(22.07.02) WRC-03 Agenda Item 1.16: to consider allocations on a worldwide basis for feeder links in bands around 1.4 GHz to the non-GSO MSS with service links operating below 1 GHz, taking into account the results of ITU-R studies conducted in response to Resolution 127 (Rev.WRC-2000), provided that due recognition is given to the passive services, taking into account No. S5.340 Background Information A total
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- by parties not represented by legal counsel must, in addition to providing a signature and address, submit a statement attesting that the information included in the filing is correct and true to the best of its knowledge. The verification requirement can be met by a declaration made before any officer authorized by law to administer oaths. Alternatively, pursuant to Section 1.16 of the Commission's Rules, unsworn verifications or declarations can be accepted in lieu of sworn affidavits or declarations if they are substantially in the following form: ``I declare under penalty of perjury that the foregoing is true and correct. Executed on (date). (Signature)''. See para. 2, infra. BK's comments were signed by a partner and an address was provided. However,
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- complete studies on an urgent basis when a future world radiocommunication conference identifies the impending exhaustion of the MMSI resource, instructs the Secretary-General to communicate this Resolution to the International Maritime Organization. Reasons: Changes needed to Resolution 344 (WRC-97) in order to implement the new resource management responsibilities. DRAFT proposal for the work of the conference Doc. WAC/136(05.09.02) Agenda Item 1.16: To consider allocations on a worldwide basis for feeder links in bands around 1.4 GHz to the non-GSO MSS with service links operating below 1 GHz, taking into account the results of ITU-R studies conducted in response to Resolution 127 (Rev.WRC-2000), provided that due recognition is given to the passive services, taking into account No. 5.340; Background Information: Service allocations
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- any of the above information pursuant to 18 U.S.C. $ 2703(f); and (f) access to, or acquisition or interception of, or preservation of communications or information as described in (a) through (e) above and comparable State laws. 1.14 "FBI" means the Federal Bureau of Investigation. 1.15 "Foreign" where used in this Agreement, whether capitalized or lower case, means non- U.S. 1.16 "Forstmann Little" means Forstmann Little & Co. Equity Partnership-VII, L.P. and Forstmann Little & Co. Subordinated Debt and Equity Management Buyout Partnership-VIII, L.P. 1.17 "Governmental Authority" or "Governmental Authorities" means any government, or any governmental, administrative, or regulatory entity, authority, commission, board, agency, instrumentality, bureau or political subdivision and any court, tribunal, judicial or arbitral body. VA01 /GRIFJ/20093.12 1.18 "Hosting
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- and certified mail return receipt requested, to Billy R. Autry, 145 Memphis Street, Holly Springs, Mississippi 38635. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau 47 C.F.R. §§ 73.49, 73.1745. Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332620012 (Enf. Bur., New Orleans Office, released March 17, 2003). U.S.C. § 308(b). Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 1.80(f)(4). 47 U.S.C. § 504(a). See 47 C.F.R. § 1.1914. Federal Communications Commission DA 03-2614 Federal Communications Commission DA 03-2614 h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g
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- and certified mail, return receipt requested, to Best Country Broadcasting, LLC, P.O. Box 280, Bogalusa, Louisiana 70429-0280. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau 47 C.F.R. § 17.4(a). Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332620009 (Enf. Bur., New Orleans Office, released February 19, 2003). 47 U.S.C. § 308(b). Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 1.80(f)(4). 47 U.S.C. § 504(a). See 47 C.F.R. § 1.1914. Federal Communications Commission DA 03-2615 Federal Communications Commission DA 03-2615 h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g
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- Miami Beach, Florida 33162 and 1000 N. Hiatus Road, Suite 110, Pembroke Pines, Florida 33026. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau 47 C.F.R. §§ 1.903(a), 90.403(f) and 90.425(a). Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332600001 (Enf. Bur., Miami Office, released March 18, 2003). 47 U.S.C. § 308(b). Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. § 1.16, and be substantially in the form set forth herein. 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 1.80(f)(4). 47 U.S.C. § 504(a). See 47 C.F.R. § 1.1914. Federal Communications Commission DA 03-2741 Federal Communications Commission DA 03-2741 h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g
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- (d) acquisition of location related information concerning a service subscriber or facility; (e) preservation of any of the above information pursuant to 18 U.S.C. 6 2703(f); and (0 access to, or acquisition or interception of, or preservation of communications or information as described in (a) through (e) above and comparable State laws. 1.15. `TF' means the Federal Bureau of Investigation. 1.16. means n0rrU.S. `Toreign" where used in this Agreement, whether capitalized or lower case, 1.17. "GCL" - means Global Crossing Ltd., a Bermuda corporation. Page 6 1.18. "Governmental Authoritv` ' or "Governmental Authorities" means any government, or any governmental, administrative, or regulatory entity, authority, commission, board, agency, instrumentality, bureau, or political subdivision, and any court, tribunal, judicial, or arbitral body. 1.19.
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- class mail and certified mail return receipt requested, to Davies Communications Inc., P.O. Box 1069, McPherson Kansas 67460. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau 47 C.F.R. § 73.3526(a)(2). Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332560020 (Enf. Bur., Kansas City Office, released April 7, 2003). U.S.C. § 308(b). Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 1.80(f)(4). 47 U.S.C. § 504(a). See 47 C.F.R. § 1.1914. Federal Communications Commission DA 03-3320 Federal Communications Commission DA 03-3320 h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g
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- first class mail and certified mail return receipt requested, to Chatterbox, Inc., 1348 Sunset Drive, Grenada, Mississippi 38901. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau 47 C.F.R. § 11.61. Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332620011 (Enf. Bur., New Orleans Office, released April 18, 2003). U.S.C. § 308(b). Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 1.80(f)(4). 47 U.S.C. § 504(a). See 47 C.F.R. § 1.1914. Federal Communications Commission DA 03-3339 Federal Communications Commission DA 03-3339 h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g
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- first class mail and certified mail return receipt requested, to Radio Centre Inc., P.O. Box 602, Centre, Alabama 35960-0602. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau 47 C.F.R. § 73.49. Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332480021 (Enf. Bur., Atlanta Office, released April 15, 2003). U.S.C. § 308(b). Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 1.80(f)(4). 47 U.S.C. § 504(a). See 47 C.F.R. § 1.1914. Federal Communications Commission DA 03-3410 Federal Communications Commission DA 03-3410 h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g
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- Inc., 20872 N.E. Kelly Avenue, Blountstown, Florida 32424 and to 612 North Jefferson Street, Perry Florida 32347. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau 47 C.F.R. §§ 11.35, 73.49, 73.3526(c). Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200432700006 (Enf. Bur., Tampa Office, released December 16, 2003). U.S.C. § 308(b). Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 1.80(f)(4). 47 U.S.C. § 504(a). See 47 C.F.R. § 1.1914. Federal Communications Commission DA 04-1016 Federal Communications Commission DA 04-1016 h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g 1 2 h5g
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- 90.405(3). 47 C.F.R. § 90.403(a). Id. 47 C.F.R. § 90.403(b). Indeed, we note that Two-Way's principal apparently prepared the application on behalf of NOCC. Thus, any finding of misrepresentation or lack of candor by NOCC might also raise questions as to Two-Way's qualifications to be a Commission licensee. 47 U.S.C. § 308(b). Such affidavit or declaration should comply with Section 1.16 of Rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. (...continued from previous page) (continued....) Federal Communications Commission DA 04-1091 Federal Communications Commission DA 04-1091 % . 1 H n á ã è hÑ hÑ $ F Î 0 0 0 Ì „ ì ó Z òn ¶ ô Ñ
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 3-C366 Washington, DC, 20554. Include the file number, EB-04-TC-078, in any correspondence. Under the Privacy
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 3-C366 Washington, DC, 20554. Include the file number, EB-04-TC-079, in any correspondence. Under the Privacy
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 3-C366 Washington, DC, 20554 Include the file number, EB-04-TC-098, in any correspondence. Under the Privacy
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- mail return receipt requested, to Vector Communications, Inc. d/b/a WCFI, Inc., 3621 NW 10th Street, Ocala, Florida 34475. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau 47 C.F.R. § 17.51(a). Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200432700005 (Enf. Bur., Tampa Office, released December 16, 2003). 47 U.S.C. § 308(b). Such affidavit or declaration should comply with Section 1.16 of Rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 1.80(f)(4). 47 U.S.C. § 504(a). See 47 C.F.R. § 1.1914. Federal Communications Commission DA 04-1619 Federal Communications Commission DA 04-1619 h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g h5g
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- Commission 445 12th Street S.W. Washington, D.C. 20554 Dear Mr. Abelson: The National Telecommunications and Information Administration, on behalf of the Executive Branch agencies, wishes to bring to your attention four additional approved Executive Branch preliminary views considering federal agency inputs toward the development of U.S. Preliminary Views for WRC-2007. These preliminary views address WRC-2007 agenda items 1.6, 1.14, 1.15, 1.16. The enclosure is forwarded for review by the Commission. Jim Vorhies of my staff is the primary contact for NTIA. Sincerely (Original Signed May 28, 2004) Fredrick R. Wentland Associate Administrator Office of Spectrum Management Enclosure Radio Conference Subcommittee (RCS) Preparation for ITU Radiocommunication Conferences UNITED STATES DRAFT PRELIMINARY VIEWS ON WRC-07 Agenda Item 1.6: to consider additional allocations for
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- Commission 445 12th Street S.W. Washington, D.C. 20554 Dear Mr. Abelson: The National Telecommunications and Information Administration, on behalf of the Executive Branch agencies, wishes to bring to your attention four additional approved Executive Branch preliminary views considering federal agency inputs toward the development of U.S. Preliminary Views for WRC-2007. These preliminary views address WRC-2007 agenda items 1.6, 1.14, 1.15, 1.16. The enclosure is forwarded for review by the Commission. Jim Vorhies of my staff is the primary contact for NTIA. Sincerely (Original Signed May 28, 2004) Fredrick R. Wentland Associate Administrator Office of Spectrum Management Enclosure Radio Conference Subcommittee (RCS) Preparation for ITU Radiocommunication Conferences UNITED STATES DRAFT PRELIMINARY VIEWS ON WRC-07 Agenda Item 1.6: to consider additional allocations for
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-115, in any correspondence. Under the Privacy
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- of the above information pursuant to 18 U.S.C. § 2703(f); and (f) access to, or acquisition, interception, or preservation of, wire, oral, or electronic communications or information as described in (a) through (e) above and comparable State laws. 1.14 ``FBI'' means the Federal Bureau of Investigation. 1.15 ``Foreign'' where used in this Agreement, whether capitalized or lower case, means non-U.S. 1.16 ``Government Authority'' or ``Government Authorities'' means any government, or any governmental, administrative, or regulatory entity, authority, commission, board, agency, instrumentality, bureau or political subdivision and any court, tribunal, judicial or arbitral body. 1.17 ``Intercept'' or ``Intercepted'' has the meaning defined in 18 U.S.C. § 2510(4). 1.18 ``Lawful U.S. Process'' means lawful U.S. federal, state or local Electronic Surveillance or other
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-138, in any correspondence. Under the Privacy
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-158, in any correspondence. Under the Privacy
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-140, in any correspondence. Under the Privacy
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-137, in any correspondence. Under the Privacy
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-162, in any correspondence. Under the Privacy
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- or Companies to, the entities or individuals listed above in 2(a)-(p). Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your company, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445-12th Street, S.W., Rm. 3-C366 Washington, D.C. 20554 Reference EB-04-TC-052 when corresponding with the Commission. Under the Privacy Act of
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- COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau 47 C.F.R. § 73.1125. Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332500011 (Enf. Bur., Dallas Office, released December 19, 2003). An Erratum was released on January 9, 2004, which corrected the NAL to indicate that the NAL/Acct. No. is 200432500002. U.S.C. § 308(b). Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. 47 U.S.C. § 503(b). 47 C.F.R. § 1.80. 47 U.S.C. § 504(a). See 47 C.F.R. § 1.1914. Federal Communications Commission DA 04-923 Federal Communications Commission DA 04-923 z (z { h ? ? W z Ä2iÅ õ Ö ? > ? ? ? ?
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-05-TC-046, in any correspondence. Under the Privacy
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- tolling a permit's construction deadline. Therefore, we will deny the parties' request. To the extent that World's July 15, 18 and 25 letters represent a petition for reconsideration of the rescission, that petition IS DENIED. Within seven (7) days of the date of this letter, World IS ORDERED to file a statement, accompanied by a declaration made in accordance with §1.16 of the Commission's Rules, with the Office of the Secretary acknowledging that it is in control of Lincoln Broadcasting, Inc. and Station KOWH(TV), Lincoln, Nebraska. FURTHERMORE, the request to toll the construction deadline in the permit for KOWH(TV) IS DENIED Sincerely, Donna C. Gregg Acting Chief, Media Bureau. cc: Kathleen Victory, Esq., Counsel to CFM Communications, LLC Peter Gutmann, Esq.,
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-040, in any correspondence. Under the Privacy
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- or knowledge have been produced. If multiple Fax Marketing employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of Fax Marketing noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. See 18 U.S.C. § 1001; see also 47 C.F.R. § 1.17. Failure to respond appropriately to a Bureau LOI
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- Comcast applies the MBC allocation factor to the zip code based SBCA subscriber figures. The resulting number represents the DBS subscribership within the City. Comcast then compared the DBS subscribership to the 2000 U.S. Census household figures for the Community. In opposition, Dallas raises several preliminary, procedural objections. Dallas argues that the declaration supporting the Petition violates Commission rule Section 1.16 because the declarant does not have personal knowledge and the Exhibits following the declaration are not authenticated and are inadmissible hearsay because the declarant lacks actual knowledge of the contents thereof. The City also requests that the Commission sanction Comcast by dismissing the Petition -- for failing to adhere to a prior warning by the Bureau in an unrelated matter--
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- cards.'' Contrary to the directions of the LOI, however, Blackstone did not provide financial statements, tax returns, or specific identification of its alleged non-telecommunications products, services and associated revenue. In addition, the certification Blackstone supplied to support its response did not contain a statement that it was made under penalty of perjury and thus failed to conform to Commission Rule 1.16, 47 C.F.R. § 1.16, as required in the LOI. As a result of Blackstone's inadequate and incomplete response, the Bureau was compelled to send a second LOI to Blackstone on June 28, 2005, requesting additional information that would permit the Bureau to examine Blackstone's claim, directing it to provide complete responses to inquiries in the original LOI, and agreeing to
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- cards.'' Contrary to the directions of the LOI, however, Blackstone did not provide financial statements, tax returns, or specific identification of its alleged non-telecommunications products, services and associated revenue. In addition, the certification Blackstone supplied to support its response did not contain a statement that it was made under penalty of perjury and thus failed to conform to Commission Rule 1.16, 47 C.F.R. § 1.16, as required in the LOI. As a result of Blackstone's inadequate and incomplete response, the Bureau was compelled to send a second LOI to Blackstone on June 28, 2005, requesting additional information that would permit the Bureau to examine Blackstone's claim, directing it to provide complete responses to inquiries in the original LOI, and agreeing to
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-05-TC-020, in any correspondence. Under the Privacy
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- Time to oppose, filed by ICS on September 15, 2004; and (3) Opposition to Petition to Deny filed by ICS on October 1, 2004 (``Opposition''). Mr. Cusak did not respond to the Opposition. This Declaration also serves as a sworn affidavit because it was made before a person legally authorized to administer an oath or affirmation. See 47 C.R.R. § 1.16. See File No. BALED-20030828ASB. Cusak claims that ICS Sub was an alternate, fictitious trade name for ICS that was never registered with the Ohio Secretary of State's office. See Cusak Declaration at 1. 47 U.S.C. § 309(d). Id. at § 309(d)(1). See Tabback Broadcasting Company, 15 FCC Rcd 11899, 11900 n. 3 (2000), and Chet-5 Broadcasting, L.P., 14 FCC Rcd
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- Time Warner's past behavior, we also reject the company's interpretation of section 76.1603(b) on the merits. Because section 76.1603(b) is aimed at protecting subscribers, it is the subscribers' perspective - not that of the cable operator - that is relevant to determining whether a change in programming services has occurred. Here, it is undisputed that the programming provided to approximately 1.16 million households changed overnight, despite the lack of any action on the part of those consumers. Time Warner offers no basis in the text of the rule or elsewhere to support the conclusion that a change in programming services did not occur. Second, Time Warner argues that even if section 76.1603(b) is generally applicable to newly acquired systems, it did
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- custody, control or knowledge have been produced. If multiple Intercoast employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of Intercoast noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. See 18 U.S.C. § 1001; see also 47 C.F.R. § 1.17. Failure to respond appropriately to a Bureau LOI
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- Cable Associates, LLC d/b/a Charter Communications, Inc., 17 FCC Rcd 16652 (2002), aff'd 18 FCC Rcd 9649 (2003); Vicksburg Video, 17 FCC Rcd 16659 (2002); Kilgore Video, Inc., 17 FCC Rcd 16662 (2002). Salem Opposition at 5 and Exhibit 1. Charter Reply at 2. Salem Opposition at 5 and Exhibit 1. Salem Opposition at Exhibit 1. See 47 C.F.R. § 1.16. Salem Opposition at 9. Charter Reply at 4. Charter Supplement at 1-2. Charter Supplement at n.1; 47 C.F. R. § 76.905(b)(4). Id at n.1; 47 C.F.R. § 76.905(b)(2). Id. at n.1 and Attachment A. Charter does submit two articles from the Salem Times-Commoner regarding US Sonets' success and expansion plans in Salem. See Charter Reply at n.10 and Exhibit 2.
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- intended to appear responsive to a portion of the October 28, 2004 LOI. Subsequent investigation showed, however, that Unicom never actually filed this worksheet with USAC. See Letter from Hillary DeNigro, Deputy Chief, Investigations and Hearings Division, Enforcement Bureau, FCC, to Charles D. D'Ascoli, Managing Partner, Unicom Communications, L.L.C., dated June 28, 2005 (``June 28, 2005 Letter''). 47 C.F.R. § 1.16. 47 U.S.C. § 503(b)(1)(B); 47 C.F.R. § 1.80(a)(1); see also 47 U.S.C. § 503(b)(1)(D) (forfeitures for violation of 14 U.S.C. § 1464). 47 U.S.C. § 312(f)(1). H.R. Rep. No. 97-765, 97th Cong. 2d Sess. 51 (1982). See, e.g., Application for Review of Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388, ¶ 5 (1991) (``Southern California
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- information about felony convictions. (Footnote omitted.) By filing renewal-only applications rather than renewal/modification applications, CRS failed to provide information to the Commission about Mr. Doty's felony convictions that it was otherwise required to disclose.''] Show Cause Order, supra, note 7. See 47 U.S.C. § 309(d)(1). See id. Id. Supplement at 7. See Motion at 5. See id at 6. Section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, allows a declaration under penalty of perjury in lieu of an affidavit. For the purposes of the instant order, we will conclude that Ms. Black intended her ``verification'' to be a declaration pursuant to Section 1.16. As noted supra however, the verification fails even when so considered. 47 C.F.R. § 1.939(d). See
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- 35 measurements). Table 7-2. D/U Ratio With SFU as Desired Signal Source Relative to That With Baseline Generator (ATSC997) D/U Ratio Relative to Baseline (dB) Channel Offset A3 D3 I1 J1 M1 N1 O1 G4 Mean (dB) (Excluding G4) Standard Deviation (dB) (Excluding G4) N-6 -1.37 -0.01 -1.54 -1.42 -1.39 -1.96 -1.29 -6.29 -1.28 0.60 N-4 -1.15 -0.11 -1.00 -1.44 -1.16 -1.51 -1.03 -5.16 -1.06 0.46 N-3 -1.03 -0.88 -0.98 -0.57 -1.10 -1.50 -1.06 -5.70 -1.02 0.28 N-2 -1.21 -0.56 -0.96 -1.63 -1.14 -1.42 -0.90 -4.82 -1.12 0.35 N+2 -1.28 -1.50 -1.27 -1.44 -0.75 -1.30 -1.12 -4.49 -1.24 0.25 Mean -1.21 -0.61 -1.15 -1.30 -1.11 -1.54 -1.08 -5.29 -1.14 Std Dev 0.13 0.61 0.25 0.42 0.23 0.25 0.14 0.72 0.40 Note:
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- numbered questions above. We direct CBS and/or KUTV to support its responses with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of either CBS or KUTV with personal knowledge of the representations provided in the response, verifying the truth and accuracy of the information therein. All such declarations provided must comply with section 1.16 of the Commission's rules, and be substantially in the form set forth therein. CBS and/or KUTV should provide the requested information as soon as possible, but in any event within 10 days from the receipt of this letter. Sincerely, Barbara A. Kreisman Chief, Video Division Media Bureau The Objectors did not serve the licensee, or otherwise provide a return address
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- by an authorized officer of the Company with personal knowledge of the representations therein, verifying that Covad has complied with the terms of this Consent Decree. The declaration shall be submitted to Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. Within five business days after the Adopting Order becomes a Final Order, Covad agrees that it shall make a voluntary contribution to the United States Treasury in the amount of $35,000. The payment shall be made by check or similar instrument, payable to
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- Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission to P.J. Moody, Controller, Communication Options, Inc. (Aug. 28, 2006). See Letter from P.J. Moody, Controller, Communication Options, Inc. to David Janas, Special Counsel, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, dated August 30, 2006, (``LOI Response''). LOI at 9 (directing COI to comply with 47 C.F.R. § 1.16). 47 U.S.C. § 503(b)(1)(B); 47 C.F.R. § 1.80(a)(1); see also 47 U.S.C. § 503(b)(1)(D) (forfeitures for violation of 14 U.S.C. § 1464). 47 U.S.C. § 312(f)(1). H.R. Rep. No. 97-765, 97th Cong. 2d Sess. 51 (1982). See, e.g., Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388 (1991) (``Southern California Broadcasting Co.''). See, e.g., Callais Cablevision,
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- DMAInformation DMAHouseholds 1.040 - - - - - - - - -(0.04) DMAHHSquared -0.039 - - - - - - - - -(0.01) CommercialStation - - - - - - - - - AffiliateInformation ABC 1.19 1.27 1.26 1.28 1.27 1.28 1.20 1.28 1.22 -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) CBS 1.18 1.27 1.26 1.27 1.27 1.27 1.16 1.27 1.18 -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) NBC 1.14 1.22 1.21 1.22 1.22 1.23 1.19 1.22 1.22 -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) FOX 0.82 0.88 0.88 0.88 0.88 0.88 0.84 0.88 0.85 -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) -(0.07) CW 0.25 0.29 0.29 0.29 0.30 0.30 0.20 0.29 0.24 -(0.08)
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- 86 Percent Entertainment/Leisure/DJ Banter, Evening 9% 3% 0% 84% 83 7% 2% 0% 65% 86 Percent Music, Evening 52% 56% 0% 97% 83 52% 65% 0% 99% 86 Percent News, Evening 3% 0% 0% 45% 83 3% 0% 0% 21% 86 Percent Sports, Evening 11% 0% 0% 93% 83 12% 0% 0% 81% 86 Average Block, Advertisements, AM Drive 1.41 1.16 0.00 5.58 82 1.30 1.02 0.00 5.58 83 Average Block, Entertainment/Leisure/DJ Banter, AM Drive 2.22 1.64 0.00 15.50 82 2.14 1.12 0.00 17.63 83 Average Block, Music, AM Drive 1.97 2.05 0.00 8.44 82 1.85 2.00 0.00 4.97 83 Average Block, News, AM Drive 0.72 0.57 0.00 3.10 82 0.75 0.63 0.00 2.90 83 Average Block, Sports, AM Drive 0.63
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- (77.0) -3.5 Opinion poll coverage Difference (Dem. Rep.) 0.0 (14.8) 2.5 (16.1) -2.5 Notes: Mean and standard deviation. Difference in means is (cross-owned less non-cross- owned); ***p<.01, **p<.05, and *p<.10. 45 Table 13: Difference in Speaking Time (Democratic coverage less Republican coverage, in seconds) Independent variables (1) (2) (3) (4) (5) Local station ownership Cross-owned newspaper -3.0 (1.14) -4.4 (1.16) -5.8 (1.28) -5.2 (1.24) -5.4 (1.29) Cross-owned radio station 1.2 (0.32) 1.8 (0.49) 4.1 (1.13) 2.4 (0.59) Cross-owned radio and newspaper 2.9 (0.55) 3.5 (0.61) 2.3 (0.40) 5.1 (0.80) Parent company coverage of all television households (%) 0.2 (0.84) 0.1 (0.38) 0.3 (1.23) Network owned and operated -6.2 (1.19) -6.9 (1.25) -10.5* (1.77) Network affiliation (omitted category is CW\MyNetwork) ABC
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- Opinion and Order, 4 FCC Rcd 2339, 2339 n.5 (WTB 1989) (adopting definition of ``affidavit'' as a ``written or printed declaration or statement of facts, made voluntarily, and confirmed: by oath or affirmation of the party making it, taken before a person having authority to administer such oath or affirmation.''). See 47 U.S.C. § 309(d)(1). See also 47 C.F.R. § 1.16 (allowing unsworn declaration under penalty of perjury in lieu of a sworn affidavit in certain circumstances). See also Newsystems of Pennsylvania, Inc., Memorandum Opinion and Order, 2 FCC Rcd 73, 74 (1987) (affidavit based only upon the affiant's best knowledge, information, and belief is insufficient for purposes of Section 309(d)(1) of the Act; also, affidavits that are neither sworn nor
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- Annual Report. Twelve (12) months and twenty-four (24) months after the Effective Date, TELUS shall submit an affidavit or declaration under penalty of perjury, signed and dated by an authorized representative of TELUS with personal knowledge of the representations therein, verifying that TELUS has complied with the terms of this Consent Decree. The declaration or affidavit must comply with Section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein The declaration shall be submitted to Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. Termination. TELUS' obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. The Commission agrees that in
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- requirement, as well as reduce certain financial, administrative, and technical burdens for cellular licensees. Licensees must file the certification at least 60 days before discontinuing analog service in a particular CGSA. For example, licensees who intend to discontinue analog service on February 18, 2008, must file a certification no later than December 20, 2007. The certification must comply with Section 1.16 of the Commission's rules (unsworn declarations under penalty of perjury in lieu of affidavits), be signed by an officer or director of the licensee, and be filed through the Commission's Cellular Coverage Certifications portal. If a licensee elects to file such a certification, its analog-determined CGSA (on file with the Commission as of the certification filing date) will remain its
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- dated by an authorized officer of the Company with personal knowledge of the representations therein, verifying that BPXA has complied with the terms of this Consent Decree. The declaration shall be submitted to Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12thStreet, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. 15. BPXA agrees to waive any and all rights it may have to seek administrative or judicial reconsideration, review, appeal or stay, or to otherwise challenge or contest the validity of this Consent Decree and the Adopting Order, provided the Consent Decree is
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- the franchise area. The DBS subscriber count was then multiplied by the allocation ratio to determine the number of DBS subscribers allocable to the franchise areas, which was then divided by the 2000 Census household total to derive the total DBS subscribership. In opposition, Hernando raises several preliminary procedural objections. Hernando argues that the declaration supporting the Petition violates Section 1.16 of the Commission's rules because the declarant does not have personal knowledge that would make him competent to testify and the declaration is unsworn evidence. The County objects to consideration of the Petition's exhibits because each component is not authenticated and is therefore inadmissible as hearsay. The County alleges that the declaration is ambiguous because it cannot be determined if
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- Enforcement Division Enforcement Bureau Letter from Kathryn S.Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, to Mr. Anthony Gallagher, President, Digital Antenna, Inc. (November 5, 2007). Response from Anthony Gallagher, President, Digital Antenna, Inc., to Kathryn Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau , Federal Communications Commission (November 6, 2007) (``response''). Id. at 2. Id. 47 C.F.R. § 1.16. Letter from Kathryn S. Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, to Mr. Anthony Gallagher, President, Digital Antenna, Inc. (February 4, 2008). Response from Anthony Gallagher, President, Digital Antenna, Inc., to Kathryn Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission (February 15, 2008) (``second LOI response''). Although the second LOI response was dated February 15,
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- first unnumbered page. 47 U.S.C. § 309(d)(1) (``The petitioner shall serve a copy of such petition on the applicant.'') 47 C.F.R. § 0.459. 47 U.S.C. § 309(d)(1) (``Such allegations of fact shall, except for those of which official notice may be taken, be supported by affidavit of a person or persons with personal knowledge thereof.'') See also 47 C.F.R. § 1.16 (allowing unsworn declaration under penalty of perjury in lieu of a sworn affidavit in certain circumstances). 47 C.F.R. § 73.3587. Because we may consider Myers's pleading as an informal objection, we will deny Lout's Motion to Strike the Objection. 47 U.S.C. § 309(d); 47 C.F.R. § 73.5006(b). Citizens for Jazz on WRVR v. F.C.C., 775 F.2d 392, 395 (D.C. Cir.
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- signed and dated by an authorized officer of USWDI with personal knowledge of the representations therein, verifying that USWDI has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. Termination. USWDI's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. The Bureau agrees that in the absence of new material evidence, it will not use the facts developed in this Investigation through the Effective Date, or the existence
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- David Janas, Special Counsel, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, dated August 23, 2006. Letter from Trent Harkrader, Acting Deputy Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission to P.J. Moody, Controller, Communication Options, Inc. (Aug. 28, 2006). See LOI Response, supra note 4. LOI at 9 (directing COI to comply with 47 C.F.R. § 1.16). COI NAL, supra note 3. Id. at ¶ 24. 47 U.S.C. § 503(b)(1)(B). 47 U.S.C. § 312(f)(1). H.R. Rep. No. 97-765, 97th Cong. 2d Sess. 51 (1982). See, e.g., Application for Review of Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388, ¶ 5 (1991) (``Southern California Broadcasting Co.''). See, e.g., Callais Cablevision, Inc., Grand Isle,
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- and dated by an authorized officer of T-Mobile with personal knowledge of the representations therein, verifying that T-Mobile has complied with the terms of this Consent Decree. The affidavit or declaration shall be submitted to the Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The affidavit or declaration must comply with Section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. Termination. The provisions of this paragraph shall remain in effect for two (2) years from the Effective Date. Section 208 Complaints; Subsequent Investigations. Nothing in this Consent Decree shall prevent the Commission or its delegated authority from adjudicating any formal or informal complaint
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- signed and dated by an authorized officer of ARINC with personal knowledge of the representations therein, verifying that ARINC has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. Termination. ARINC's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. Voluntary Contribution. ARINC agrees that it will make a voluntary contribution to the United States Treasury in the amount of Fifteen Thousand Dollars ($15,000.00). The payment will be
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- Commission at the time, contained a modified version of the Response. 47 U.S.C. § 312(g). FCC Form 351A (file no. BNPED-19990928AAV). Application on FCC Form 302-FM (file no. BLED-20080707AAD). LOI at 5 and Ex. A. The LOI directed GLCB and GLBA to respond with affidavits or declarations under penalty of perjury in accordance with the requirements of 47 C.F.R. § 1.16. Id. at 9. The LOI warned that knowingly and willfully making any false statement or concealing any material fact in reply to the LOI is punishable by fine or imprisonment pursuant to 18 U.S.C. § 1001. Id. Response at 2. Id. No extension request or tolling request was ever submitted to the Commission. We also note that Dr. McCluskey, as
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- and Sections 2.803 and 15.205(a) of the Commission's Rules (``Rules''). As explained below, future violations of the Commission's rules in this regard may subject your company to monetary forfeitures. In March 2008, the Spectrum Enforcement Division of the Enforcement Bureau (``Division'') received a complaint alleging that Spy Camera was marketing unauthorized wireless video transmitters that operate in the 1.08, 1.12, 1.16 and 1.2 GHz bands. We initiated an investigation and on May 13, 2008, we sent a Letter of Inquiry (``LOI'') to Spy Camera. In your June 9, 2008 response to our LOI, you admit marketing wireless video transmitters beginning in early 2006 on your web site, www.spycameras.com, to end users and resellers. You admit that these wireless video transmitters all
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- signed and dated by an authorized officer of Hughes with personal knowledge of the representations therein, verifying that Hughes has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. Termination. Hughes's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. Voluntary Contribution. Hughes agrees that it will make a voluntary contribution to the United States Treasury in the amount of twelve thousand dollars ($12,000.00). The payment will be
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- IT IS FURTHER ORDERED that within thirty days of the release of this NAL that Indianapolis Community Television Inc. SHALL FILE a written statement concerning the steps that it has taken to come into compliance with the staffing requirements for its main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. Payment of the forfeiture must be made by check or
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- with any questions regarding payment procedures. CruiseEmail will also send electronic notification to Ricardo Durham at Ricardo.Durham@fcc.gov and Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. 13.
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- was submitted; and (3) is not aware of any instances of non-compliance. If the Compliance Official is not able to so certify, he shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Commission's rules, and be substantially in the form set forth therein. (e) Self-Disclosure. QCC will report any occurrences of non-compliance with the terms and conditions of this Consent Decree, with section 276 of the Act, and with the Commission's rules and regulations regarding the obligations of telecommunications service providers to transmit payphone-specific coding digits, within 60 days after
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- forfeiture. with any questions regarding payment procedures. Wi-Ex will also send electronic notification on the date said payment is made to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. The Commission
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- forfeiture. with any questions regarding payment procedures. Cellphone-Mate will also send electronic notification on the date said payment is made to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. The Commission
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- with any questions regarding payment procedures. Alpheus will also send electronic notification on the date said payment is made to Kathryn Berthot at Kathy.Berthot@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The response should also be e-mailed to Kathryn Berthot at Kathy.Berthot@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. The
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Verizon will also send electronic notification on the date said payment is made to Jennifer.Burton@fcc.gov and JoAnn.Lucanik@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Jennifer Burton at Jennifer.Burton@fcc.gov. The Commission
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- ensure compliance with the terms and conditions of this Consent Decree and with section 20.19 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Huawei, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- ensure compliance with the terms and conditions of this Consent Decree and with section 20.19 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Qomo, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- conditions of this Consent Decree, and with Sections 2.803(a) and 87.199(f) of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that Kannad has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) that Kannad is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Kannad, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- Email: arinquiries@fcc.gov with any questions regarding payment procedures. Oklahoma Independent RSA 5 Partnership will also send electronic notification on the date said payment is made to Kathy Berthot at Kathy.Berthot@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Kathy Berthot at Kathy.Berthot@fcc.gov. The Commission will not consider reducing or
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- any questions regarding payment procedures. TX-10 Licensee, LLC will also send electronic notification on the date said payment is made to Kathy Berthot at Kathy.Berthot@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The response should also be emailed to Kathy Berthot at Kathy.Berthot@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. The Commission
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- with the Sponsorship Identification Laws or this Consent Decree, what steps it has taken to resolve those difficulties, and the success of those steps in doing so. All compliance reports shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, Room 4-C330, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Commission's rules and be substantially in the form set forth therein. Termination Date. Unless stated otherwise, the requirements of the Compliance Plan will expire three (3) years after the Effective Date. Voluntary Contribution. Licensee agrees that it will make a voluntary contribution to the United States Treasury in the amount of Twenty-One Thousand Dollars ($21,000.00). The payment will
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- the Act, Rules or FCC orders. If the Compliance Director or other equivalent Company Officer is not able to so certify, he or she shall explain fully the reason(s) therefor. All Compliance Reports shall be directed to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with Section 1.16 of the Rules, and be substantially in the form set forth therein. (b) Self-Disclosure. The Company shall report any known (following an internal review) violations of the Act, Rules or orders, within thirty (30) calendar days of discovery to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The Company shall likewise
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- the Rules together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) Globalstar has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with either this Consent Decree or the Act, Rules, or Commission Orders. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Globalstar, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- and conditions of this Consent Decree and with Section 310 of the Act and Section 73.3540 of the Commission's Rules, together with an accompanying statement explaining the basis for the certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that LIU has taken or
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- conditions of this Consent Decree and with Section 310 of the Act and Section 73.3540 of the Commission's Rules, together with an accompanying statement explaining the basis for the compliance certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certifications shall comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the President of Peconic cannot provide the requisite certification, he/she, as an agent of and on behalf of Peconic, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the
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- operating procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Callaway, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- (i) has established operating procedures intended to ensure compliance with the terms and conditions of this Consent Decree, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of VisionTek, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- any questions regarding payment procedures. TCM also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn.Lucanik@ fcc.gov and to Jacqui.Johnson@fcc.gov. The Commission will not consider reducing
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. IDT also shall send electronic notification to Sam.Peoples@fcc.gov and Ricardo.Durham@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Sam Peoples at Sam.Peoples@fcc.gov. The Commission
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- ARINQUIRIES@fcc.gov with any questions regarding payment procedures. MGA also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov. The Commission
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- the Termination Date. Each Compliance Report will include a certification by the Compliance Officer that Delta is, and at all times since the previous Compliance Report was submitted has been, in compliance with the terms and conditions of this Consent Decree and with Section 310(d) of the Act and Section 1.948 of the Rules. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer is not able to so certify, he shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington,
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- ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Cbeyond also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov. The Commission
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- rebutted the claim). Joint Opposition at 2. We decline Lawyers Guild's request that we dismiss the Applicants' declarations because they were not sworn (Objector's Response at 3). The Applicants' declarations, filed in response to the informal objections, are not required by law, rule or other regulation to be supported by an affidavit or an unsworn declaration, as provided in Section 1.16 of the Rules (47 C.F.R. § 1.16). While Section 73.3584(b) of the Rules requires allegations of fact or denials thereof in oppositions to petitions to deny to be supported by affidavit of a person or persons with personal knowledge thereof, there is no such legal or regulatory requirement for responses to informal objections (See 47 C.F.R. §§ 73.3584(b) and 73.3587
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- officer is not able to so certify, he or she shall explain fully the reasons therefor. (b) All Compliance Reports and other disclosures required by this Consent Decree shall be in writing and shall be directed to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554. The certification must comply with Section 1.16 of the Rules and must be substantially in the form set forth therein. Voluntary Contribution. Verizon Wireless agrees to make a voluntary contribution to the U.S. Treasury in the amount of twenty-five million dollars ($25,000,000). The payment must be made by check or similar instrument, payable to the order of the Federal Communications Commission within five (5) days after the
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- seeking reduction or cancellation of the proposed forfeiture. . Mapleton License of San Luis Obispo, LLC, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- 301 and 310(d) of the Act, and sections 25.102, 25.119 and 25.121(e) of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) Shared Data has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that Shared Data has taken
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- ensure compliance with the terms and conditions of this Consent Decree and with Part 52 of the Rules, together with an accompanying statement explaining the basis for the officer's compliance certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of PTI Pacifica, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) Norlight has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with either the Consent Decree or Section 4.9 of the Rules. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Norlight, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- Decree together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures for the entire term of the Consent Decree; and (iii) the officer is not aware of any instances of non-compliance with this Consent Decree that have not otherwise been disclosed pursuant to subsection (C) above. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. Such certification must be mailed within fifteen (15) days of the one (1) and the two (2) year anniversary, and AT&T must mail its certification to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W.,
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- any questions regarding payment procedures. Lightyear also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn.Lucanik@fcc.gov and to Jacqui.Johnson@fcc.gov. The Commission will not consider reducing or
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- the Rules, together with an accompanying statement explaining the basis for the certification; (ii) Liberty-Bell has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act and the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and those specified sections of the Act and the Rules, and (ii)
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- regarding payment procedures. East Buchanan Telephone Cooperative must also send electronic notification on the date said payment is made to Ricardo Durham at Ricardo.Durham@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. Number referenced in the caption. The statement must also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. The
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- the release date of this NAL. The statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Portland Resident Agent Office, P.O. Box 61469, Vancouver, Washington, 98666-1469. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Portland Resident Agent Office, P.O. Box 61469, Vancouver, Washington, 98666-1469 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- Decree, and with sections 2.803(a), 2.925, and 15.204(d)(1), (2) of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that RF Linx has been utilizing those procedures since the commencement of the Compliance Plan; and (iii) that RF Linx is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of RF Linx, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that XO has been utilizing those procedures since the development of the Compliance Plan, and in any event no later than thirty (30) days after the Effective Date; and (iii) that XO is not aware of any instances of noncompliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of XO, shall provide the Commission with a detailed explanation of: (i) any instances of noncompliance with this Consent Decree or
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- compliance with the terms and conditions of this Consent Decree, the Underwriting Laws, and the Sponsorship Identification Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
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- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. BASF Corporation must also send electronic notification to Ricardo.Durham@fcc.gov and to Linda.Nagel@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Ricardo.Durham@fcc.gov and to Linda.Nagel@fcc.gov. The Commission will not consider reducing or
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- to ensure compliance with this Consent Decree and with Section 20.19 of the Rules together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) MaxCell has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of MaxCell, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- any questions regarding payment procedures. Sandhill Communications must also send electronic notification on the date said payment is made to Jennifer Burton at Jennifer.Burton@fcc.gov and to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account No. referenced in the caption. The statement must also be emailed to Jennifer Burton at Jennifer.Burton@fcc.gov and to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov. The
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- Telephone Company d/b/a CT Communications, Inc. also shall send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. 15.
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- questions regarding payment procedures. Indigo Wireless, Inc. will also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. The
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- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. STi Prepaid must also send electronic notification on the date said payment is made to Katherine.Power@fcc.gov and Pamera.Hairston@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. The
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- regarding payment procedures. Epic Touch Co., Inc. must also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The
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- Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. The University of San Diego will also send electronic notification on the date said payment is made to Celia.Lewis@fcc.gov and Ricardo.Durham@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Celia Lewis at Celia.Lewis@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. 17. The
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- any questions regarding payment procedures. Lubbock Aero will also send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn.Lucanik@fcc.gov and to Jacqui.Johnson@fcc.gov. The Commission will not consider reducing or
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- of the release of this NAL that Birach Broadcasting Corporation SHALL FILE a written statement concerning the steps that it has taken to reassert control over Station WMFN(AM) Zeeland, Michigan, and to comply with the FCC staffing requirements for Station WMFN(AM)'s main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. Birach Broadcasting Corporation shall also transmit a copy of the
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- of the release of this NAL that Birach Broadcasting Corporation SHALL FILE a written statement concerning the steps that it has taken to reassert control over Station WMJH(AM) Rockford, Michigan, and to comply with the FCC staffing requirements for Station WMJH(AM)'s main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. Birach Broadcasting Corporation shall also transmit a copy of the
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- with any questions regarding payment procedures. Phonejammer.com will also send electronic notification to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. The
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. ACSW will also send electronic notification on the date said payment is made to Peter.Waltonen@fcc.gov and JoAnn.Lucanik@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Peter Waltonen at Peter.Waltonen@fcc.gov. The Commission
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Doro will also send electronic notification on the date said payment is made to Ricardo.Durham@fcc.gov and Linda.Nagel@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. The Commission
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- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. East Kentucky Network will also send electronic notification on the date said payment is made to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Katherine Power at Katherine.Power@fcc.gov. The Commission
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. ZTE will also send electronic notification on the date said payment is made to Susan.Stickley@fcc.gov and Ricardo.Durham@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Susan Stickley at Susan.Stickley@fcc.gov. The Commission
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- regarding payment procedures. TCT Mobile will also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Kevin M. Pittman at Kevin.Pittman@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Kevin M. Pittman at Kevin.Pittman@fcc.gov.
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Locus will also send electronic notification on the date said payment is made to Karen.Mercer@fcc.gov and JoAnn.Lucanik@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen.Mercer@fcc.gov. The Commission will not consider
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- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Airo will also send electronic notification on the date said payment is made to Holly.Berland@fcc.gov and JoAnn.Lucanik@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, , if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Ava Holly Berland at Holly.Berland@fcc.gov. The
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- of this Notice, Fox Television Stations, Inc. SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. Payment of the forfeiture must be made by check or similar instrument, payable to the order of the Federal Communications Commission. The payment must include the NAL/Account Number and FRN Number referenced above. Payment by check or money order may be mailed to Federal Communications Commission, P.O. Box 979088, St. Louis, MO 63197-9000. Payment by overnight
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- the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(f) hereof. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of CBW, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that CBW
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- established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of SBI, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
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- international Section 214 authority from its attorney but it could find no record that the application was filed with the Commission. See File No. ITC-STA-20100319-00118. Id. See International Authorizations Granted, Public Notice, Rep. No. TEL-01422, DA No. 10-678 (rel. April 22, 2010). See LOI. See LOI Response. See 47 U.S.C. § 214; 47 C.F.R. § 63.18. See 47 C.F.R. § 1.16. See 47 U.S.C. § 214; 47 C.F.R. § 63.18. Federal Communications Commission DA 11-1058 Federal Communications Commission DA 11-1058 ù ë ë ¶ · ¶ · 0 ¶ · 0 ë ˆ „È È ^„È „È È ^„È ˆ ¤
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- number 24A (payment type code). América Móvil, S.A.B. de C.V. will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov and Kathy.Berthot@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. The
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- Rules, together with an accompanying statement explaining the basis for the certification; (ii) DRS Technologies has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act or the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and those specified sections of the Act and the Rules, and (ii)
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- officer (or any other affiant or declarant) is relying on the personal knowledge of any other individual, rather than his or her own knowledge, provide separate affidavits or declarations of each such individual with personal knowledge that identify clearly to which responses the affiant or declarant with such personal knowledge is attesting. All such declarations provided must comply with Section 1.16 of the Rules, and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. Failure to respond appropriately to this Media Bureau letter of inquiry may constitute a violation of the Act and our Rules, and failure to
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- this Consent Decree and with sections 64.1300, 64.1310(a), and 64.1320 of the Rules concerning payphone compensation, together with an accompanying statement explaining the basis for the certification; (ii) Compass Global has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) Compass Global is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she must provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that Compass Global has taken
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- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Licensee-Conducted Contest Rule, together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the officer cannot provide the requisite certification, the officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Licensee-Conducted Contest Rule, together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the officer cannot provide the requisite certification, the officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- § 1.80; Forfeiture Policy Statement, 12 FCC Rcd 17087, 17113 (1997). See also One Call Internet, Inc. Section 214 Transfer of Control of Domestic Transmission Lines Requirements, Order adopting Consent Decree, 18 FCC Rcd 25718 (2003) (setting the voluntary amount at $8,000 for possible unauthorized domestic section 214 transfer of control). 47 U.S.C. § 503(b)(2)(D). See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 11-1183 Federal Communications Commission DA 11-1183 l o $ m 0 0 0
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- and has addressed any instances of non-compliance and taken steps to remedy the cause thereof. Each Compliance Report must be supported by the declaration of an officer as an agent of and on behalf of ReconRobotics with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: a detailed explanation of the non-compliance; the steps ReconRobotics has taken to remedy the non-compliance and ensure future compliance; and the schedule on which the proposed remedial actions
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- statement seeking reduction or cancellation of the proposed forfeiture. . If payment is made, HK Media, Inc. will send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., Suite # 660, Los Angeles, CA 90703 and include the NAL/Acct. No. referenced in the caption. HK Media, Inc. shall also email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response
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- Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. §1.80. 47 U.S.C. § 503(b)(2)(E). See infra ¶ 5. See infra n.16. 47 U.S.C. §§ 301, 302a(b), 503(b); 47 C.F.R. §§ 0.111, 0.311, 1.80, 15.1(b), 15.1(c). 47 U.S.C. § 333. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1. 80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1311 Federal Communications Commission DA 11-1311 $ F û 0 0
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- U.S.C. § 503(b)(2)(E). See Sling Broadband, LLC, Notice of Unlicensed Operation and Notification of Harmful Interference, Document Number W201032600061 (Enf. Bur. rel. July 20, 2010). See supra ¶¶ 6, 7. See supra ¶ 11. 47 U.S.C. §§ 301, 503(b), 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 15.1(b). 47 U.S.C. § 333. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1312 Federal Communications Commission DA 11-1312 $ $ F A E E 0
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- 15 FCC Rcd 303 (1999); 47 C.F.R. §1.80. 47 U.S.C. § 503(b)(2)(E). See Ayustar Corporation, Forfeiture Order, 25 FCC Rcd 945 (Enf. Bur.), recon. denied, 25 FCC Rcd 16249 (Enf. Bur. 2010). 47 U.S.C. §§ 301, 302a(b), 503(b), 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 15.1(b), 15.1(c). 47 U.S.C. § 333. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1313 Federal Communications Commission DA 11-1313 $ F ù { Ž 0 \:Ÿ
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- § 301. 47 U. S. C. § 154(i). 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314. 47 U. S. C. § 301. 47 U.S.C. § 301. , - t u ± Æ î ü $ $ ¬ $ $ cime, Case No. 09-015722CF VOP, 11-015019CF, 10-017195CF, Application for Criminal Indigent Status, dated Feb. 28, 2011. 47 C.F.R. § 1.16. Federal Communications Commission DA 11-1324 Federal Communications Commission DA 11-1324 Federal Communications Commission DA 11-1324 F ¸ ¹ ¸ ¹ 0 ¸ ¹ 0 Í Ó „È „Lÿ^„È
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- and (3) are not aware of any instances of non-compliance. If the Compliance Officer is not able to so certify, he or she shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Rules, and be substantially in the form set forth therein. Self-Disclosure. Within thirty (30) calendar days of the Compliance Officer or senior executive management becoming aware of the matter (whether from a report from an employee or otherwise), the Companies will report any occurrences of noncompliance with the terms and conditions of this Consent Decree; with section 310(d)
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- the basis for the officer's compliance certification; (ii) has been utilizing those procedures since establishing and implementing the Compliance Plan; and (iii) is not aware of any instances of noncompliance, other than those set forth in paragraph 8(e) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Alpheus, shall provide the Commission with a detailed explanation of: (i) any instances of noncompliance with this Consent Decree, the
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- and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) STi and Progress have been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree, the Act or the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that STi and Progress have
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- A stations. There are no significantly viewed in-state stations in Campbell County. On average, households in Carbon County receive 0.84 in-state, full-power station over the air and 2.53 in-state stations including full-power stations, translators, low-power stations, and Class A stations. KGWN-TV (CBS), assigned to the Cheyenne-Scottsbluff DMA, is significantly viewed in Carbon County. On average, households in Johnson County receive 1.16 in-state full-power stations over the air and 2.72 in-state stations including full-power stations, translators, low-power stations, and Class A stations. Johnson County has two significantly viewed stations: KGWN-TV (CBS) and KTWO-TV (ABC), assigned to the Cheyenne-Scottsbluff DMA and Casper-Riverton DMAs, respectively. On average, households in Niobrara County receive 0.01 in-state, full-power stations over the air and 0.02 in-state stations including
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- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Marshall Amplification PLC will also send electronic notification to Nissa.Laughner@fcc.gov and Neal.McNeil@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability
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- 47 C.F.R. § 1.80(b)(4). See also Gabriel A. Garcia, Notice of Apparent Liability for Forfeiture, 26 FCC Rcd 3750 (Enf. Bur. 2011) (upward adjustment warranted for unlicensed operation which resulted in interference to public safety radio operations). 47 U.S.C. §§ 301, 333, 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1475 Federal Communications Commission DA 11-1475 $ Æ Æ F
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- and (3) are not aware of any instances of non-compliance. If the Compliance Officer is not able to so certify, he or she shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Rules, and be substantially in the form set forth therein. Reporting Non-Compliance. NUI will report to the Bureau any non-compliance with this Consent Decree or sections of the Act, Rules, or Commission Orders that relate to the purchase, sale, acquisition, assignment or transfer of control of NUI or NUI assets, within 15 days after the discovery of non-compliance.
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- of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 17.51(a), 17.48, and 17.57. 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1487 Federal Communications Commission DA 11-1487 Á  ÷ $ Å Æ ^„Ð Æ F 5 Ÿ ò ¡ ¢ ¡ ¢ €¢ €¢ €¢ €¢ €¢ €¢ €¢ €¢ €¢ 0 0 ¢ š š ž ž Ÿ
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- determined under this section shall not exceed $16,000 for each violation or each day of a continuing violation, except that the amount assessed for any continuing violation shall not exceed a total of $112,500 for any single act or failure to act.'' 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 1.80. 47 C.F.R. § 1.80. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1491 Federal Communications Commission DA 11-1491 (R) ¯ F 0 0 `j· 'LŠ~`j·
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- ¶ 25. Id.; Teleplus NAL, LLC, Notice of Apparent Liability for Forfeiture, 24 FCC Rcd at 7670-71 ¶ 12; InPhonic NAL, 20 FCC Rcd at 8706 ¶ 41 (2007). See Note 34, supra. See 47 U.S.C. § 503; 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80. See 47 U.S.C. § 214(a); 47 C.F.R. §§ 63.18, 63.04. See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 11-1529 Federal Communications Commission DA 11-1529 º " $ r ø D ] '' t u t u € € € € 0 € € € € € € € € € t u € € € € 0 € € € € € € € € €
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- for Forfeiture, 23 FCC Rcd 12233 (Enf. Bur. 2008) (proposing a $25,000 forfeiture against an interconnected VoIP provider and common carrier for its violation of 1.17(a)(2) of the Commission's Rules). See 47 C.F.R. § 1.80; Forfeiture Policy Statement, 12 FCC Rcd 17087, 17113 (1997). See 47 C.F.R. §§ 1.17, 1.65(a). See 47 C.F.R. § 1.1914. See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 11-1536 Federal Communications Commission DA 11-1536 ( / * $ ï y ñ ñ € € € € € € € € ñ 0 ñ 0
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- recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). See Eleuterio Lebron, Notice of Unlicensed Operation (Enf. Bur., San Juan Office, rel. March 2, 2010). b c e $ Æ Q(Enf. Bur. 2010). 47 U.S.C. § 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 11 -1578 Federal Communications Commission DA 11 -1578 F „
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Scottsdale Lexus will also send electronic notification to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov.on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. The Commission
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Airadigm, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- arinquiries@fcc.gov with any questions regarding payment procedures. Pace must also send electronic notification on the date said payment is made to Pamera Hairston at Pamera.Hairston@fcc.gov and Katherine Power at Katherine.Power@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and Katherine Power at Katherine.Power@fcc.gov The Commission
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- Consent Decree and section 214 of the Act and sections 63.03, 63.04, 63.18, and 63.24 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- normally be grounds for an upward adjustment, but because of the system's small number of subscribers, we will refrain from doing so in this case. Future violations of our EAS rules, however, may be subject to larger penalties. 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80, 11.35(a). See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 11-1721 Federal Communications Commission DA 11-1721 $ Æ Æ F d c c é é c c é é
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- and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 301, 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). Federal Communications Commission DA 11-1722 Federal Communications Commission DA 11-1722 7 Ÿ c à ó
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- SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . P&Y Broadcasting Corporation shall send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., Suite 660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. P&Y Broadcasting Corporation shall also email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a
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- 13740 (Enf. Bur. 2010) (petition for reconsideration pending); Loyd Morris, Forfeiture Order, 26 FCC Rcd 6856 (Enf. Bur. 2011), aff'g Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur 2010) (petition for reconsideration pending). j k $ n o o 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 11-1750 Federal Communications Commission DA 11-1750 F 0 o
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- of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. See 47 U.S.C. § 503(b)(2)(E). See 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80, 11.35(a), 73.1690(b)(2), 73.3527(b)(1). See 47 C.F.R. § 1.1914. See 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 11-1755 Federal Communications Commission DA 11-1755 ) ½ Ç $ ¼ ½ È Æ Æ Æ F ð º Ð 0
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- and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 301, 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). Federal Communications Commission DA 11-1775 Federal Communications Commission DA 11-1775 ‚ $ Æ H 0 0
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- Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 503(b), 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 17.50(a), 73.49. See 47 C.F.R. § 1.1914. See 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 11-1802 Federal Communications Commission DA 11-1802 u x $ F ¦ " Ð Ð € € 0
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- other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that CRNI is apparently liable for a $4,000 forfeiture for failure to operate its station pursuant to the authorized power limits. We further order CRNI to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of CRNI within thirty (30) days of the release date of this NAL that Station KPIO is now in compliance with section 73.1745(a) of the Rules. ORDERING CLAUSES Accordingly, IT IS ORDERED that, pursuant to section 503(b) of the Communications Act of 1934, as amended, and sections
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- Keystone Wireless, LLC d.b.a. Immix Wireless must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau-Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The Commission will
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- seeking reduction or cancellation of the proposed forfeiture. with any questions regarding payment procedures. South Bay Aviation shall send electronic notification to WR-Response@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Road, Suite 660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a
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- with any questions regarding payment procedures. Chariton Valley must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov and Paul Noone at Paul.Noone@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and Paul Noone at Paul.Noone@fcc.gov. The Commission
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- statement as described in paragraph 7 to the Norfolk Office within thirty (30) calendar days of the release date of this Notice of Apparent Liability for Forfeiture and Order. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Norfolk Office, 1457 Mount Pleasant Rd, Suite 113, Chesapeake, Virginia 23322 and must include the NAL/Acct. No. referenced in the caption. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the
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- Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997), recon. denied, 15 FCC Rcd 303 (1999) (``Forfeiture Policy Statement''); 47 C.F.R. §1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80, 95.409, 95.411. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (continued....) Federal Communications Commission DA 11-1834 Federal Communications Commission DA 11- 1834 Û è G Í 0 0 K
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of OTZ, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- questions regarding payment procedures. Cricket Communications, Inc. must also send electronic notification on the date said payment is made to Kathy Harvey at Kathy.Harvey@fcc.gov and to Ricardo Durham at Ricardo.Durham@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Kathy Harvey at Kathy.Harvey@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. The Commission
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Page Plus, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- proposed forfeiture, per paragraphs 11 and 12. . Custom Interface Technologies, a Division of Thornstar Corporation, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles District Office, 18000 Studebaker Rd., Suite 660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. Custom Interface Technologies, a Division of Thornstar Corporation, also shall email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling
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- SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . Timothy J. Mullen will send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. Timothy J. Mullen shall also email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- Liability for Forfeiture, HITV License Subsidiary, Inc. SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. 33. Payment of the forfeiture must be made by check or similar instrument, payable to the order of the Federal Communications Commission. The payment must include the NAL/Account Number and FRN Number referenced above. Payment by check or money order may be mailed to Federal Communications Commission, P.O. Box 979088, St. Louis, MO 63197-9000. Payment by
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- the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Sprint, shall provide the Commission with a detailed explanation of: (A) each instance of non-compliance; (B) the steps that Sprint
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Carrier Coach, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Cross Wireless, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that MMG is apparently liable for a forfeiture of $8,000 for its violation of section 11.35 of the Rules. We further order MMG to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of MMG within thirty (30) days of the release date of this NAL that Station KRDD(AM) is now in compliance with section 11.35 of the Rules. ORDERING CLAUSES Accordingly, IT IS ORDERED that, pursuant to section 503(b) of the Communications Act of 1934, as amended, and sections
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- and sections 1.903, 1.948 and 1.949(a) of the Commission's Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since commencement of the Compliance Plan or the previous Compliance Report was submitted, as applicable; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he or she, as an agent of and on behalf of Rio Tinto or Alcan, respectively, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance
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- Rcd. 7589, 7591, ¶ 4 (2002). See 47 U.S.C. 214(a); see also 47 C.F.R. §§ 63.03, 63.04. 47 U.S.C. § 503(b)(2)(E). See 47 C.F.R. § 1.80; Forfeiture Policy Statement, 12 FCC Rcd. 17087, 17113 (1997). 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80. 47 U.S.C. § 214; 47 C.F.R. §§ 63.03, 63.04. See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 11-2012 Federal Communications Commission DA 11-2012 î ï 0 0 9 E
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- Rcd 74, 76 n.23 (Enf. Bur., Spectrum Enf. Div. 2011). The forfeiture amount we propose herein relates only to North Central's apparent violations that have occurred within the past year. 47 C.F.R. § 20.19(d)(3)(ii). 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.311, 1.80. { | Æ kdN 2.R. § 20.19(d)(3)(ii). 47 C.F.R. § 1.80. 47 C.F.R. §§ 1.80(f)(3), 1.16. (continued....) Federal Communications Commission DA 11-2034 Federal Communications Commission DA 11-2034 ª w (R) (R) 0 (R) 0 Ñ
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- regarding payment procedures. Affordable Phone Services, Inc. must also send electronic notification to Samantha Peoples at Sam.Peoples@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Samantha Peoples at Sam.Peoples@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. The Commission
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- Inc. dba Airfire Wireless must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov, Kathy Harvey at Kathy.Harvey@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. The
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- Caprock Cellular Limited Partnership must also send electronic notification to Celia Lewis at Celia.Lewis@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Celia Lewis at Celia.Lewis@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. The Commission
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- Big Sky Mobile must also send electronic notification to Paul Noone at Paul.Noone@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Paul Noone at Paul.Noone@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 17. The
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- Communication, Inc. also must send electronic notification to Nissa Laughner at Nissa Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. 17.
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- Centennial Communications Corporation must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 20. The
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- Holding Company d.b.a. MetTel must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must also be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov.
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- Locus Telecommunications, Inc. must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 20. The
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- procedures. NEP Cellcorp, Inc. must also send electronic notification to Linda Nagel at Linda.Nagel@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Linda Nagel at Linda.Nagel@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. The Commission
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- Maximum Communications Cellular, LLC must also send electronic notification to Jennifer Burton at Jennifer.Burton@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Jennifer Burton at Jennifer.Burton@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. The Commission
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- 1.948 of the Commission's Rules, together with an accompanying statement explaining the basis for the certification; (ii) Turner has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) Turner is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act and Rules. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the FCC Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Act or Rules, and (ii) the steps that
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- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Community Television of Southern California shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- statement as described in paragraph 9 to the New Orleans Office within thirty days of the release date of this Notice of Apparent Liability for Forfeiture and Order. . 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, New Orleans Office, 2424 Edenborn Avenue, Suite 460, Metairie, LA 70001, and must include the NAL/Acct. No. referenced in the caption. 15. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless
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- Notice of Apparent Liability for Forfeiture and Order. with any questions regarding payment procedures. Media East shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Norfolk Office 1457 Mount Pleasant Rd, Suite 113, Chesapeake, Virginia 23322 and must include the NAL/Acct. No. referenced in the caption. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the
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- knowledge that such action violated the rules). On February 10, 11, and 12, 2010, agents from the Tampa Office recorded Mr. Aversa's transmissions. Mr. Aversa discussed various conspiracy theories, sang songs, and described local landmarks, but he did not mention anything about ships in distress. 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 1.80, 80.13; 47 U.S.C. § 301. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 11-232 Federal Communications Commission DA 11 -232 F á ° „ ^„ °
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- and with section 310(d) of the Act and sections 73.3526, 73.3540, 73.3613, and 73.3615 of the Commission's Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; (iii) has filed the required annual Hearing Aid Compatibility Report and updated its public website in a timely manner consistent with the Rules; and (iv) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Pantech, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- Customer New Customer Mean S.E. Mean S.E. Mean S.E. Mean S.E. Mean S.E. Sample groups overall 2009 761 $46.14 0.85 $33.69 0.81 $31.10 0.51 730 $23.94 0.74 $25.89 0.70 2008 739 $46.23 0.79 $32.38 0.77 $29.61 0.46 711 $23.11 0.60 $25.99 0.67 Noncompetitive communities 2009 349 $46.71 1.21 $33.52 1.15 $30.65 0.69 322 $23.01 1.06 $24.01 0.99 2008 327 $46.87 1.16 $32.54 1.13 $29.68 0.66 303 $21.72 0.84 $23.92 0.96 All Effective Competition Communities 2009 412 $44.92 0.71 $34.06 0.63 $32.05 0.63 408 $25.85 0.64 $29.77 0.66 2008 412 $44.91 0.45 $32.08 0.40 $29.47 0.40 408 $25.84 0.61 $30.07 0.62 Second operator subgroup (all) 2009 140 $43.58 0.82 $33.43 0.74 $31.98 0.73 137 $32.46 1.15 $30.48 0.94 2008 140 $46.03 0.64
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- officer (or any other affiant or declarant) is relying on the personal knowledge of any other individual, rather than his or her own knowledge, provide separate affidavits or declarations of each such individual with personal knowledge that identify clearly to which responses the affiant or declarant with such personal knowledge is attesting. All such declarations provided must comply with Section 1.16 of the Commission's rules, and must be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. Failure to respond appropriately to this letter of inquiry may constitute a violation of the Communications Act and our rules. The Licensee
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- Liability for Forfeiture, Cumulus Licensing, LLC SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. , The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. The Commission will not consider reducing or canceling
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Pacific Spanish Network, Inc. shall send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, California, 92111, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be emailed to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response
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- late-filed outage reports and taken steps to remedy the cause of the late filings. Each Compliance Report must be supported by the declaration of the Compliance Officer as an agent of and on behalf of AT&T with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: a detailed explanation of the non-compliance; the steps AT&T has taken to remedy the non-compliance and ensure future compliance; and the schedule on which the proposed remedial actions
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- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Underwriting Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
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- resources for early warning, disaster mitigation and relief operations NOC ATTACHMENT 20 RESOLUTION FCC NTIA Comments WRC-12 Agenda Item RES 646 (WRC-03) Public protection and disaster relief NOC RES 647 (WRC-07) Spectrum management guidelines for emergency and disaster relief radiocommunication NOC RES 671 (WRC-07) Recognition of systems in the meteorological aids service in the frequency range below 20 kHz NOC 1.16 RES 672 (WRC-07) Extension of the allocation to the meteorological satellite service in the band 7 750 7 850 MHz SUP Per USPR 1.24 CITEL dated 15 Oct 2009 1.24 RES 673 (WRC-07) Radiocommunications use of Earth observation applications NOC RES 703 (Rev.WRC-07) Calculation methods and interference criteria recommended by ITU-R for sharing frequency bands between space radiocommunication and
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-11-447A3_Rcd.pdf
- nda Item RES 646 (WRC-03 ) Pu blic pro tection and d isaster relief NOC RES 647 (WRC- 07) S pectr um managem ent gui delines for emergency a nd disaste r relief radioc omm unication NOC RES 671 (WRC-07) Recognition of syste ms in the meteorological aids se rvice in the fre que ncy range below 20 kHz NOC 1.16 RES 672 (WRC-07 ) Ex tensi on of th e allo catio n to the meteorological satellite service in th e band 7 750 7 850 MHz SUP Per USPR 1.24 CITEL date d 15 Oct 2009 1.24 RES 673 (WRC- 07) Radioc omm unications use of E arth obs ervation applications NOC RES 703 (Rev. WRC- 07) Calc
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- govern presentation of testimony in trial proceedings, at issue in an administrative context that . . . has not been designated for formal adjudicative hearing.'' Public Utilities Commission, State of Hawaii, 10 FCC Rcd 2359, 2368, ¶ 37 (1995), affirmed on other grounds, Connecticut Dep't of Pub. Util. Control v. FCC, 78 F.3d 842 (2d Cir. 1996). 47 C.F.R. §§ 1.16, 76(a)(4). Bright House Networks, LLC, 22 FCC Rcd 4169, 4172, ¶ 7 (2007); Comcast of Dallas, L.P., 20 FCC Rcd 17968, 17970-71, ¶¶ 6-7 (2005). 47 C.F.R. § 0.283. (...continued from previous page) (continued....) Federal Communications Commission DA 11-466 Federal Communications Commission DA 11-466 = F é 0 0 0
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- 1934, as amended (the ``Communications Act'' or ``Act''), 47 U.S.C. § 503(b)(5). Resp-Org.com is being cited for violations of the Act and Federal Communications Commission's (``FCC'' or ``Commission'') rules for failure to fully respond to an Enforcement Bureau (``Bureau'') inquiry to provide certain information and documents related to the Bureau's investigation into toll free number administration and non-compliance with section 1.16 of the Commission's rules, 47 C.F.R. § 1.16. As explained below, future violations of the Act or Commission's rules in this regard may subject you to monetary forfeitures. Sections 4(i), 4(j), and 403 of the Act afford the Commission broad authority to investigate the entities it regulates. Section 4(i) authorizes the Commission to ``issue such orders, not inconsistent with this
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- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Shubat Transportation Company must also send electronic notification to Ricardo.Durham@fcc.gov and to Celia.Lewis@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Ricardo.Durham@fcc.gov and to Celia.Lewis@fcc.gov. The Commission will not consider reducing or
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- the Cable Landing License Act of 1921, and sections 1.65, 1.767, 1.948, 25.119 and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) AST has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) AST is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that AST has taken or
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- and has addressed any instances of non-compliance and taken steps to remedy the cause thereof. Each Compliance Report must be supported by the declaration of an officer as an agent of and on behalf of Allegiance with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: a detailed explanation of the non-compliance; the steps Allegiance has taken to remedy the non-compliance and ensure future compliance; and the schedule on which the proposed remedial actions
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- with an accompanying statement explaining the basis for the officer's certification; (ii) the Company has been utilizing those procedures for the entire term of the Consent Decree; and (iii) the officer is not aware of any instances of non-compliance with this Consent Decree that have not otherwise been disclosed pursuant to subsection (B) above. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. Such certification must be mailed within fifteen (15) days of the one (1) and the two (2) year anniversary of the Effective Date, and Comcast must mail its certification to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission,
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- a broadband connection, and about 24% of labor force participants in a typical region have a tertiary education. Table 2: Descriptive Statistics Variables Scale Obs. Mean St. Dev. Min Max PctHHBBit 266 39.80 15.54 9 76 Popit (in 100,000s) 266 34.71 41.03 0.27 363.78 PopDenit (100 per km2) 266 3.46 8.73 0.0016 52.79 GDPit (in billions US$) 266 129.24 185.93 1.16 1801.76 GDPit (in thousands US$) 266 35.66 13.31 12.43 157.37 PctTerEducit 250 24.09 8.00 7.66 47.74 Before proceeding to the regression results, we present scatter plots of the unconditional correlations between broadband adoption rates and the independent variables of our regression in Figure 1. There appears to be little correlation between the percentage of households with broadband and either total
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-11-732A1_Rcd.pdf
- a broadband connection, and about 24% of labor force participants in a typical region have a tertiary education.5 Table 2: Descriptive Statistics Variables Scale Obs. Mean St. Dev. Min Max PctHHBBit 266 39.80 15.54 9 76 Popit (in 100,000s) 266 34.71 41.03 0.27 363.78 PopDenit (100 per km2) 266 3.46 8.73 0.0016 52.79 GDPit (in billions US$) 266 129.24 185.93 1.16 1801.76 GDPit (in thousands US$) 266 35.66 13.31 12.43 157.37 PctTerEducit 250 24.09 8.00 7.66 47.74 Before proceeding to the regression results, we present scatter plots of the unconditional correlations between broadband adoption rates and the independent variables of our regression in Figure 1.6There appears to be little correlation between the percentage of households with broadband and either total population
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- 0.776 47.794 49.912 52.729 2.041 2.065 2.096 1.482 1.466 1.479 1.428 1.412 1.416 1.376 1.362 1.625 1.958 1.997 2.146 4.06 4.241 4.422 9.194 9.278 9.262 1.719 1.708 1.683 25.387 24.447 25.723 17.005 16.987 16.567 1.346 1.504 1.676 452.951 487.456 518.809 16.598 16.767 17.215 0.178 0.195 0.206 257.871 260.458 264.263 0.898 0.906 0.954 6.438 4.802 5.018 0.602 0.615 0.634 1.04 1.083 1.16 1.583 1.573 1.655 0.997 0.973 0.96 667.89 758.255 819.153 2.809 3.153 3.549 4.772 4.192 4.492 0.653 0.656 0.669 1 1 1 15.429 16.131 16.832 525.414 625.759 720.251 56.98 57.202 58.248 1.87 2.009 2.905 6,152.596,464.297,162.52 96.929 87.685 108.314 3,192.663,502.353,875.69 0.952 1.177 1.37 Country Afghanistan Albania Algeria American Samoa Andorra Angola Antigua and Barbuda Arab World Argentina Armenia Aruba Australia Austria Azerbaijan
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- 69.20 68.75 68.41 68.03 67.76 11350.19 11434.57 1251441 1236690 1223238 94.98 94.29 93.56 92.63 92.06 13721.87 14092.27 1525317 1514020 1502409 87.11 86.72 86.26 85.72 85.40 16431.33 16556.88 1342231 1334506 1325527 74.03 73.67 73.34 72.99 72.78 15376.12 15525.86 307672 315459 319368 2.86 2.92 2.99 3.05 3.11 9857.70 10362.71 196161 201585 176.46 179.44 183.77 188.13 193.33 116711 118171 1.08 1.10 1.14 1.15 1.16 4312526 4401335 4450030 58.29 59.59 61.05 62.42 63.06 148232.82 160448.91 1153796 1179280 1199297 33.83 34.65 35.52 36.34 36.74 27414.11 29321.14 3158730 3222055 3250733 82.17 83.94 85.98 87.90 88.77 120818.70 131127.67 59131287 59619290 60045068 193.06 194.49 195.60 197.04 197.85 1594653.551649437.67 4352828 4401266 4432571 172.98 174.42 174.87 176.07 173.26 130348.72 134552.22 124812 125979 127065 37.82 38.10 38.41 38.72 38.61 3974.46 4093.13 1607878
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- Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. (ii) The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of PreSonus, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that PreSonus
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Mattoon Broadcasting Company will also send electronic notification on the date said payment is made to NER-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Chicago District Office, 1550 North Northwest Highway, Room 306, Park Ridge, IL 60068 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to NER-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response
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- Plan for the entire term of the Consent Decree; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree that have not been disclosed as required by Paragraph 11(d) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Sprint, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that Sprint
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- conditions of this Consent Decree, the Unauthorized Transfer of Control Laws, the Underwriting Laws, and the Origination Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree,
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- Liability for Forfeiture, Patrick H. Sickafus SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia District Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. The Commission will not consider reducing or
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- the Act, and sections 63.01, 63.03, 63.04, 63.12, 63.18 and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) PCS and Surry have been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that PCS and Surry have
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- the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Luxul, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that Luxul
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- reduction or cancellation of the proposed forfeiture. with any questions regarding payment procedures. Lazer Licenses, LLC, will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street - Suite 370, San Diego, CA 92111 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response
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- to ensure compliance with the terms and conditions of this Consent Decree and with the Sponsorship Identification Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Station, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- ensure compliance with the terms and conditions of this Consent Decree and with section 73.1206 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Station, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Call Mobile must also send electronic notification to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. The Commission
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- Media Trust, Dennis J. Watkins, Trustee, SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Chicago Office, 1550 North Northwest Highway, Room 306, Park Ridge, Illinois 60068 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in
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- Liability for Forfeiture, Stephen R. Peters SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Columbia Office, 9200 Farm House Lane, Columbia, MD, 21046, and must include the NAL/Acct. No. referenced in the caption. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits: (1)
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- Liability for Forfeiture, Della Jane Woofter SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Columbia Office, 9200 Farm House Lane, Columbia, MD, 21046 and must include the NAL/Acct. No. referenced in the caption. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits: (1)
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- any questions regarding payment procedures. SmartLabs, Inc. will also send electronic notification on the date said payment is made to Kathy Harvey at Kathy.Harvey@fcc.gov and to Neal McNeil at Neal.McNeil@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Kathy Harvey at Kathy.Harvey@fcc.gov and Neal McNeil at Neal.McNeil@fcc.gov. The Commission
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- and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). & ' $ * + 107 Federal Communications Commission DA 12-107 0
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- pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Casarez is apparently liable for a forfeiture of $8,000 for his violation of Section 11.35 of the Rules. We further order Casarez to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by Casarez stating that Station KCRX(AM) is now in compliance with Section 11.35 of the Rules. This statement must be provided to the San Diego Office at the address listed in paragraph 11 within thirty (30) calendar days of the release of this NAL. ORDERING CLAUSES Accordingly, IT IS ORDERED that, pursuant
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- found to be appropriate given the multiple violations and deliberate disregard for the Act and the Commission's rules. Further, the facts in the 1st NAL indicated that Mr. Fleurinor had been repeatedly informed about the violations since January 2008. 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). Federal Communications Commission DA 12-111 Federal Communications Commission DA 12-111 â ã $ ä 0
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- San Francisco Office 2011) (imposing a $25,000 forfeiture for repeated and willful violations of Section 301; the forfeiture amount included a $15,000 upward adjustment because of the deliberate nature of the violations and the interference caused to FAA operations). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-112 < = Á $ Á  Federal Communications Commission DA 12-112 F 0 0 Á
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- degree of culpability, any history of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that L&R is apparently liable for a forfeiture of $10,000. We direct L&R to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of L&R, stating that Station KPIR is maintaining and making available a complete public inspection file. This statement must be provided to the Dallas Office at the address listed in paragraph 12 within thirty (30) calendar days of the release date of this NAL. ORDERING CLAUSES Accordingly,
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- documentation (including gross revenue figures), and after applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that KM Radio is apparently liable for a $10,000 forfeiture. In addition to the proposed forfeiture, we direct KM Radio to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of KM Radio, stating that the Licensee has repaired its EAS equipment and tower lighting, it is operating its stations within authorized power limits, and it is maintaining two separate and complete public inspection files for Stations KQMG and KQMG-FM. This statement must be provided to the Kansas City Office at the
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- of the Act, and Section 1.948 of the Commission's Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since commencement of the Compliance Plan or the previous Compliance Report was submitted, as applicable; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he or she, as an agent of and on behalf of the Companies, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
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- degree of culpability, any history of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that ATVCI is apparently liable for a forfeiture of $10,000. We direct ATVCI to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of ATVCI, certifying that its public inspection file is available during regular business hours. This statement must be provided to the New Orleans Office at the address listed in paragraph 11 within thirty (30) calendar days of the release date of this NAL. IV. ORDERING CLAUSES Accordingly,
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- officer (or any other affiant or declarant) is relying on the personal knowledge of any other individual, rather than his or her own knowledge, provide separate affidavits or declarations of each such individual with personal knowledge that identify clearly to which responses the affiant or declarant with such personal knowledge is attesting. All such declarations provided must comply with Section 1.16 of the Rules, and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. Failure to respond appropriately to this Media Bureau letter of inquiry may constitute a violation of the Communications Act and the Commission's Rules. The
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-12-185A1_Rcd.pdf
- officer (or any other affiant or declarant) is relying on the personal knowledge of any other individual, rather than his or her own knowledge, provide separate affidavits or declarations of each such individual with personal knowledge that identify clearly to which responses the affiant or declarant with such personal knowledge is attesting. All such declarations provided must comply with Section 1.16 of the Rules,4and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment.5Failure to respond appropriately to this MediaBureau letter of inquiry may constitute a violation of the Communications Act and the Commission's Rules.6 The Licensee shall direct
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- 18 39,963 4,060 3.12 456.65 5,944.53 199.24 1.44 0.92 0.00 314.36 1.69 AR 3,682 175 100 50 14 12,058 2,746 0.00 343.10 4,035.50 176.99 0.06 206.45 0.00 345.21 11.81 AZ 34,345 234 132 15 8 85,332 36,847 12.77 865.50 42,398.07 4,124.07 4.43 50.43 0.32 1,584.27 29.37 CA 19,650 407 249 51 30 34,947 32,135 36.68 1,265.05 29,222.59 3,371.59 8.51 24.00 1.16 934.09 5.39 CO 11,271 219 150 58 14 16,938 20,200 0.00 923.89 16,502.92 1,564.00 0.00 142.42 1.86 838.56 83.22 CT 81 15 9 3 3 624 9 0.00 6.90 25.03 1.96 0.00 0.00 0.00 1.35 0.00 DE 22211 52 1 0.00 0.00 1.17 0.00 0.00 0.00 0.00 0.00 0.00 FL 1,665 87 69 36 21 7,749 1,920 15.43 126.32 1,749.27
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- the evidence before us, we find that an upward adjustment of $2,000 is warranted. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Richards TV is apparently liable for a total forfeiture in the amount of $10,000. We direct Richards TV to submit a statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Richards TV stating that its cable system serving Jerusalem, Ohio is now in compliance with Section 11.35 of the Rules. The statement should also state whether Richards TV's cable systems serving Bealsville, Ohio and New Athens, Ohio are in compliance with Section 11.35 of the Rules.
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- Statement and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (``Forfeiture Policy Statement''), recon. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 503(b), 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 73.3526(e)(12). See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) Federal Communications Commission DA 12-198 Federal Communications Commission DA 12-198 $ Æ F ² 0 ° „ ^„ °
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- before consummating the transactions that transferred control of the authorizations held by HTI. Under these circumstances, we do not believe an upward adjustment of the proposed forfeiture is warranted. 47 U.S.C. § 503(b). 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80. 47 U.S.C. § 1; Cable Landing License Order, 8 FCC Rcd at 7606, para. 6(4). See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 12-211 Federal Communications Commission DA 12-211 Á  ' Ì 0 0 0
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- also send electronic notification within forty-eight (48) hours of the date said payment is made to Theresa Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Mindy Littell at Mindy.Littell@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules.32The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Theresa Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Mindy Littell at
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- terms and conditions of this Consent Decree, the Federal Regulatory Reporting and Contribution Rules, and the CPNI Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of BSCI, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of AMS, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that JHT Ventures is apparently liable for a forfeiture in the amount of $4,000. We further order JHT Ventures to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of JHT Ventures, stating that it is operating Station KULF only during daytime hours and consistent with its license authorization. This statement must be provided to the Houston Office at the address listed in paragraph 11, below, within thirty (30) calendar days of the release date of
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- to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Super W is apparently liable for a total forfeiture of $4,000. We also direct Super W to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of Super W, stating the measures it has taken to come into full compliance with Section 73.1350(a) of the Rules. This statement must be provided to the Tampa Office at the address listed in paragraph 12, below, within thirty (30) calendar days of the release date of this NAL. ORDERING CLAUSES Accordingly,
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- as a sufficient deterrent. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Argos is apparently liable for a forfeiture of $25,000 for violations of Section 301 of the Act and Section 15.1(b) of the Rules. Finally, we order Argos to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Argos stating that Argos is now operating all of its U-NII devices in compliance with their equipment authorizations and the Rules. This statement must be provided to the San Juan Office at the address listed in paragraph 19 within thirty (30) calendar days of the release
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- to notify the structure owner promptly in the event of a lighting failure or other malfunction. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Hacienda is apparently liable for a forfeiture in the amount of $4,500. We direct Hacienda to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Hacienda stating that it has submitted an FCC Form 854 to the Commission to update the ownership information for the Antenna Structure. This statement must be provided to the San Juan Office at the address listed in paragraph 11 within thirty (30) calendar days of the
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 11 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Epic Touch, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- FM stations in market 0.009 (0.31) 0.006 (0.20) 0.009 (0.31) Number of FM stations in contour -0.000 (0.01) -0.001 (0.02) 0.002 (0.05) Number of commercial TV stations 0.027 (0.30) 0.030 (0.33) 0.033 (0.36) Number of digital radio stations in market 0.015 (1.11) 0.020 (1.46) 0.016 (1.18) Number of newspapers in market -0.232 (2.25)* -0.249 (2.40)* -0.228 (2.22)* Population 18+ -0.000 (1.16) -0.000 (0.97) -0.000 (0.90) Retail expenditures in market -0.000 (0.51) 0.000 (0.08) -0.000 (0.23) Per capita income in market -0.000 (1.70) -0.000 (2.24)* -0.000 (2.14)* 2007-2009 time effect -0.301 (3.64)** -0.304 (3.64)** -0.299 (3.64)** Constant -0.058 (0.86) -0.059 (0.87) -0.051 (0.76) * - estimated regression coefficient is different from zero at the 95 percent level of confidence. ** - estimated
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- C.F.R. § 1.80. See 47 C.F.R. § 0.283. See 47 C.F.R. § 73.3526(e)(11)(iii). 47 C.F.R. § 73.3526. See Padre Serra Communications, Inc., 14 FCC Rcd 9709 (1999) (citing Gaffney Broadcasting, Inc., 23 FCC 2d 912, 913 (1970) and Eleven Ten Broadcasting Corp., 33 FCC 706 (1962)); Surrey Range Limited Partnership, 71 RR 2d 882 (FOB 1992). See 47 C.F.R. § 1.16. (``Employee acts or omissions, such as clerical errors in failing to file required forms, do not excuse violations.'') See, e.g., Sage Broadcasting Corporation, 23 FCC Rcd 8160, 8162 (Vid. Div. 2008); HP Television, L.P., 10 FCC Rcd 4979, 4980 (MMB 1995); Mountain States Broadcasting, Inc., 9 FCC Rcd 2545, 2546 (MMB 1994). 47 U.S.C. § 503(b)(1)(B); see also 47 C.F.R.
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- Order, 26 FCC Rcd 6856 (Enf. Bur., Northeast Region 2011) (imposing a $15,000 forfeiture for violations of Section 301), aff'g Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur., Boston Office 2010) (petition for reconsideration pending). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) $ (continued....) Federal Communications Commission DA 12-339 Federal Communications Commission DA 12-339 F 0
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- we conclude that Mr. Czura is apparently liable for a total forfeiture of $25,000, consisting of the following: $7,000 for failure to maintain an effective locked fence, $8,000 for failure to install EAS equipment, and $10,000 for failure to maintain and make available a complete public inspection file. We direct Mr. Czura to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury that the licensee has: (1) repaired the locked fence around the base of the antenna tower; (2) placed all of the required contents in Station WNFO's public inspection file; and (3) properly installed Station WNFO's EAS equipment. This statement must be provided to the Atlanta Office at the address listed in paragraph
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- Rules. See 47 C.F.R. § 0.283 See 47 C.F.R. § 73.3526(e)(11)(iii). 47 C.F.R. § 73.3526. See Padre Serra Communications, Inc., 14 FCC Rcd 9709 (MMB 1999) (citing Gaffney Broadcasting, Inc., 23 FCC 2d 912, 913 (1970) and Eleven Ten Broadcasting Corp., 33 FCC 706 (1962)); Surrey Front Range Limited Partnership, 7 FCC Rcd 6361 (FOB 1992). See 47 C.F.R. § 1.16. The Licensee states that it acquired WBXN-CA on April 20, 2007, and, therefore, was not responsible for preparing a Form 398 for the first quarter of 2007. ( ``Employee acts or omissions, such as clerical errors in failing to file required forms, do not excuse violations.'') See, e.g., Sage Broadcasting Corporation, 23 FCC Rcd 8160, 8162 (Vid. Div. 2008); HP
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- Rules. See 47 C.F.R. § 0.283. See 47 C.F.R. § 73.3526(e)(11)(iii). 47 C.F.R. § 73.3526. See Padre Serra Communications, Inc., 14 FCC Rcd 9709 (MMB 1999), (citing Gaffney Broadcasting, Inc., 23 FCC 2d 912, 913 (1970) and Eleven Ten Broadcasting Corp., 33 FCC 706 (1962); Surrey Front Range Limited Partnership, 7 FCC Rcd 6361 (FOB 1992). See 47 C.F.R. § 1.16. ( ``Employee acts or omissions, such as clerical errors in failing to file required forms, do not excuse violations.'') See, e.g., Sage Broadcasting Corporation, 23 FCC Rcd 8160, 8162 (Vid. Div. 2008); HP Television, L.P., 10 FCC Rcd 4979, 4980 (MMB 1995); Mountain States Broadcasting, Inc., 9 FCC Rcd 2545, 2546 (MMB 1994). 47 U.S.C. § 503(b)(1)(B); see also 47
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- constitutes egregious behavior warranting an upward adjustment of $4,000. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Hoosier is apparently liable for a total forfeiture in the amount of $8,000. We also direct Hoosier to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of Hoosier, reporting on the status of the Station's operations (i.e., whether it is currently broadcasting; if not, an explanation as to why, and when, it has stopped broadcasting) and the location of its transmitter. This statement must be provided to the Chicago Office at the address listed in paragraph 14, below,
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Uniradio, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of ETI, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- Rules. See 47 C.F.R. § 0.283 See 47 C.F.R. § 73.3526(e)(11)(iii). 47 C.F.R. § 73.3526. See Padre Serra Communications, Inc., 14 FCC Rcd 9709 (MMB 1999) (citing Gaffney Broadcasting, Inc., 23 FCC 2d 912, 913 (1970) and Eleven Ten Broadcasting Corp., 33 FCC 706 (1962)); Surrey Front Range Limited Partnership, 7 FCC Rcd 6361 (FOB 1992). See 47 C.F.R. § 1.16. The Licensee states that it acquired WBXN-CA on April 20, 2007, and, therefore, was not responsible for preparing a Form 398 for the first quarter of 2007. ( ``Employee acts or omissions, such as clerical errors in failing to file required forms, do not excuse violations.'') See, e.g., Sage Broadcasting Corporation, 23 FCC Rcd 8160, 8162 (Vid. Div. 2008); HP
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- Rules. See 47 C.F.R. § 0.283 See 47 C.F.R. § 73.3526(e)(11)(iii). 47 C.F.R. § 73.3526. See Padre Serra Communications, Inc., 14 FCC Rcd 9709 (MMB 1999) (citing Gaffney Broadcasting, Inc., 23 FCC 2d 912, 913 (1970) and Eleven Ten Broadcasting Corp., 33 FCC 706 (1962)); Surrey Front Range Limited Partnership, 7 FCC Rcd 6361 (FOB 1992). See 47 C.F.R. § 1.16. The Licensee states that it acquired WBXN-CA on April 20, 2007, and, therefore, was not responsible for preparing a Form 398 for the first quarter of 2007. ( ``Employee acts or omissions, such as clerical errors in failing to file required forms, do not excuse violations.'') See, e.g., Sage Broadcasting Corporation, 23 FCC Rcd 8160, 8162 (Vid. Div. 2008); HP
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- has established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that Verizon
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- has established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon Wireless, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification, and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Hawking, shall provide the Commission with a detailed explanation of (i) each instance of non-compliance; (ii) the steps that Hawking
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- Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. §§ 301, 302a(b), 503(b), 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80, 15.1(b), 15.1(c). 47 U.S.C. § 333. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission DA 12-450 Federal Communications Commission DA 12-450 A B M N O $ C O F / · Ú 4 4 0 + . E L x } Ë Ò
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- 2011) (imposing a $15,000 forfeiture for violations of Section 301), aff'g, Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur., Boston Office 2010) (petition for reconsideration pending). See 47 U.S.C. §§ 401, 501, 503, 510. 47 U.S.C. §§ 301, 303(n), 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-475 Federal Communications Commission DA 12-475 9 : æ é $ F ¦ õ { ¢ õ ¢ 0
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- Rules. See 47 C.F.R. § 0.283 See 47 C.F.R. § 73.3526(e)(11)(iii). 47 C.F.R. § 73.3526. See Padre Serra Communications, Inc., 14 FCC Rcd 9709 (MMB 1999) (citing Gaffney Broadcasting, Inc., 23 FCC 2d 912, 913 (1970) and Eleven Ten Broadcasting Corp., 33 FCC 706 (1962)); Surrey Front Range Limited Partnership, 7 FCC Rcd 6361 (FOB 1992). See 47 C.F.R. § 1.16. ( ``Employee acts or omissions, such as clerical errors in failing to file required forms, do not excuse violations.'') See, e.g., Sage Broadcasting Corporation, 23 FCC Rcd 8160, 8162 (Vid. Div. 2008); HP Television, L.P., 10 FCC Rcd 4979, 4980 (MMB 1995); Mountain States Broadcasting, Inc., 9 FCC Rcd 2545, 2546 (MMB 1994). 47 U.S.C. § 503(b)(1)(B); see also 47
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- the Consent Decree; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree that have not been disclosed as required by paragraph 13(I) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must be substantially in the form set forth in Section 1.16 of the Rules. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Reduced Rate Long Distance, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that Reduced Rate Long Distance has taken or will take to remedy such non-compliance, including
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- Rules. See 47 C.F.R. § 0.283 See 47 C.F.R. § 73.3526(e)(11)(iii). 47 C.F.R. § 73.3526. See Padre Serra Communications, Inc., 14 FCC Rcd 9709 (MMB 1999) (citing Gaffney Broadcasting, Inc., 23 FCC 2d 912, 913 (1970) and Eleven Ten Broadcasting Corp., 33 FCC 706 (1962)); Surrey Front Range Limited Partnership, 7 FCC Rcd 6361 (FOB 1992). See 47 C.F.R. § 1.16. (March 27, 2012)(Children's Programming Certification for the Fourth Quarter 2009 and Children's Programming Certification for the Fourth Quarter, 2010). ( ``Employee acts or omissions, such as clerical errors in failing to file required forms, do not excuse violations.'') See, e.g., Sage Broadcasting Corporation, 23 FCC Rcd 8160, 8162 (Vid. Div. 2008); HP Television, L.P., 10 FCC Rcd 4979, 4980 (MMB
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- the Atlanta Office renders its actions egregious and deserving of an upward adjustment of $5,000. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Telava is apparently liable for a total forfeiture in the amount of $15,000. We direct Telava to submit a written statement, pursuant to Section 1.16 of the Rules, in addition to any statement it might submit pursuant to paragraph 12, signed under penalty of perjury by an officer or director of Telava stating that it is currently monitoring the Antenna Structure's lights on a daily basis and that the lights on the Antenna Structure have been restored. If the lights on the Antenna Structure have
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- two years demonstrates a deliberate disregard for the Commission's rules and warrants an upward adjustment of $5,000. Applying the Forfeiture Policy Statement, Section 1.80, and the statutory factors to the instant case, we conclude that Telava is apparently liable for a total forfeiture in the amount of $17,000. We also direct Telava to submit a written statement, pursuant to Section 1.16 of the Rules, in addition to any statement it might submit pursuant to paragraph 18, signed under penalty of perjury by an officer or director of Telava stating that it is currently monitoring the Antenna Structure's lights on a daily basis and that the lights on the Antenna Structure have been restored. If the lights on the Antenna Structure have
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- prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that ERJ Media is apparently liable for a forfeiture in the amount of $4,000. We further order ERJ Media to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of ERJ Media, stating that it is operating Station WOIR at its authorized power levels. This statement must be provided to the Miami Office at the address listed in paragraph 11, below, within thirty (30) calendar days of the release date of this Notice of Apparent Liability
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- of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Classic Cable is apparently liable for a forfeiture in the amount of $10,000. We direct Classic Cable to submit a written statement, pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Classic Cable, stating that the Antenna Structure has been repainted to maintain good visibility. If the Antenna Structure has not yet been cleaned and repainted, we direct Classic Cable to provide a timetable for when the work will be completed. We also direct Classic Cable to
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- of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that James Cable is apparently liable for a forfeiture in the amount of $10,000. We direct James Cable to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of James Cable stating that the Antenna Structure has been painted to maintain good visibility. If the Antenna Structure has not yet been repainted, we direct James Cable to provide a timetable for when the work will be completed. We also direct James Cable to describe the
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- Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance in the Market with this Consent Decree, the Unauthorized Transfer of Control Laws, and the Underwriting Laws. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance in the Market with
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- and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Mobile Phone of Texas, Inc. is apparently liable for a forfeiture in the amount of $10,000. We direct Mobile Phone of Texas, Inc., to submit a written statement, pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Mobile Phone of Texas, Inc., stating that the Antenna Structure and the coaxial cables have been repainted to maintain good visibility of the structure. If the Antenna Structure has not yet been cleaned and repainted, we direct Mobile Phone of Texas, Inc., to provide a timetable
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- Operations, 445 12th Street, SW, Room 1-A625, Washington, DC 20554. Please contact the Financial Operations Group Help Desk at 1-877-480-3201 or e-mail ARINQUIRIES@fcc.gov with any questions regarding payment procedures. 57. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules.177 The written statement must be mailed both to Marlene H. Dortch, Secretary, Federal Communications Commission, 445 12th Street, SW, Washington, DC 20554, ATTN: Enforcement Bureau Investigations and Hearings Division; and to Theresa Z. Cavanaugh, Division Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, SW, Room 4-C330, Washington, DC 20554, and
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- Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. See 47 C.F.R. §§ 2.1, 76.613(a). 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80, 76.605(a)(12), 76.611(a)(1). See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f). (...continued from previous page) (continued....) Federal Communications Commission DA 12-597 Federal Communications Commission DA 12-597 . 8 Ì Ô $ Æ Æ Æ F 2 I j Š
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- adjustments of $2,000 for the public file violation and $1,000 for the unauthorized operation violation are warranted. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Nassau Broadcasting is apparently liable for a $17,000 forfeiture. We also direct Nassau Broadcasting to submit a written statement pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Nassau Broadcasting, stating that it is currently maintaining a public inspection file that is in full compliance with the requirements under section 73.3526 of the Rules, and that it is either operating consistent with its station authorization or has a valid STA. This statement must be
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- entire record and the factors listed above, we find that a forfeiture in the amount of $10,000 is warranted. We also note that Mapleton has not indicated whether the public inspection file for Station KXDZ(FM) has come into compliance with the requirements of Section 73.3526 of the Rules. We therefore order Mapleton to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Mapleton within thirty (30) calendar days of the release date of this Forfeiture Order that Station KXDZ(FM) is now in compliance with Section 73.3526 of the Rules. IV. ORDERING CLAUSES ACCORDINGLY, IT IS ORDERED that, pursuant to Section 503(b) of the Communications Act of 1934, as
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- 110 F.3d 816 (D.C. Cir. 1997). Ã Ä $ Æ jƒ , Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). Federal Communications Commission DA 12-60 Federal Communications Commission DA 12-60 `` ½ 2 E 0 0 ÂN¦
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- reports with the commission ninety (90) calendar days after the effective date, twelve (12) months after the Effective Date, and twenty-four (24) months after the Effective Date, and thirty-six (36) months after the Effective Date. of this Consent Decree. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth in Section 1.16. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Telrite, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each
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- The overall record and circumstances of this case does not convince us that a reduction of the forfeiture is warranted; further, we note that the original forfeiture of $13,000 in the NAL has now been reduced to $11,000, thereby reducing the financial penalty imposed against Ace. F. Reporting Requirement We direct Ace to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Ace that it is currently operating its Station with authorized transmitter output power. This statement must be provided to the Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, within thirty (30) calendar days of
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- necessary measures to achieve full compliance with the CPNI Rules; and (iv) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 14 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Ztar, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- in the amount of $1,400 is appropriate. Applying the Forfeiture Policy Statement, Section 1.80, and the statutory factors to the instant case, we conclude that US Jetting is apparently liable for a $8,400 forfeiture for marketing one model of an unauthorized radio frequency device in the United States. We order US Jetting to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of the company stating that it is no longer marketing the unauthorized wireless handheld controller and describing the disposition of the remaining inventory of the device. This statement must be provided to the Enforcement Bureau at the address listed in paragraph 13 within thirty (30) calendar days
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- of this Consent Decree and Section 214 of the Act and Sections 63.03 and 63.04 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- see also supra note 18. . . . See supra note 36. 47 U.S.C. § 214(a); 47 C.F.R. § 63.18. id. 4939-40, ¶¶ 72-74. See supra note 36. See 47 U.S.C. § 503; 47 C.F.R. §§ 0.111, 0.311, 0.314, 1.80. See 47 U.S.C. § 214(a); 47 C.F.R. §§ 63.18, 63.04. See 47 C.F.R. § 1.80. See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. Federal Communications Commission DA 12-65 Federal Communications Commission DA 12-65 { | ý ^„¦ÿ $ [ 0 0 0 @ ´ l
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- Koger Blvd. Suite 320 Duluth, GA 30096. or call the Consumer & Governmental Affairs Bureau: For sign language interpreters, CART, and other reasonable accommodations: 202-418-0530 (voice), 202-418-0432 (tty); For accessible format materials (braille, large print, electronic files, and audio format): 202-418-0531 (voice), 202-418-7365 (tty). VI. REPORTING REQUIREMENT Pursuant to Sections 4(i), 4(j), and 403 of the Communications Act and Section 1.16 of the Rules, we also direct North Chapel to submit within thirty (30) calendar days after the release date of this Citation a statement signed under penalty of perjury stating that it has updated the ownership information in the ASR database for the Antenna Structures, repainted all of the Antenna Structures and repaired any lighting outages on the Antenna Structures.
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- and the statutory factors to the instant case, we conclude that Mr. Davis is apparently liable for a total forfeiture of $13,000, consisting of the following: $10,000 for violations of Sections 17.48(a), 17.50, and 17.51(a) of the Rules and $3,000 for violation of Section 17.57 of the Rules. We direct Mr. Davis to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by Mr. Davis, stating that he has updated the ownership information for the Antenna Structure in the ASR database and that he has complied with the Commission's antenna structure painting and lighting requirements. The statement should specify any steps taken to come into compliance, including the timeframe for the repair or replacement
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- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 11 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Fisher, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each instance
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- SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. . Mt. Rushmore Broadcasting, Inc., will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Denver Office, 215 S. Wadsworth Blvd., # 303, Lakewood, Colorado 80226, and include the NAL/Acct. No. referenced in the caption. Mt. Rushmore Broadcasting, Inc., also shall email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in
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- 98666-1469. Pacific Empire Radio Corporation shall also e-mail the written statement to WR-Response@fcc.gov. . Pacific Empire Radio Corporation will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Portland Resident Agent Office, P.O. Box 61469,Vancouver, Washington 98666-1469, and include the NAL/Acct. No. referenced in the caption. Pacific Empire Radio Corporation shall also email the written response to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response to
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- Policy Statement and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. §1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204 0.311, 0.314, 1.80, 73.49. See 47 C.F.R. §1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-800 Federal Communications Commission DA 12-800 Æ F C y „\ \ ^„\
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- at 4. Id. at 4-5. Tracy Reply at 7. Wireless Co., L.P., Order, 10 FCC Rcd 13233, 13235 ¶ 7 (WTB 1995) (Wireless Co.), citing Sierra Club v. Morton, 405 U.S. 727, 733 (1972). Wireless Co., 10 FCC Rcd at 13235 ¶ 7. Id. Joint Opposition at 3. 47 C.F.R. § 1.948(j)(1)(iii). Petition at 6. 47 C.F.R. § 1.939(d). Section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, provides that unsworn declarations may be used in lieu of affidavits, provided that any such declaration shall be subscribed by the declarant as true under penalty of perjury, and dated. See, e.g., WorldCom, Inc. and Its Subsidiaries (Debtors-in-Possession), Transferor, and MCI, Inc., Transferee, WC Docket No. 02-215, Memorandum Opinion and Order, 18
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- the Forfeiture Policy Statement, Section 1.80 of the rules, and the statutory factors to the instant case, we conclude that Quinn is apparently liable for a total forfeiture of $16,000, consisting of $10,000 for violation of the public file rule and $6,000 for failing to file required forms and information. We direct Quinn to submit a statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Quinn stating that: (1) the Radio issues/program lists are being compiled, and (2) the Radio issues/program lists are being placed in the Stations' public inspection files by the tenth day of the succeeding calendar quarter. This statement must be provided to the Philadelphia Office at the
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 14 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon Wireless, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each instance
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- history of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Birach is apparently liable for a total forfeiture in the amount of $17,000. We further direct Birach to submit a statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Birach stating that (1) an effective locked fence has been installed around the Antenna Structure, (2) the radio issues/program lists have been compiled, and (3) the issues/program lists have been and are continuing to be placed in the public inspection file by the tenth day of
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- the Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Horvath, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance of
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- and Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80, 73.1745(a). See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-872 Federal Communications Commission DA 12-872 É Ê $ É Ê Æ F ü P Q P Q 0
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- prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Martin Broadcasting is apparently liable for a total forfeiture in the amount of $10,000. We direct Martin Broadcasting to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Martin Broadcasting, stating that the lights on the Antenna Structure have been restored, including the date of restoration, or setting forth the timeframe for when the lights on the Antenna Structure will be repaired or replaced. In addition, an officer or director of Martin Broadcasting shall
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- Amendment of Section 1.80 of the Rules to Incorporate the Forfeiture Guidelines, Report and Order, 12 FCC Rcd 17087 (1997) (Forfeiture Policy Statement), recons. denied, 15 FCC Rcd 303 (1999); 47 C.F.R. § 1.80. 47 U.S.C. § 503(b)(2)(E). 47 U.S.C. §§ 503(b), 301; 47 C.F.R. §§ 0.111, 0.204(b), 0.311, 0.314, 1.80, 1.903(a). See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-875 Federal Communications Commission DA 12-875 $ Æ Æ Æ Æ F 4 5 4 5 0 0
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- Luis Ernesto Rivas, Jr., Notice of Unlicensed Operation (Enf. Bur. rel. Nov. 6, 2007) (on file in EB-07-MA-079). / 0 Æ =aff'g, Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur. 2010) (petition for reconsideration pending). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). Federal Communications Commission DA 12-876 Federal Communications Commission DA 12-876 ð ö 0
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- Tama (i) has established and implemented the Compliance Plan; and (ii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 11 hereof. (b) The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules, 47 C.F.R. § 1.16, and be subscribed to as true under penalty of perjury in substantially the form set forth therein. (c) If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Tama, shall provide the Commission with a detailed explanation of the reason(s) why and describe
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- Order, 26 FCC Rcd 6856 (Enf. Bur., Northeast Region 2011) (imposing a $15,000 forfeiture for violations of Section 301), aff'g, Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur., Boston Office 2010) (petition for reconsideration pending). 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). s t $ F(...continued from previous page) (continued....) Federal Communications Commission DA 12-888 Federal Communications Commission DA 12-888 F b ± ë 0 0
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- File No. ITC-214-20090624-00301. International Authorizations Granted, Public Notice, 25 FCC Rcd 1860 (FCC/IB 2010). During the pendency of this application for international Section 214 authorization, StanaCard was granted special temporary authority to provide international service. See IBFS File Nos. ITC-STA-20090625-00304, ITC-STA-20090902-00407, ITC-STA-20091106-00467, ITC-STA-20100105-00005. 47 C.F.R. § 64.1195(g). 47 U.S.C. §§ 214, 225. 47 C.F.R. §§ 63.18, 64.604(c)(5)(iii)(A), 64.1195(a). Id. § 1.16. 47 U.S.C. §§ 214, 225. 47 C.F.R. §§ 63.18, 64.604(c)(5)(iii)(A), 64.1195(a). Federal Communications Commission DA 12-8 Federal Communications Commission DA 12-8 Federal Communications Commission DA 12-8 Federal Communications Commission DA 12-8 E E w x È É w x È É w x È É 0 w x È É 0 0 0 E „È È ^„È „È È
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- outage reports and taken steps to remedy the cause of the late filings. Each Compliance Report will be supported by the declaration of the Compliance Officer as an agent of and on behalf of Level 3 with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration will comply with Section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: a detailed explanation of the non-compliance; the steps Level 3 has taken to remedy the non-compliance and ensure future compliance; and the schedule on which the proposed remedial
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- the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Debut Broadcasting is apparently liable for a total forfeiture of $14,000, consisting of the following: $10,000 for violation of antenna structure lighting requirements and $4,000 for overpower operations. We direct Debut Broadcasting to submit a written statement, pursuant to Section 1.16 of the Rules, in addition to any statement it might submit pursuant to paragraph 14, signed under penalty of perjury by an officer or director of Debut Broadcasting stating that it is currently reducing Station WNLA-AM's transmitter power at night as required and that the lights on the Antenna Structure have been restored. If the lights on the Antenna Structure
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- ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Birach is apparently liable for a total forfeiture in the amount of four thousand dollars ($4,000). We further order Birach to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Birach stating that it is operating Station WOAP in compliance with Section 73.1745(a) of the Rules. This statement must be provided to the Detroit Office at the address listed in paragraph 14, below, within thirty (30) calendar days of the release date of this NAL. ORDERING
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- forfeiture was significantly less than that applicable to broadcast licensees and common carriers. Amendment of Section 1.17 of the Commission's Rules Concerning Truthful Statements to the Commission, Notice of Proposed Rulemaking, 17 FCC Rcd 3296, 3297, para. 3 (2002). 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.17(a)(2), 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (continued....) Federal Communications Commission DA 12-931 Federal Communications Commission DA 12-931 ä # ' 2 €' ' ' ' ' 0
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- not order the station to submit another sworn statement about its compliance with our public file rules, but instead will conduct a follow-up inspection at an undisclosed time. Any additional violations may be subject to more significant monetary penalties. 47 U.S.C. § 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80, 73.3526. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-933 Federal Communications Commission DA 12-933 ß à Æ F ` ³
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- for reconsideration pending); Loyd Morris, Forfeiture Order, 26 FCC Rcd 6856 (Enf. Bur. 2011), aff'g, Notice of Apparent Liability for Forfeiture, 25 FCC Rcd 13736 (Enf. Bur. 2010) (petition for reconsideration pending). ? @ ý ÿ ÿ Æ 47 U.S.C. §§ 301, 503(b); 47 C.F.R. §§ 0.111, 0.204, 0.311, 0.314, 1.80. See 47 C.F.R. § 1.1914. 47 C.F.R. §§ 1.16, 1.80(f)(3). (...continued from previous page) (continued....) Federal Communications Commission DA 12-939 Federal Communications Commission DA 12-939 F ¤ 5 J 0
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- obligations set forth in Paragraph 18 hereof. Comcast shall maintain for a period of twelve (12) months following the submission of each Compliance Report the material documents and materials relating to the representations made in each such Compliance Report. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Comcast, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each instance of
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- UTT TELMEX NUTT LANDSRADIO TELENOR ANTEL PLOT TPSA PT MARCONI TLD ROST SINCTEL ST TSA TUN TELIA TELE2 rroc TPTT UKRTEC BT MCL ATT MOI SPRINT TRT WCOM rrc MFS PGE CANTV 1U1AL PERCENT 0.0 ^TSS 0^4517 0.077M 0.00000 0.00000 0.00000 5.U020 0.9J4S8 0.00000 0.1S574 0.15574 0.00000 0.00000 OJII53 1^3551 0.15576 OJII53 0.00000 16.90032 OJXXMM 0.00000 0.00000 0.077U 0.00000 2J2492 1.16S22 0.00000 0.00000 0.23364 0.00000 OJXXMO OJJ364 0.00000 S-52«I 0.13576 OJ34S8 0.077SS O.OT7U OJ1IS3 OJ77J8 0.00000 OJ)TT« 123364 0.00000 0.00000 0.00000 44.7S194 2.9S9SO 0,15576 O.OT78S 0.00000 0.00000 7.I65U- UJ3TM 1J69I6 0.15^76 0.00000 040000 040000 0.00000 040000 0^4517 100.00000 12013 RIOJA CABLE SYSTEM OWNERSHIP INTEREST IN SUB-SEGMENT28 (CAiLCStCMCKT UK AMD MLCIUMI PARTY STA TELIN SETAR OPTUS TELSTRA APTT BELC EBT BTC TLC8
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- thepublicinterest. 29. WerejectPrimosphere'sargumentthat,becauseCDRadiocouldchangethenatureof itsservice,itmustthereforebesubjecttothealienownershipstandardsetforthforbroadcasters.CD 78 79 80 81 82 83 SeeLoralCommonCarrierOrderat 9. Id Idat 10. SeeIntheMatterofLoralCorporationRequestforDeclaratolJ'RulingConcerningSection310fb}(4) oftheCommunicationsActof1934.DA97-725(May14,1997). SeeIntheMatterofLoralCorporationRequestforaDeclaratolJlRulingConcerningSection310(b)(4) oftheCommunicationsActof1934,DA-97-725 8(citingLoralCommonCarrierOrderat 9):see alsoDISCOIINPRM. SeeFCCFonn430,ExhibitVIII,ControlofSatelliteCDRadfo,Inc.(August31,1997).SeealsoIn theMatterofSatelliteCDRadio,Inc.RequestforDeclaratoryRulingforFurtherExemptionPursuant to47C.F.R25.116(c)(;)DA97-1327(releasedJune26,1997). 7984. FederalCommunicationsCommission DA97-2191 Radioproposestoofferserviceasaprivatesatelliteoperator.84IntheeventthatCDRadioelectsto changeitsclassification,itmustseekanappropriaterulingfromtheCommissionanditsownership structurewouldbesubjecttoreviewatthattime.85 (d) Primosplzere'sSupplementalPleading. 30. Finally,wefindPrimosphere'ssupplementalpleadingraisingcharacterissues I procedurallydeficientandlegallyirrelevant.First, itwasfiledalmosttwomonthsafterthedeadline forfilingrepliestoCDRadio'sOppositionandwasnotaccompaniedbytherequisitemotionfor leavetofileadditionalpleadings.86Second,Primosphere'ssupplementalpleadingwasnotsupported byanaffidavitfromanindividualwithknowledgeabouttheunderlyingfactualassertions.87Third, theallegationsmadewereinconnectionwithRobertFriedland,notDarleneFriedland,andthereis insufficientevidenceintherecordtosupportanytheorythatRobertFriedlandisinfacttheownerof thestockinquestion.Fourth,evenifweweretolookto Mr.Friedland'scharacter,SDARSisnota broadcastservice,andthustheheightenedscrutinygiventothecharacterofbroadcastlicenseesisnot appropriatehere.88Finally,evenifweweretoapplyabroadcastlicensinganalysis,theallegationsin Primosphere'ssupplementarerelatedtounadjudicatedclaimsandpendinglitigation,andarethus irrelevant.89 (2) AdditionalIssues. 84 SeeAmendmentat5.SeealsoCompendiumat73. 8S 86 87 88 89 47C.F.R.§1.2. See47C.F.R.§1.41and§25.154. 47C.F.R.§1.16. 47C.F.R.§73.4280;seealsoIntheMatterofPolicyRegardingCharacterQualificationsinBroadcast Licensing,MemorandumOpinionandOrder,FCC92-448(releasedOctober9,1992). See47.C.F.R.165;seealsoIntheMatterofLoralCorporationRequestforaDeclaratoryRuling ConcerningSection310(b)(4)oftheCommunicationsActof1934,atn.40and41(citingLetterfrom ClayPendarvis.ActingChiejDistributionServicesBranchVideoServicesDivision,MassMedia Bureau.toPhilipL.Verveer(datedApril6,1994),whichstated,"[t]heCommissionhasconsistently takenthepositionthatitisnottheproperforumfortheresolutionofprivatecontractualdisputesand thatsuchmattersareappropriatelylefttothecourtsorotherfor[a]whichhavethejurisdictionto resolvethem."(citingSonderlingBroadcastingCo.,46RR2d889,894(1979),Transcontinent TelevisionCorp.(WROC-TV),21RR2d945(1961);JohnR.Runner.Receiver(KBIF),36RR2d773 (1979))). 7985 FederalCommunicationsCommission DA97-2191 31. VariouspartieshaveraisedissueswithrespecttoCORadio'sapplicationthroughout theseveralyearsofthependingsatelliteOARSproceeding.'JOInMarch1997,theCommission releasedthe SDARSOrderandaddressedmanyoftheissuesraisedthroughouttheproceeding, including:(1)thepublicinterestandeconomicimpactofSOARSonterrestrialbroadcasters,(2)the licensingplan,(3)servicerulesforSOARS,and(4)technicalrules.91Manyofthepetitionswere filedafterCDRadiofirstfileditsapplicationin1990.Totheextentthatthereareremainingissues thatwerenotresolvedinthe SDARSOrder,wewilladdressthemherein. 32. CommentersraiseissuesconcerningthepublicinterestbenefitsofsatelliteDARSand itseconomicimpactonterrestrialradiobroadcasters.92Theseissueswerethoroughlyexaminedinthe SDARSOrder.93Specifically,theNationalAssociationofBroadcasters("NAB")questionswhetherit isinthepublicinteresttograntCDRadioasatelliteradiolicense. ItassertsthatCDRadiowillbe unabletoprovideservicetourbanareasandwillonlybeabletoprovideservicetoruraland suburbanareaswithSouth-facingwindowsbecauseitsproposedlinkmarginwillnotprovidehigh qualityservice.94 33. NAB.doesnotestablishthatgrantingCDRadioanSOARSlicensewouldcontravene thepublicinterest.95AsindicatedinCDRadio'supdatedamendment,CDRadiowillutilizesatellite spatialdiversityandtimediversitytoavoidoutagesfromblockage,multipathandtreefoliage.Its twosatellitesprovideadequateelevationanglestomobilereceiversinthecontiguousUnitedStates. IncoreurbanareasandtUnnels,CDRadiointendstoaugmentitsSOARStransmissionsby 90 91 92 93 9S Seesupra n.2. SeeSOARSOrder. SeeBSBCommunicationsPetitiontoDenyat3-5;KYSTPetitiontoDenyatI(statingthatsatellite SOARSwillresultinthedemiseofsmallindependentownedradiostations);SouthwestFlorida CommunityRadioInc.PetitiontoDenyat2(wherepetitionerrequeststheCommissiontorecognizethe heavyeconomicburdenplacedonlocalbroadcasterswiththeadditionofCDRadioandothersatellite radiosystems;AMSCSubsidiaryCorporationCommentsrequeststheCommissiontoensurethatthereis ademonstrateddemandforoneormoresatelliteOARSsysteminthe2310-2360MHzbandsto maximizespectrumuse);KSBJPetitiontoDenyat2;KTFA92.5FMRadioPetitiontoDenyat3 (commentersconcernedwithlocalismarguethatsatelliteOARSwillfloodthemarketwithtoomany signalsandintumrepresslocalism). SOARSOrderat f1l7-38. NABPetitiontoDenyat4. SOARSOrderat'1MI?-38.
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- Points 90.6% 95.4% 99.2% 93.9% 95.7% Regional Total Western Europe 87,857 276,164 20,796 384,817 105,885 0.30 0.47 0.85 0.93 Africa 2,756 4,519 0 7,275 947 0.61 1.79 3.55 5.82 Middle East 2,970 8,824 270 12,064 1,109 0.33 0.86 2.21 3.13 Caribbean 8,828 3,296 0 12,124 4,295 2.68 4.55 5.52 5.00 North and Central America 164,749 156,844 10,646 332,239 164,466 0.98 1.16 1.38 1.64 South America 8,720 22,654 314 31,688 7,872 0.38 0.86 1.06 1.89 Asia 24,745 67,451 2,239 94,435 51,845 0.36 0.71 0.88 1.15 Oceania 4,433 17,139 406 21,978 6,978 0.25 0.75 1.04 1.08 Eastern Europe 5,343 4,416 40 9,799 1,298 1.20 2.84 2.71 6.36 Other Regions 0 479 0 479 0 0.00 0.00 0.00 0.00 Total for all International Points
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- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
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- overnight delivery service other than U.S. Postal Service Express and Priority Mail to the Commission's headquarters; by 9:00 PM EST if filed by hand delivery at the Capitol Heights, Maryland location; or by 12:00 midnight EST if resubmitted electronically. All refilings pursuant to this paragraph shall be accompanied by a signed affidavit or a declaration pursuant to Commission rule section 1.16 stating that the previously filed pleading was timely filed in accordance with Commission rules, the date the pleading was originally sent to the Commission, and by what means. Covered Pleadings submitted up to 7 calendar days following the effective date of this order in a manner not consistent with its terms must be refiled in the same manner as Covered
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- 25,773 1,109 0.14 0.18 0.49 0.28 3 17 19 14 14Switzerland 4,586 20,842 0 25,428 1,711 0.22 0.45 0.30 1.43 6 18 14 9 11Hong Kong 2,783 15,166 3,193 21,142 8,113 0.15 0.11 0.11 0.26 1 19 26 20 n.a .India 1,993 10,888 0 12,881 1,555 0.18 0.40 0.46 1.40 7 20 20 19 13Philippines 6,588 5,675 2 12,265 3,611 1.16 1.11 1.59 2.17 6 21 22 n.a . n.a .New Zealand 1,786 3,418 6,110 11,314 2,642 0.19 0.13 1.63 2.16 7 22 23 21 16Venezuela 2,016 5,157 3,855 11,028 20,536 0.22 0.38 0.70 1.31 6 23 21 24 28Colombia 2,566 5,079 2,941 10,586 1,592 0.32 0.31 0.58 1.26 8 24 27 26 n.a .Malaysia 810 7,456 630 8,896 2,368 0.10
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- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240880A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240880A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240880A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240913A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240913A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240913A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240923A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240923A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240923A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240929A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240929A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240929A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240934A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240934A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240934A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240937A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240937A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240937A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240950A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240950A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240950A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240953A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240953A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240953A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240954A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240954A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240954A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240957A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240957A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240957A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240958A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240958A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240958A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240972A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240972A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240972A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240973A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240973A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240973A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240974A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240974A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240974A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240975A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240975A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240975A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240976A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240976A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-240976A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241002A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241002A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241002A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241003A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241003A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241003A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241004A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241004A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241004A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241007A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241007A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241007A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241011A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241011A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241011A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241012A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241012A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241012A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241013A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241013A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241013A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241014A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241014A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241014A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241017A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241017A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241017A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241020A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241020A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241020A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241021A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241021A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241021A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241023A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241023A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241023A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241024A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241024A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241024A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241026A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241026A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241026A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241032A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241032A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241032A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241034A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241034A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241034A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241035A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241035A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241035A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241040A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241040A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241040A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241042A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241042A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241042A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241043A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241043A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241043A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241044A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241044A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241044A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241045A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241045A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241045A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241046A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241046A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241046A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241047A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241047A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241047A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241048A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241048A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241048A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241050A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241050A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241050A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241053A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241053A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241053A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241054A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241054A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241054A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241056A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241056A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241056A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241059A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241059A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241059A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241060A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241060A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241060A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241064A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241064A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241064A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241065A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241065A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241065A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241066A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241066A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241066A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241067A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241067A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241067A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241068A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241068A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241068A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241069A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241069A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241069A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241070A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241070A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241070A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241071A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241071A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241071A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241072A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241072A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241072A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241073A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241073A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241073A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241074A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241074A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241074A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241102A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241102A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241102A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241110A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241110A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241110A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241111A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241111A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241111A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241113A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241113A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241113A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241114A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241114A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241114A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241115A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241115A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241115A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241116A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241116A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241116A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241117A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241117A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241117A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241118A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241118A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241118A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241144A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241144A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241144A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241146A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241146A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241146A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241147A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241147A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241147A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241150A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241150A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241150A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241151A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241151A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241151A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241152A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241152A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241152A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241161A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241161A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241161A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241162A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241162A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241162A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241163A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241163A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241163A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241166A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241166A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241166A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241167A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241167A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241167A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241168A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241168A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241168A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241169A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241169A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241169A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241170A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241170A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241170A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241171A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241171A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241171A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241172A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241172A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241172A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241173A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241173A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241173A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241174A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241174A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241174A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241175A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241175A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241175A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241176A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241176A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241176A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241177A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241177A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241177A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241178A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241178A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241178A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241179A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241179A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241179A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241180A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241180A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241180A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241181A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241181A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241181A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241182A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241182A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241182A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241183A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241183A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241183A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241184A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241184A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241184A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241185A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241185A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241185A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241186A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241186A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241186A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241187A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241187A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241187A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241188A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241188A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241188A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241205A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241205A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241205A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241230A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241230A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241230A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241316A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241316A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241316A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241319A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241319A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-241319A1.txt
- behalf; or The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. § 1746 and 47 C.F.R. § 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-242532A8.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-242532A8.txt
- 6,570 31,841 42,929 0.22 0.11 0.09 0.24 7 18 15 15 15Taiwan 2,201 27,413 1 29,615 14,811 0.08 0.06 0.12 0.29 1 19 14 11 8France 13,738 5,778 7,561 27,077 6,581 1.03 0.38 0.29 0.51 7 20 19 26 20India 3,529 23,029 0 26,558 3,121 0.15 0.18 0.40 0.46 7 21 20 20 19Philippines 10,642 8,814 634 20,090 10,754 1.13 1.16 1.11 1.59 6 22 23 21 24Colombia 4,008 6,851 5,220 16,079 2,911 0.33 0.32 0.31 0.58 6 23 22 23 21Venezuela 3,086 5,886 3,717 12,689 20,365 0.32 0.22 0.38 0.70 8 24 21 22 n.a.New Zealand 2,630 3,912 4,095 10,637 2,136 0.33 0.19 0.13 1.63 4 25 n.a. n.a. 27Dominican Republic 3,266 1,643 4,032 8,941 5,846 0.58 2.14 2.15 2.94
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- 1.63 1.59 1.61 1967 39.7 114.2 54.6 59.6 23.4 31.8 2.88 1.38 1.50 1.36 1.45 1968 46.4 126.9 61.5 65.4 28.2 40.0 2.73 1.33 1.41 1.42 1.41 1969 64.6 172.0 82.7 89.4 38.3 51.6 2.66 1.28 1.38 1.35 1.37 1970 81.1 196.6 98.9 97.7 51.0 59.8 2.43 1.22 1.21 1.17 1.19 1971 100.9 237.4 120.7 116.6 68.4 75.1 2.35 1.20 1.16 1.10 1.13 1972 126.5 291.8 148.2 143.6 91.7 98.6 2.31 1.17 1.14 1.08 1.11 1973 159.3 364.9 184.4 180.5 111.5 120.2 2.29 1.16 1.13 1.08 1.11 1974 190.7 428.7 216.6 212.1 142.0 152.2 2.25 1.14 1.11 1.07 1.09 1975 219.4 490.2 247.4 242.9 167.0 176.9 2.23 1.13 1.11 1.06 1.09 1976 272.7 601.1 303.0 298.1 197.2 207.2 2.20 1.11 1.09
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- 1.63 1.59 1.61 1967 39.7 114.2 54.6 59.6 23.4 31.8 2.88 1.38 1.50 1.36 1.45 1968 46.4 126.9 61.5 65.4 28.2 40.0 2.73 1.33 1.41 1.42 1.41 1969 64.6 172.0 82.7 89.4 38.3 51.6 2.66 1.28 1.38 1.35 1.37 1970 81.1 196.6 98.9 97.7 51.0 59.8 2.43 1.22 1.21 1.17 1.19 1971 100.9 237.4 120.7 116.6 68.4 75.1 2.35 1.20 1.16 1.10 1.13 1972 126.5 291.8 148.2 143.6 91.7 98.6 2.31 1.17 1.14 1.08 1.11 1973 159.3 364.9 184.4 180.5 111.5 120.2 2.29 1.16 1.13 1.08 1.11 1974 190.7 428.7 216.6 212.1 142.0 152.2 2.25 1.14 1.11 1.07 1.09 1975 219.4 490.2 247.4 242.9 167.0 176.9 2.23 1.13 1.11 1.06 1.09 1976 272.7 601.1 303.0 298.1 197.2 207.2 2.20 1.11 1.09
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- Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 5 Index of Tables and Charts Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ..............................................Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2002................................... ................... Table 1.14 Telephone Calls and Billed Access Minutes of Large ILECs ...........................Table 8.3 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 Universal Service Support - Distribution of Universal Service Payments ............
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- Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 5 Index of Tables and Charts Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ..............................................Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2002................................... ................... Table 1.14 Telephone Calls and Billed Access Minutes of Large ILECs ...........................Table 8.3 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 Universal Service Support - Distribution of Universal Service Payments ............
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- state basis using data from FCC Form 477, and mobile wireless revenues are estimated using data from FCC Form 502. Table 1.15 shows intrastate carrier's carrier, end-user and total telecommunication revenues by category for ILECs' local exchange service, CLECs, wireless, access, ILEC toll, and non-ILEC toll.22 Components of interstate carrier's carrier, end-user and total telecommunications revenues are presented in Table 1.16. These components include ILECs, CLECs, wireless, SLCs, access, and toll.23 Data from the 2003/2004 Statistics of Communications Common Carriers are adjusted prior to allocating nationwide revenues to the states. Data compiled in the Statistics of Communications Common Carriers include those ILECs with annual operating revenues over $121 million for 2002 and revenues over $123 million in 2003. The Statistics of
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- 2.12 Northern Mariana Islands -16.96 8.29 -23.31 0.00 Ohio -0.32 -3.37 3.16 6.17 Oklahoma -5.30 -5.50 0.21 12.10 Oregon 0.96 -3.80 4.95 -7.72 Pennsylvania 2.82 -4.11 7.23 38.82 Puerto Rico -8.77 -3.65 -5.31 -28.31 Rhode Island -1.04 -7.74 7.26 0.00 South Carolina 1.54 -2.54 4.18 -4.90 South Dakota 4.90 -6.06 11.66 28.10 Tennessee 0.36 -2.60 3.04 -9.42 Texas -6.69 -5.60 -1.16 4.67 Utah -3.62 -2.22 -1.43 -4.52 Vermont 6.73 -1.77 8.66 17.01 Virgin Islands -0.83 0.46 -1.28 -7.72 Virginia 6.21 -3.66 10.24 32.56 Washington 1.93 -2.54 4.58 -2.44 West Virginia 0.34 -2.54 2.95 -28.04 Wisconsin -2.33 -4.06 1.81 20.78 Wyoming 1.67 -2.85 4.65 -6.87 Industry -0.33 -3.87 3.68 3.28 * Percentage changes from 2004 to 2005. Source: Calculated from National Exchange
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- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
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- 93.2% -0.9% -2.2% Massachusetts 1990 5.25 88.2% 91.7% 90.2% 3.5% -1.5% 95.7% 95.9% 93.9% 0.2% -2.0% Michigan 1989 2.98 80.9% 86.0% 84.6% 5.1% * -1.4% 93.3% 94.9% 91.7% 1.6% -3.1%# Minnesota 1988 2.31 85.2% 91.7% 92.0% 6.5% * 0.3% 95.9% 97.4% 95.6% 1.5% -1.8% Mississippi 1991 5.02 71.3% 76.6% 78.4% 5.3% 1.8% 81.9% 89.4% 87.1% 7.5% * -2.3% Missouri 1987 1.16 82.5% 95.2% 83.8% 12.7% * -11.4%# 92.2% 97.5% 92.3% 5.3% * -5.2%# Montana 1987 4.40 79.6% 86.3% 86.6% 6.7% * 0.4% 90.3% 94.1% 92.9% 3.8% * -1.2% Nebraska 1998 5.17 90.7% 92.8% 84.4% 2.2% -8.5%# 96.6% 97.0% 94.3% 0.4% -2.7%# Nevada 1988 4.42 78.4% 90.8% 86.8% 12.3% * -3.9% 93.0% 93.8% 90.4% 0.8% -3.4% New Hampshire 1998 0.00 82.2% 93.6%
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- Table 6.1 5 Index of Tables and Charts Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ..............................................Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2002................................... ................... Table 1.14 Telephone Calls and Billed Access Minutes of Large ILECs ...........................Table 8.3 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 Universal Service Support - Distribution of Universal Service Payments ............
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- Table 6.1 5 Index of Tables and Charts Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ..............................................Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2002................................... ................... Table 1.14 Telephone Calls and Billed Access Minutes of Large ILECs ...........................Table 8.3 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 Universal Service Support - Distribution of Universal Service Payments ............
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- estimate SLC revenues. CLEC and mobile wireless revenues are estimated on a state-by-state basis using data from FCC Form 477. Table 1.15 shows intrastate carrier's carrier, end-user and total telecommunication revenues by category for ILECs' local exchange service, CLECs, wireless, access, ILEC toll, and non-ILEC toll.24 Components of interstate carrier's carrier, end-user and total telecommunications revenues are presented in Table 1.16. These components include ILECs, CLECs, wireless, SLCs, access, and toll.25 Data from the 2004/2005 Statistics of Communications Common Carriers are adjusted prior 21 The notes in Table 1.14 discuss how revenues from Tables 1.5 and 1.6 are assigned to categories in Table 1.14. 22 Industry Analysis and Technology Division, Wireline Competition Bureau, Statistics of Communications Common Carriers, 2004/2005 edition (November
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- 1.75 9.88 10.00 9.88 13.38 13.50 13.38 Michigan 7.09 8.25 7.29 0.00 3.50 1.99 0.00 1.75 0.99 7.09 10.00 8.28 7.09 13.50 10.27 Minnesota 6.65 8.25 7.15 0.00 3.50 1.54 0.00 1.75 0.77 6.65 10.00 7.92 6.65 13.50 9.46 Mississippi 8.25 8.25 8.25 0.00 3.50 3.35 0.00 1.75 1.67 8.25 10.00 9.92 8.25 13.50 13.27 Missouri 6.50 8.25 8.04 0.00 1.16 0.77 0.00 0.58 0.39 6.50 8.83 8.43 6.50 9.99 9.20 Montana 8.23 8.25 8.24 0.00 3.50 2.93 0.00 1.75 1.47 8.23 10.00 9.70 8.23 13.50 12.64 Nebraska 6.17 8.25 7.05 0.00 3.50 3.44 0.00 1.75 1.72 6.17 10.00 8.77 6.17 13.50 12.21 Nevada 5.55 8.25 6.15 0.00 3.50 2.95 0.00 1.75 1.47 5.55 10.00 7.63 5.55 13.50 10.57 New Hampshire
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- 0.47 Oklahoma 2.49 0.01 0.00 0.00 0.00 1.80 0.22 0.70 5.23 Oregon 0.89 0.01 0.00 0.00 (0.02) 0.71 0.80 0.32 2.71 Pennsylvania 0.02 0.00 0.00 0.00 0.00 0.40 0.23 0.06 0.71 Puerto Rico 0.00 0.00 0.00 0.00 0.00 4.34 0.00 0.00 4.34 Rhode Island 0.00 0.00 0.00 0.00 0.00 0.00 0.01 0.00 0.01 South Carolina 0.96 0.04 0.00 0.00 0.00 1.16 0.49 0.18 2.82 South Dakota 4.41 0.08 0.00 0.34 0.00 3.95 0.02 2.05 10.86 Tennessee 0.34 (0.00) 0.00 0.00 0.00 0.53 0.24 0.17 1.28 Texas 0.70 0.00 0.00 0.00 (0.00) 0.45 0.27 0.13 1.56 Utah 0.52 0.00 0.01 0.00 0.00 0.67 0.18 0.29 1.67 Vermont 1.23 0.00 0.00 1.66 0.00 1.52 0.39 0.87 5.67 Virgin Islands 17.23 0.00 0.00 0.00
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- 93.1% -0.9% -2.2% Massachusetts 1990 5.25 88.2% 91.7% 90.3% 3.5% -1.4% 95.7% 95.9% 93.8% 0.2% -2.1% Michigan 1989 2.98 80.9% 86.0% 84.5% 5.1% * -1.5% 93.3% 94.9% 91.7% 1.6% -3.2%# Minnesota 1988 2.31 85.2% 91.7% 92.0% 6.5% * 0.3% 95.9% 97.4% 95.6% 1.5% -1.8% Mississippi 1991 5.02 71.3% 76.6% 78.2% 5.3% 1.6% 81.9% 89.4% 87.1% 7.5% * -2.4% Missouri 1987 1.16 82.5% 95.2% 83.7% 12.7% * -11.5%# 92.2% 97.5% 92.3% 5.3% * -5.2%# Montana 1987 4.40 79.6% 86.3% 86.7% 6.7% * 0.4% 90.3% 94.1% 92.9% 3.8% * -1.2% Nebraska 1998 5.17 90.7% 92.8% 84.4% 2.2% -8.4%# 96.6% 97.0% 94.3% 0.4% -2.6%# Nevada 1988 4.42 78.4% 90.8% 86.8% 12.3% * -3.9% 93.0% 93.8% 90.4% 0.8% -3.4% New Hampshire 1998 0.00 82.2% 93.6%
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- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
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- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
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- Causes* Observed Sample Occurrences Size X N D.1.1 - Imprecise FCC Rule/s 2 14 D.1.7 - Inadequate Documentation Retention 3 14 D.1.8 - Inadequate Auditee Processes and/or Polices and Procedures 2 14 D.1..9 - Inadequate Systems for Collecting, Reporting, and/or Monitoring Data 2 14 D.1.12 - Applicant/Auditee Weak Internal Controls 3 14 D.1.13 - Applicant/Auditee Data Entry Error 1 14 D.1.16 - Service Provider Error (other) 3 14 Other 1 1 Assertion D.2: Common Line Annual Certification Non-Compliance: Causes* Observed Sample Occurrences Size X N D.2.12 - Applicant/Auditee Weak Internal Controls 1 1 Other 1 1 Assertion E.1 Calculation of Safety Net Additive Non-Compliance: Causes* Observed Sample Occurrences Size X N Other 1 1 Assertion E.2: NECA Submission Non-Compliance: Causes* Observed
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- - Household - United States ........................................................... Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ..............................................Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2002................................... ................... Table 1.14 Telephone Calls and Billed Access Minutes of Large ILECs ...........................Table 8.3 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 Universal Service Support - Distribution of Universal Service Payments ............
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- - Household - United States ........................................................... Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ..............................................Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2002................................... ................... Table 1.14 Telephone Calls and Billed Access Minutes of Large ILECs ...........................Table 8.3 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 Universal Service Support - Distribution of Universal Service Payments ............
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- companies subject to the FCC's ARMIS 43-01 and 43-08 reporting requirements. In 2005, no telephone companies filed ARMIS data for Hawaii. As an estimate for Hawaii in 2005, the data filed in the 2004 ARMIS filings for Hawaii are used instead. 1 -10 non-ILEC toll.27 Components of interstate carrier's carrier, end user and total telecommunications revenues are presented in Table 1.16. These components include ILECs, CLECs, wireless, SLCs, access, and toll.28 Data from ARMIS are adjusted prior to allocating nationwide revenues to the states. ARMIS data include those ILECs with annual operating revenues over $125 million for 2004 and revenues over $129 million in 2005. The ARMIS revenue data represent approximately 92 percent of the local telephone industry based on USF
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- COOP. TEL. CO., INC. -0.73 1.56 -2.25 0.00 320796 A NEW LISBON TEL. CO., INC. -8.32 -13.48 5.97 6.84 320797 C NEW PARIS TEL., INC. -2.55 -0.73 -1.83 -24.02 320800 C NORTHWESTERN INDIANA TEL. CO., INC. 0.02 -0.04 0.06 -61.11 320801 C CENTURYTEL OF ODON, INC. 0.90 -3.35 4.40 1.90 320807 C PERRY-SPENCER RURAL TEL. COOP., INC. DBA PSC 10.30 -1.16 11.58 23.63 320809 A COMM. CORP. OF SOUTHERN INDIANA 5.90 -5.19 11.69 39.45 320813 C PULASKI-WHITE RURAL TEL. COOP., INC. 6.61 -6.31 13.78 24.17 320815 C ROCHESTER TEL. CO., INC. 11.79 -5.39 18.15 90.79 320816 A S & W TEL. CO., INC. 12.02 -2.10 14.42 44.81 320818 A>CSMITHVILLE TEL. CO., INC. 2.87 -3.02 6.07 17.02 320819 C SOUTHEASTERN INDIANA RURAL
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- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
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- informal working groups to look at issues on the agenda for the WRC-07. In preparation for WRC-07, the WAC produced over 50 recommendations for the Commission. The various conference agenda items were assigned to the informal working groups as follows: Informal Working Groups (IWG) Agenda Items (Major WRC-07 Issues) IWG-1 Terrestrial and Space Science Services 1.2, 1.3, 1.5, 1.14, 1.16, & 1.20 IWG-2 Satellite Services including those related to High Altitude Platform Stations (HAPS) 1.6 (Resolution 415), 1.7, 1.8, 1.17, 1.18, 1.19, & 1.21 IWG-3 International Mobile Telephone (IMT-2000) & 2.5 GHz 1.4 & 1.9 IWG-4 Broadcasting and Amateur Services 1.6 (Resolution 414), 1.11, 1.13, 1.15, & 7.1 (Recommendation 952) IWG-5 Regulatory Issues 1.1, 1.0, 1.12,
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- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
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- 334 Computer and electronic products 378,161.0 2,621.1 0.69 0.41 335 Electrical equipment, appliances, and components 115,657.6 271.6 0.23 0.04 3361MV Motor vehicles, bodies and trailers, and parts 491,854.5 1,710.2 0.35 0.27 3364OT Other transportation equipment 197,611.2 425.5 0.22 0.07 337 Furniture and related products 83,416.1 370.0 0.44 0.06 339 Miscellaneous manufacturing 151,730.9 1,019.0 0.67 0.16 42 Wholesale trade 1,147,749.6 13,361.5 1.16 2.09 44RT Retail trade 1,249,614.1 12,236.5 0.98 1.91 481 Air transportation 145,510.7 1,360.6 0.94 0.21 482 Rail transportation 58,503.7 33.2 0.06 0.01 483 Water transportation 37,678.6 48.0 0.13 0.01 484 Truck transportation 267,258.9 3,419.3 1.28 0.53 485 Transit and ground passenger transportation 30,523.5 183.4 0.60 0.03 486 Pipeline transportation 35,002.2 162.7 0.46 0.03 487OS Other transportation and support activities 131,473.1
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- - Household - United States ........................................................... Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ..............................................Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2002................................... ................... Table 1.14 Telephone Calls and Billed Access Minutes of Large ILECs ...........................Table 8.3 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 Universal Service Support - Distribution of Universal Service Payments ............
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- - Household - United States ........................................................... Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ..............................................Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2002................................... ................... Table 1.14 Telephone Calls and Billed Access Minutes of Large ILECs ...........................Table 8.3 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 Universal Service Support - Distribution of Universal Service Payments ............
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- an estimate for Hawaii for 2006, the data filed in the 2007 ARMIS are used instead. 1 -10 Table 1.15 shows intrastate carrier's carrier, end user and total telecommunications revenues by category for ILECs' local exchange service, CLECs, wireless, access, ILEC toll, and non-ILEC toll.28 Components of interstate carrier's carrier, end user and total telecommunications revenues are presented in Table 1.16. These components include ILECs, CLECs, wireless, SLCs, access, and toll.29 Data from ARMIS are adjusted prior to allocating nationwide revenues to the states. ARMIS data include those ILECs with annual operating revenues over $129 million for 2005 and revenues over $134 million in 2006. The ARMIS revenue data represent approximately 92 percent of the local telephone industry based on USF
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- 1.28 1.83 0.70 6.41 Illinois 0.18 0.01 0.00 0.00 0.00 0.35 0.13 0.13 0.80 Indiana 0.38 0.02 0.00 0.00 0.00 0.42 0.48 0.21 1.50 Iowa 1.27 0.14 0.00 0.00 0.00 1.64 0.28 1.08 4.42 Kansas 5.33 0.14 0.00 0.00 0.00 2.82 0.26 0.82 9.37 Kentucky 1.06 0.02 0.00 0.60 0.00 0.89 0.62 0.25 3.44 Louisiana 2.60 0.03 0.00 0.00 0.00 1.16 0.36 0.18 4.34 Maine 0.61 0.01 0.00 0.16 0.00 1.21 0.01 0.72 2.71 Maryland 0.01 0.00 0.00 0.00 0.00 0.02 0.06 0.01 0.10 Massachusetts (0.00) 0.00 0.00 0.00 0.00 0.00 0.04 0.01 0.05 Michigan 0.44 0.00 0.00 0.00 0.00 0.39 0.01 0.18 1.03 Minnesota 1.34 0.09 0.00 0.00 0.00 1.43 0.11 0.62 3.59 Mississippi 0.99 0.02 0.00 5.63 0.00 0.59
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- 4.33 3.10 14.00 01/01/8706/30/87 1.55 4.33 3.10 12.41 07/01/8712/31/87 0.69 4.33 3.10 11.49 01/01/8811/30/88 0.00 4.14 3.10 10.56 12/01/8802/14/89 0.00 3.39 3.00 9.60 02/15/8903/31/89 0.00 3.25 3.00 9.46 04/01/8912/31/89 1.00 1.83 3.00 9.11 01/01/9006/30/90 1.00 1.53 2.50 7.78 07/01/9012/31/90 1.00 1.23 2.50 7.48 01/01/9106/30/91 1.00 1.14 2.40 7.18 07/01/9106/30/92 0.88 1.06 2.40 6.97 07/01/9206/30/93 0.79 0.95 2.40 6.76 07/01/9306/30/94 0.88 1.16 2.20 6.66 07/01/9406/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/9506/30/96 0.74 0.89 1.96 0.21 6.16 07/01/9606/30/97 0.72 0.89 1.95 0.17 6.04 07/01/9712/31/97 0.64 0.84 1.63 0.14 5.18 01/01/9806/30/98 0.68 0.23 1.29 0.21 4.04 07/01/9812/31/98 0.91 0.20 0.99 0.30 3.82 01/01/9906/30/99 0.82 0.16 0.98 0.32 3.71 07/01/9912/31/99 0.37 0.10 0.86 0.28 2.82 01/01/0006/30/00 0.32 0.10 0.86 0.31 2.85 08/11/0006/31/004 0.23 0.07 0.52
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- State Code Reference ............................................................................................... Table 8.4 Subscribership - Household - United States ........................................................... Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ................................................... Table 1.1 Telecommunications Revenues by Type of Carrier .............................................. Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2007................................... ................... Table 1.14 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 5 Index of Tables and Charts Universal Service Support - Distribution of Universal Service Payments ............ Chart 1.1 Universal Service Support Mechanisms ................................................... Table 1.11 Universal
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- State Code Reference ............................................................................................... Table 8.4 Subscribership - Household - United States ........................................................... Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ................................................... Table 1.1 Telecommunications Revenues by Type of Carrier .............................................. Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2007................................... ................... Table 1.14 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 5 Index of Tables and Charts Universal Service Support - Distribution of Universal Service Payments ............ Chart 1.1 Universal Service Support Mechanisms ................................................... Table 1.11 Universal
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- reached at www.fcc.gov/wcb/eafs/. 28 Revenues for Alaska, American Samoa, Guam, the Northern Mariana Islands, and the Virgin Islands are not estimated using data from ARMIS because these jurisdictions have no telephone companies subject to the FCC's ARMIS 43-01 and 43-08 reporting requirements. 1 -10 toll.29 Components of interstate carrier's carrier, end user and total telecommunications revenues are presented in Table 1.16. These components include ILECs, CLECs, wireless, SLCs, access, and toll.30 Data from ARMIS are adjusted prior to allocating nationwide revenues to the states. ARMIS data include those ILECs with annual operating revenues over $134 million for 2006 and revenues over $138 million in 2007. The ARMIS revenue data represent approximately 93 percent of the local telephone industry based on USF
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- -7.85 9.09 -1.73 TENNESSEE -5.49 -7.45 2.12 12.33 TEXAS 3.81 -5.97 10.40 7.33 UTAH 8.29 -5.88 15.05 6.75 VERMONT -2.63 -5.67 3.22 -29.69 VIRGIN ISLANDS -10.97 -4.65 -6.63 -39.45 VIRGINIA 1.31 -6.47 8.32 -25.32 WASHINGTON 0.61 -8.25 9.66 -4.41 WEST VIRGINIA -1.69 -4.88 3.36 -23.06 WISCONSIN 2.66 -7.54 11.03 2.50 WYOMING 5.49 -7.27 13.75 23.99 GRAND TOTAL -0.31 -7.53 7.81 1.16 * Percentage changes from 2008 to 2009. Source: Calculated from National Exchange Carrier Association data. Requirement Loops per Loop Later Year* NTS Revenue of Requirement Projections in Unseparated High Cost Loop Unseparated Number NTS Revenue Support Payment 3 - 31 State or Jurisdiction 2003 2004 2005 2006 2007 ALABAMA 776,814,450 789,564,516 796,366,033 769,370,621 742,079,806 ALASKA 206,797,693 204,795,475 202,659,453 199,890,316 201,849,721
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- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Cablevision to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cablevision with personal knowledge of the representations provided in Cablevision's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Forever Broadcasting LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Forever Broadcasting LLC with personal knowledge of the representations provided in Forever Broadcasting LLC's response, verifying the truth and accuracy of the information therein, and confirming that
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- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Believe & Achieve Family and Educational Center, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Believe & Achieve Family and Educational Center, Inc. with personal knowledge of the representations provided in Believe & Achieve Family and Educational
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Hearst-Argyle Stations, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hearst-Argyle Stations, Inc., with personal knowledge of the representations provided in Hearst-Argyle Stations, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct CAPSTAR to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CAPSTAR with personal knowledge of the representations provided in CAPSTAR's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Mount San Antonio Community College District to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Mount San Antonio Community College District with personal knowledge of the representations provided in Mount San Antonio Community College District's response, verifying the truth
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct CCR to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CCR with personal knowledge of the representations provided in CCR's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Palomar Community College District to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Palomar Community College District with personal knowledge of the representations provided in Palomar Community College District 's response, verifying the truth and accuracy of the information
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct SDCCD to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of SDCCD with personal knowledge of the representations provided in SDCCD's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Weber to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Weber with personal knowledge of the representations provided in Weber's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Beacon to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Beacon with personal knowledge of the representations provided in Beacon's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Mountain Broadcasting LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Mountain Broadcasting LLC with personal knowledge of the representations provided in Mountain Broadcasting LLC's response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Union Free to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Union Free with personal knowledge of the representations provided in Union Free's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct L-COM, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Farm & Home Broadcasting Company with personal knowledge of the representations provided in L-COM, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct L-Com Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of L-Com Inc. with personal knowledge of the representations provided in L-Com Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Stone/Collins Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Stone/Collins Communications, Inc. with personal knowledge of the representations provided in Stone/Collins Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Kickin' Country Broadcasting, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Stone/Collins Communications, Inc. with personal knowledge of the representations provided in Stone/Collins Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Radio Disney Group, LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Radio Disney Group, LLC, with personal knowledge of the representations provided in Radio Disney Group, LLC response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Cactus Radio, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cactus Radio, Inc., with personal knowledge of the representations provided in Cactus Radio, Inc. response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct New Millenium to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of New Millenium with personal knowledge of the representations provided in New Millenium's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Clarion County Broadcasting Corp to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Clarion County Broadcasting Corp with personal knowledge of the representations provided in Clarion County Broadcasting Corp's response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Universal Broadcasting of New York, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Universal Broadcasting of New York, Inc. with personal knowledge of the representations provided in Universal Broadcasting of New York, Inc.'s response, verifying the truth
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct San Luis Obispo Broadcasting to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of San Luis Obispo Broadcasting with personal knowledge of the representations provided in San Luis Obispo Broadcasting response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Hispanic Target Media, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hispanic Target Media, Inc., with personal knowledge of the representations provided in Hispanic Target Media, Inc., response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct The Allen Broadcasting Corp., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of The Allen Broadcasting Corp., with personal knowledge of the representations provided in The Allen Broadcasting Corp.'s response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct WLFM,LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of WLFM,LLC with personal knowledge of the representations provided in WLFM,LLC's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Seton Hall University to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Seton Hall University with personal knowledge of the representations provided in Seton Hall University's response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct RK Media Group, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RK Media Group, with personal knowledge of the representations provided in RK Media Group's response, verifying the truth and accuracy of the information therein, and confirming that
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-298638A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-298638A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Broadcasting Corporation of America, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Broadcasting Corporation of America, with personal knowledge of the representations provided in Broadcasting Corporation of America's response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct CBS Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CBS Radio, with personal knowledge of the representations provided in CBS Radio Stations, Inc. response, verifying the truth and accuracy of the information therein, and confirming that all
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct CBS Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CBS Radio, with personal knowledge of the representations provided in CBS Radio Stations, Inc. response, verifying the truth and accuracy of the information therein, and confirming that all
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-299108A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-299108A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Hi-Favor, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hi-Favor, with personal knowledge of the representations provided in Hi-Favor's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-299110A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-299110A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Burbach of DE, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Burbach of DE, LLC with personal knowledge of the representations provided in Burbach of DE, LLC response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct New York University to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of New York University with personal knowledge of the representations provided in New York University's response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct 6 Johnson Road Licenses, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of 6 Johnson Road Licenses, Inc. with personal knowledge of the representations provided in 6 Johnson Road Licenses, Inc.'s response, verifying the truth and accuracy of
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Ondas, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ondas, with personal knowledge of the representations provided in Ondas De Vida Network, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that all of
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct One Love Outreach, Inc, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of One Love Outreach, Inc, with personal knowledge of the representations provided in One Love Outreach, Inc's response, verifying the truth and accuracy of the information therein,
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- surrounding facts and circumstances, (ii) must fully explain each violation, including action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Word Power, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Word Power, Inc. with personal knowledge of the representations provided in Word Power, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices.4 In accordance with Section 1.16 of the Commission's Rules, we direct MPS Media of Tennessee, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of MPS Media of Tennessee, LLC with personal knowledge of the representations provided in MPS Media of Tennessee, LLC response, verifying the truth and accuracy of
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct New Age Media of Tennessee License, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of New Age Media of Tennessee License, LLC with personal knowledge of the representations provided in New Age Media of Tennessee License, LLC response,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct SMCCD to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of SMCCD with personal knowledge of the representations provided in SMCCD's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Hi-Favor, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Payson Classical, with personal knowledge of the representations provided in Payson Classical's response, verifying the truth and accuracy of the information therein, and confirming that all of the information
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Cable One, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cable One, with personal knowledge of the representations provided in Cable One response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Circle S, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Circle S, with personal knowledge of the representations provided in Circle S response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Ho'ona'auao Community TV, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ho'ona'auao Community TV, Inc., with personal knowledge of the representations provided in Ho'ona'auao Community TV, Inc.'s response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Premier Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Premier Radio, with personal knowledge of the representations provided in Premier Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Holiday to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Holiday with personal knowledge of the representations provided in Holiday's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct KSOP to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KSOP with personal knowledge of the representations provided in KSOP response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Hero to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hero with personal knowledge of the representations provided in Hero's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Iron River TV to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Iron River TV with personal knowledge of the representations provided in Iron River TV response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Heartland to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Heartland with personal knowledge of the representations provided in Heartland's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Oasis to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Oasis with personal knowledge of the representations provided in Oasis' response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct CFCD to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CFCD with personal knowledge of the representations provided in CFCD's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Davidson Media Station WTMT licensee, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Davidson Media Station WTMT Licensee, LLC with personal knowledge of the representations provided in Davidson Media Station WTMT Licensee, LLC's response, verifying the truth
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Davidson Media Station to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Davidson Media Station with personal knowledge of the representations provided in Davidson Media Station's response, verifying the truth and accuracy of the information therein, and confirming that
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- Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Revenues - by Type of Carrier ............................................Table 1.3 Telecommunications Revenues - End User - by Provider - 2008..................... . Table 1.14 Telecommunications Revenues - End User - by State ........................................... Table 1.13 Telecommunications Revenues - Interstate and International - by Provider - 2008 Table 1.16 Telecommunications Revenues - Intrastate - by Provider - 2008 ....................... Table 1.15 Universal Service Program Requirements and Contribution Factors - 2010 ............Table 1.10 Universal Service Support - Distribution of Universal Service Payments - 2009 ... Chart 1.1 Universal Service Support Mechanisms - 2008 and 2009 ........................... Table 1.11 Universal Service Support Mechanisms - by State - 2009 ..............................Table 1.12 Unseparated
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- Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Revenues - by Type of Carrier ............................................Table 1.3 Telecommunications Revenues - End User - by Provider - 2008..................... . Table 1.14 Telecommunications Revenues - End User - by State ........................................... Table 1.13 Telecommunications Revenues - Interstate and International - by Provider - 2008 Table 1.16 Telecommunications Revenues - Intrastate - by Provider - 2008 ....................... Table 1.15 Universal Service Program Requirements and Contribution Factors - 2010 ............Table 1.10 Universal Service Support - Distribution of Universal Service Payments - 2009 ... Chart 1.1 Universal Service Support Mechanisms - 2008 and 2009 ........................... Table 1.11 Universal Service Support Mechanisms - by State - 2009 ..............................Table 1.12 Unseparated
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- on a state-by-state basis interstate ILEC revenues. Interstate toll carrier revenues are estimated using data from the National Exchange Carrier Association (NECA) minutes of use data. Table 1.15 shows intrastate end-user telecommunications revenues by category for ILECs, CLECs and interconnected VoIP providers, payphone providers, wireless carriers, and toll carriers. Similarly, components of interstate end-user telecommunications revenues are presented in Table 1.16. Table 1.17 provides most of the underlying data that are used to allocate nationwide revenues to the individual states. We also report each state's percentage of the nationwide total. We use this percentage to allocate nationwide revenue data in Table 1.14 to individual states in Tables 1.15 and 1.16. These data include ILEC end-user switched access lines, non-ILEC end-user switched
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- AT&T did not report 2009 cost data. Source: National Exchange Carrier Association, Universal Service Fund 2010 Submission of 2009 Study Results (September 30, 2010) 3 - 31 Table 3.18 ILEC High-Cost Loop Support Data Percentage Changes from 2008 to 2009 by State or Jurisdiction State or Jurisdiction ALABAMA -1.91 -6.63 5.06 10.18 ALASKA -3.63 -7.97 4.71 -6.48 AMERICAN SAMOA -8.03 -1.16 -6.95 0.00 ARIZONA -1.63 -11.12 10.67 1.67 ARKANSAS -1.09 -5.73 4.92 -4.27 CALIFORNIA 3.83 -10.35 15.82 -6.31 COLORADO -4.97 -11.39 7.25 -10.35 CONNECTICUT 0.00 0.00 0.00 0.00 DELAWARE 5.86 -10.49 18.26 INFINITE DISTRICT OF COLUMBIA 3.54 -7.86 12.38 0.00 FLORIDA -4.41 -12.82 9.65 22.43 GEORGIA -5.22 -5.56 0.36 -4.59 GUAM -5.92 -9.57 4.04 -66.55 HAWAII -4.28 -8.26 4.34 -11.91 IDAHO
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- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Bird to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bird with personal knowledge of the representations provided in Bird's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Erie Christian Broadcasting, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Erie Christian Broadcasting, Inc. with personal knowledge of the representations provided in Erie Christian Broadcasting, Inc.'s response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Radio Hawaii, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Radio Hawaii, Inc., with personal knowledge of the representations provided in Radio Hawaii, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Clarion to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Clarion with personal knowledge of the representations provided in Clarion's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Vanguard Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Vanguard Radio, with personal knowledge of the representations provided in Vanguard Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Vanguard Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Vanguard Radio, with personal knowledge of the representations provided in Vanguard Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with section 1.16 of the Commission's Rules, we direct Enrico S. Brancadora to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of AM Station WIBG with personal knowledge of the representations provided in Enrico S. Brancadora's response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with section 1.16 of the Commission's Rules, we direct Langer Broadcasting Outdoors, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of AM Station WFYL with personal knowledge of the representations provided in Langer Broadcasting Outdoors, Inc.'s response, verifying the truth and accuracy of the information therein, and
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Hearst Stations Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hearst Stations Inc., with personal knowledge of the representations provided in Hearst Stations Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with section 1.16 of the Commission's Rules, we direct Louisville TV Licenses, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Louisville TV Licenses, LLC with personal knowledge of the representations provided in Louisville TV Licenses, LLC response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with section 1.16 of the Commission's Rules, we direct ICS to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of ICS with personal knowledge of the representations provided in ICS response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Charles R. Meeker, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the licensee, with personal knowledge of the representations provided in Charles R. Meeker's response, verifying the truth and accuracy of the information therein, and confirming that all
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus' response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus' response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus'response, verifying the truth and accuracy of the information therein, and confirming that all of the information
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus'response, verifying the truth and accuracy of the information therein, and confirming that all of the information
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with section 1.16 of the Commission's Rules, we direct Clear Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of FM Station WVLT with personal knowledge of the representations provided in Clear Communication Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Lesea Broadcasting of Hawaii, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Lesea Broadcasting of Hawaii, Inc., with personal knowledge of the representations provided in Lesea Broadcasting of Hawaii, Inc.'s response, verifying the truth and accuracy of
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Eastern Utah Broadcasting Company to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Eastern Utah Broadcasting Company with personal knowledge of the representations provided in Eastern Utah Broadcasting Company response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with section 1.16 of the Commission's Rules, we direct Verizon to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Verizon with personal knowledge of the representations provided in Verizon's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Valley Christian Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Valley Christian Radio Corp. with personal knowledge of the representations provided in Valley Christian Radio Corp.'s response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Knology f the Plains, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Knology with personal knowledge of the representations provided in Knology's response, verifying the truth and accuracy of the information therein, and confirming that all of
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Polynesian Broadcasting, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Polynesian Broadcasting, Inc., with personal knowledge of the representations provided in Polynesian Broadcasting, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct UNM, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of UNM, with personal knowledge of the representations provided in UNM's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309795A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309795A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Vanguard Media, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Vanguard Media, with personal knowledge of the representations provided in Vanguard Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309796A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309796A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Lifetalk, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Lifetalk, with personal knowledge of the representations provided in Lifetalk's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309797A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309797A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct El Camino, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of El Camino, with personal knowledge of the representations provided in El Camino's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309798A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309798A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct SFCC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of SFCC, with personal knowledge of the representations provided in SFCC's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309799A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309799A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct La Voz, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of La Voz, with personal knowledge of the representations provided in La Voz's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309803A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309803A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct JMK Communications, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of JMK Communications, Inc., with personal knowledge of the representations provided in JMK Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309811A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-309811A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Comcast to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Comcast, with personal knowledge of the representations provided in Comcast's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310098A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310098A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Agpal to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Agpal Broadcasting Inc. with personal knowledge of the representations provided in Agpal's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310099A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310099A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Agpal to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Agpal Broadcasting Inc. with personal knowledge of the representations provided in Agpal's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310100A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310100A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Eureka to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Eureka Broadcasting Co., Inc. with personal knowledge of the representations provided in the Eureka's response, verifying the truth and accuracy of the information therein, and confirming that all
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310101A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310101A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Eureka to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Eureka Broadcasting Co., Inc. with personal knowledge of the representations provided in the Eureka's response, verifying the truth and accuracy of the information therein, and confirming that all
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310311A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310311A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Ohana Broadcast Company LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ohana Broadcast Company LLC, with personal knowledge of the representations provided in Ohana Broadcast Company LLC's response, verifying the truth and accuracy of the information therein,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310312A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310312A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Capstar TX LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Capstar TX LLC, with personal knowledge of the representations provided in Capstar TX LLC's response, verifying the truth and accuracy of the information therein, and confirming that
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310313A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310313A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Ohana Broadcast Company LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ohana Broadcast Company LLC, with personal knowledge of the representations provided in Ohana Broadcast Company LLC's response, verifying the truth and accuracy of the information therein,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310620A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310620A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Mediacom, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Mediacom with personal knowledge of the representations provided in Mediacom's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310731A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310731A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Lake Michigan Broadcasting, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Lake Michigan Broadcasting, Inc. with personal knowledge of the representations provided in Lake Michigan Broadcasting, Inc.'s response, verifying the truth and accuracy of the information therein,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310868A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310868A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct HTM, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of HTM, with personal knowledge of the representations provided in HTM's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310869A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310869A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Media Enterprises, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Media Enterprises, Inc. with personal knowledge of the representations provided in Media Enterprises, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310870A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310870A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Oasis to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Oasis with personal knowledge of the representations provided in Oasis's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310970A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-310970A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with section 1.16 of the Commission's Rules, we direct Crystal Coast Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Crystal Coast Communications, Inc. with personal knowledge of the representations provided in Crystal Coast Communications, Inc.'s response, verifying the truth and accuracy of the information therein,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311568A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311568A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Keyhole to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Keyhole with personal knowledge of the representations provided in Keyhole response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311569A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311569A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Keyhole to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Keyhole with personal knowledge of the representations provided in Keyhole response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311695A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311695A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's rules, we direct Cantroair to support its response to this Notice with a statement under penalty of perjury, signed and dated by an authorized officer of Cantroair with personal knowledge of the representations provided in Cantroair's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by this Notice
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311702A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311702A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Telefutura to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Telefutura with personal knowledge of the representations provided in Telefutura's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311703A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311703A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct KMEX to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KMEX with personal knowledge of the representations provided in KMEX's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311710A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311710A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Susan L. Uecker, Receiver, to support her response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by Susan L. Uecker, Receiver, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by this Notice which is in the licensee's possession,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311713A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311713A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Cequel to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cequel with personal knowledge of the representations provided in Cequel's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311714A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311714A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct CALNEVA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CALNEVA with personal knowledge of the representations provided in CALNEVA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311715A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311715A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct KM Radio to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KM Radio with personal knowledge of the representations provided in KM Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311775A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-311775A1.txt
- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312032A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312032A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's rules, we direct Double O Texas Corporation to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Double O Texas Corporation with personal knowledge of the representations provided in Double O Texas Corporation response, verifying the truth and accuracy of the information therein,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312033A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312033A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's rules, we direct Double O Texas Corporation to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Double O Texas Corporation with personal knowledge of the representations provided in Double O Texas Corporation response, verifying the truth and accuracy of the information therein,
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312038A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312038A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Calvary Chapel to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Calvary Chapel with personal knowledge of the representations provided in Calvary Chapel response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312039A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312039A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Calvary Chapel to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Calvary Chapel with personal knowledge of the representations provided in Calvary Chapel response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312040A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312040A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312041A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312041A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312042A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312042A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312043A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312043A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312044A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312044A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312045A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312045A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Freisland to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Freisland with personal knowledge of the representations provided in Freisland's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312046A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312046A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Freisland to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Freisland with personal knowledge of the representations provided in Freisland's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312551A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312551A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's rules, we direct Wings Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Wings Communications, Inc. with personal knowledge of the representations provided in Wings Communications, Inc. response, verifying the truth and accuracy of the information therein, and confirming that
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312554A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312554A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Curran Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Curran Communications, Inc. with personal knowledge of the representations provided in Curran Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312655A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312655A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct White Park to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of White Park with personal knowledge of the representations provided in White Park's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312656A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312656A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct White Park to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of White Park with personal knowledge of the representations provided in White Park's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312657A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312657A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct White Park to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of White Park with personal knowledge of the representations provided in White Park's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312908A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-312908A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Adelman Broadcasting, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Adelman Broadcasting, Inc. with personal knowledge of the representations provided in Adelman Broadcasting, Inc. response, verifying the truth and accuracy of the information therein, and confirming that
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313072A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313072A1.pdf
- 854 upon any change in height or change in ownership information.'' Although antenna structure number 1221656 was not transferred to another entity, its owner changed its legal name, and, at the time of inspection, the Antenna Structure Registration Database still listed Day Star Communications' previous name. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Sections 1.16 and 1.89 of the Commission's rules, Day Star Communications must submit a written statement concerning this matter within twenty (20) calendar days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and should include a time line for completion of pending
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct A&J to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of A&J with personal knowledge of the representations provided in A&J's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Gulf-CA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Gulf-CA with personal knowledge of the representations provided in Gulf-CA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct RMB to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RMB with personal knowledge of the representations provided in RMB's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313585A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313585A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct RMB to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RMB with personal knowledge of the representations provided in RMB's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313586A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313586A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct RMB to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RMB with personal knowledge of the representations provided in RMB's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313587A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313587A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Gulf-CA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Gulf-CA with personal knowledge of the representations provided in Gulf-CA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313588A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313588A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Gulf-CA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Gulf-CA with personal knowledge of the representations provided in Gulf-CA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- Any false statement made knowingly and willfully in reply to this Notice is punishable by fine or imprisonment under Title 18 of the U.S. Code. FEDERAL COMMUNICATIONS COMMISSION Ralph M. Barlow District Director Tampa District Office South Central Region Enforcement Bureau 47 C.F.R. § 1.89. 47 U.S.C. § 308(b). 47 C.F.R. § 1.89. 47 C.F.R. § 1.89(c). 47 C.F.R. § 1.16. P.L. 93-579, 5 U.S.C. § 552a(e)(3). 18 U.S.C. § 1001 et seq. Federal Communications Commission Federal Communications Commission - - Ã Ä € L M $ #yJ #yJ
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- Structure Registration Number must be weather-resistant and of sufficient size to be easily seen at the base of the antenna structure.'' At the time of inspection, there was no Antenna Structure Registration Number posted on the fence or nearby the base of antenna structure number 1030576. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Sections 1.16 and 1.89 of the Commission's rules, In Site Towers must submit a written statement concerning this matter within twenty (20) calendar days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and should include a time line for completion of pending
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313999A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313999A1.pdf
- 216 MHz - 20 micro-volts per meter, measured at 3 meters.'' At the time of the inspection, agents observed the indicated signal leakage, on the frequency of 121.2625 MHz, at the following locations: 4203 Matanzas Avenue ----------------------- 397.64 µV/m Pole at 4804 Juanita Avenue------------------ 28.40 µV/m Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Sections 1.16 and 1.89 of the Commission's rules, Comcast Cable Communications, must submit a written statement concerning this matter within twenty (20) days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and should include a time line for completion of pending corrective
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct KHLS, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KHLS, Inc., with personal knowledge of the representations provided in KHLS, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that all of the
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Salem Media of Hawaii, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Salem Media of Hawaii, Inc., with personal knowledge of the representations provided in Salem Media of Hawaii, Inc.'s response, verifying the truth and accuracy of
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Trinity Broadcasting Network, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Trinity Broadcasting Network, with personal knowledge of the representations provided in Trinity Broadcasting Network's response, verifying the truth and accuracy of the information therein, and confirming that
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct Hawaii Public Television Foundation, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hawaii Public Television Foundation, with personal knowledge of the representations provided in Hawaii Public Television Foundation's response, verifying the truth and accuracy of the information therein,
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- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Rules, we direct Quinn to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Quinn with personal knowledge of the representations provided in Quinn's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by this
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314316A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314316A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Rules, we direct Quinn to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Quinn with personal knowledge of the representations provided in Quinn's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by this
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314320A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314320A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct LBI to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of LBI with personal knowledge of the representations provided in LBI's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314686A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-314686A1.pdf
- facts and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. In accordance with Section 1.16 of the Commission's Rules, we direct RAMH to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RAMH with personal knowledge of the representations provided in RAMH's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-00-104A1.pdf
- carriers must demonstrate that they are (or will be) ready to place the numbering resources in service by the activation date indicated in their application.185 Sprint recommends imposing conditions on initial numbering resources, including documentation of planned services, certification, interconnection, and actual use of numbering resources.186 PCIA suggests that carriers should be required to certify, pursuant to 47 C.F.R. § 1.16, that they will be ready to use the numbering resources within six months.187 96. We conclude that allowing carriers to build inventories before they are prepared to offer service results in highly inefficient distribution of numbering resources and is counterproductive to our goal of optimizing the use of numbering resources. Thus, a carrier shall not receive numbering resources if it
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- AC Youngstown - Warren, OH 104Youngstown OHClear Channel Communications 1947 1700 7.9 0.9 B WRTK AMClsc Rock Youngstown - Warren, OH 104Niles OHClear Channel Communications 1963 450 0 0.46 B WNCD FMClsc Rock Youngstown - Warren, OH 104Youngstown OHClear Channel Communications 1959 1950 6.2 1.18 B WICT FMCountry Youngstown - Warren, OH 104Grove City PAClear Channel Communications 1962 450 2.1 1.16 B WNIO AMNostalgia Youngstown - Warren, OH 104Youngstown OHClear Channel Communications 1939 150 2.7 0.39 B WTNX FMCHR Youngstown - Warren, OH 104Sharpsville PAClear Channel Communications 1976 500 1.4 0.89 A WPAO AMChristian Youngstown - Warren, OH 104Farrell PAGOCOM Communications LLC 1954 0 0 0 B WBBW AMSports Youngstown - Warren, OH 104Youngstown OHCumulus Broadcasting Inc 1949 150 0.6 0.58
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- of proof is on Veracon to prove that Quatron had discontinued operations and it has failed to meet its burden. 16. Veracon emphasizes that its evidence was submitted in affidavit form or otherwise under the penalty of perjury and is thus entitled to greater weight than that of Quatron, which was not submitted in such form. Veracon argues that Section 1.16 of the Commission's Rules mandates that filings to the Commission be made under penalty of perjury. In doing so, it argues that because Quatron failed to submit evidence under the same conditions, that evidence is insufficient to overcome Veracon's arguments. 17. The Commission has established numerous procedural safeguards to assure the validity of information presented by parties. First, the signature
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- 5.28 3n PR-4-04 % Missed Appointment - Verizon - Dispatch 14.58 9.10 13.91 8.38 14.54 7.80 12.86 0.00 PR-4-05 % Missed Appointment - Verizon - No Dispatch 0.08 0.04 0.11 0.09 0.07 0.04 0.09 0.02 PR-6-01 % Installation Troubles reported within 30 Days 4.28 2.19 4.28 2.27 4.27 2.67 5.02 2.30 PR-6-02 % Installation Troubles reported within 7 Days 2.52 1.16 2.43 1.07 2.41 1.44 2.89 1.02 PR-8-01 Open Orders in a Hold Status > 30 Days 0.10 0.28 0.08 0.19 0.04 0.07 0.00 0.00 PR-8-02 Open Orders in a Hold Status > 90 Days 0.03 0.10 0.03 0.08 0.01 0.00 0.00 0.00 Resale 2-Wire Digital Services PR-2-01 Average Int. Completed - Total No Dispatch 1.25 3.07 1.28 1.98 1.61 1.16
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- FM Classical Rockford, IL 150 Rockford IL Northern Illinois University 1991 0 0 0 B WYHY FM Oldies Rockford, IL 150Winnebago IL RadioWorks Inc 1971 May-99 2100 8.8 0.83 A WNTA AM Nws/Tlk/Old Rockford, IL 150 Rockford IL RadioWorks Inc 1953 Aug-99 500 4 0.53 B WXRX FM Clsc Rock Rockford, IL 150Belvidere IL RadioWorks Inc 1971 Aug-99 2600 9.4 1.16 A WGFB FM AC Rockford, IL 150 Rockton IL RadioWorks Inc 1963 Oct-99 1825 4.6 1.15 A Out of Market Stations (Home Market Listed) WLS AM News/Talk Chicago, IL 3 Chicago IL ABC Radio Incorporated 1924 Feb-96 18300 1.9 A WMVP AM Sports Chicago, IL 3 Chicago IL ABC Radio Incorporated 1926 Apr-99 8600 0 A WKIE FM CHR/Rhymc Chicago,
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- Postal Service Express and Priority Mail to the Commission's headquarters, prior to 5:30 PM Eastern Time on the seventh calendar day following the effective date of this order. Three exceptions to these requirements are specified in paragraph 4 below. All refilings pursuant to this paragraph shall be accompanied by a signed affidavit or a declaration pursuant to Commission rule section 1.16 stating that the previously filed pleading was timely filed in accordance with Commission rules, the date the pleading was originally sent to the Commission, and by what means. Covered Pleadings submitted up to 7 calendar days following the effective date of this order in a manner not consistent with its terms must be refiled in the same manner as Covered
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- or "Intercepted" has the meaning defined in 18 U.S.C. §2510(4). 1.15 "Lawful U.S. Process" means U.S. federal, state or local Electronic Surveillance orders or authorizations, and other orders, legal process, statutory authorizations, and certifications for interception of, access to or disclosure of Domestic Communications, Call Associated Data, Transactional Data or Subscriber Information authorized by U.S. federal, state or local law. 1.16 "MES" means a mobile earth station (i.e., a hand-held, portable or other mobile terminal capable of receiving and/or transmitting Wire Communications or Electronic Communications by satellite). 1.17 "Non U.S.-Licensed MES" means an Inmarsat MES other than a U.S.-Licensed MES. 1.18 "Party" or "Parties" have the meaning given in the Preamble. 1.19 "Pro forma assignments" or "pro forma transfers of control"
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- by non-electronic means between September 12, 2001 and the effective date of this order may be refiled electronically within 30 days of the effective date of this order in accordance with the procedures specified in the preceding paragraph. Pleadings filed electronically pursuant to this paragraph shall be accompanied by a signed affidavit or a declaration pursuant to Commission rule section 1.16 stating that the previously filed pleading was timely filed, and providing the date the pleading was originally mailed to the Commission, and by what means. For this purpose only, the original pleading will be considered filed as of the date that it was mailed. Accordingly, IT IS ORDERED that, pursuant to the authority of Sections 4(i) of the Communications Act
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- C.F.R. § 0.459. If confidential treatment is sought, redacted versions of the reports still must be served as required by the Consent Decree. Cingular should serve the Executive Director of each organization as well as its counsel, to the extent such counsel has been identified in the record in response to Cingular's request for relief. . See 47 C.F.R. § 1.16. As required by Section 20.18(h)(1) of the Commission's Rules, Cingular's network-based technology for delivering E911 Phase II location information must meet the following standards for location accuracy: 100 meters for 67 percent of calls, 300 meters for 95 percent of calls. Cingular will derive its network-wide location accuracy by selecting the 67 percent and 95 percent accuracy numbers from a
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- Interval - Mechanized A.1.7 O-8 Reject Interval - Partially Mechanized - 10 hours A.1.8 O-8 Reject Interval - Non-Mechanized A.1.9 O-9 FOC Timeliness - Mechanized A.1.12 O-9 FOC Timeliness - Partially Mechanized - 10 hours A.1.13 O-9 FOC Timeliness - Non-Mechanized A.1.14 O-11 FOC & Reject Response Completeness - Mechanized A.1.15 O-11 FOC & Reject Response Completeness - Partially Mechanized A.1.16 O-11 FOC & Reject Response Completeness - Non-Mechanized Provisioning A.2.1 P-4 Order Completion Interval A.2.2 P-1 Held Orders A.2.4 P-2 % Jeopardies - Mechanized A.2.5 P-2 % Jeopardies - Non-Mechanized A.2.7 P-2 Average Jeopardy Notice Interval - Mechanized A.2.8 P-2 Average Jeopardy Notice Interval - Non-Mechanized A.2.9 P-2 % Jeopardy Notice >= 48 hours - Mechanized A.2.10 P-2 % Jeopardy
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- imposed on AT&T Wireless as described in this Consent Decree pertains only to AT&T Wireless's TDMA and TDMA/AMPS network. AT&T Wireless should serve the Executive Director of each organization as well as its counsel, to the extent such counsel has been identified in the record in response to AT&T Wireless's request for relief. See . See 47 C.F.R. § 1.16. As required by Section 20.18(h)(1) of the Commission's Rules, AT&T Wireless's network-based technology for delivering E911 Phase II location information must meet the following standards for location accuracy: 100 meters for 67 percent of calls, 300 meters for 95 percent of calls. AT&T Wireless will derive its network-wide location accuracy by selecting the 67 percent and 95 percent accuracy numbers
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- the U.S. Table. See Unites States Proposals for the Work of the Conference, Document 30-E, dated September 4, 1997, Proposals for Agenda Item 1.9.2, at p.120. See NSF letter to Convener, Ad Hoc 212, dated March 1, 2002. See United States of America Proposals for the Work of the Conference, Document 12-E, dated January 12, 2000, Proposals for agenda item 1.16, entitled ``A proposal to modify the allocations above 71 GHz,'' at pp. 31-67. See also Letter from Associate Administrator, Office of Spectrum Management, NTIA, U.S. Department of Commerce, to Acting Chief, Office of Engineering and Technology, FCC, dated July 18, 2001. The radio frequencies of interest for the RAS depend on the characteristics of the object studied. Celestial radio sources
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- Each of the conditions imposed on AT&T Wireless as described in this Consent Decree pertains only to AT&T Wireless's GSM network. AT&T Wireless should serve the Executive Director of each organization as well as its counsel, to the extent such counsel has been identified in the record in response to AT&T Wireless's request for relief. See . See 47 CFR §1.16. Federal Communications Commission FCC 02-283 Federal Communications Commission FCC 02-283 Federal Communications Commission FCC 02-283 Federal Communications Commission FCC 02-283 Federal Communications Commission FCC 02-283 Federal Communications Commission FCC 02-283 & X ¯ ° ± Ï Ð Þ ß à á W X € † ‡ ˆ Ÿ ¯ ° à á W X € † ‡ ˆ Ÿ
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- Dig Ln Shrg cap-conditioned-field wk/no field wk 0.00 0.00 0.93 0.00 3.64 0.00 9.09 0.00 2.22 0.00 5 - 523900UNE Loop 2w Dig Ln Shrg cap-nonconditioned-field wk/no field wk 0.00 0.29 0.04 0.33 0.06 0.34 0.52 1.01 0.35 1.14 5 - 524100UNE Loop 4w Dig 1.544 mpbs cap/HDSL field wk/no field wk 0.37 0.48 0.93 0.24 0.84 0.22 1.06 0.18 1.16 0.11 5 - 525300EELs DS1-New 0.19 tbd 0.52 tbd 0.00 tbd 0.23 tbd 3.31 tbd 5 - 525900UNE Platform Basic Port and Loop field wk/no field wk 0.00 0.62 0.01 1.04 0.01 0.95 0.02 1.03 0.02 0.87 5 - 526300Interconnection Trunks 4.6410.58 3.2930.28 4.8222.73 3.6315.36 1.0924.37 6 - 640000Whlsle Assgnmnt-Resale Res POTS 100.0090.00 90.00100.0090.00100.0090.00100.0090.00abcde 6 - 640900Whlsle Assgnmnt-Resale ISDN BRI
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- Non-Mech. A.1.12 O-9 FOC Timeliness - Partially Mech. - 10 hours B.1.4 O-8/O-14Reject Interval Mech. A.1.13 O-9 FOC Timeliness - Non-Mech. B.1.7 O-8/O-14Reject Interval - Partially Mech. - 10 hours A.1.14 O-11 FOC & Reject Response Completeness - Mech. B.1.8 O-8/O-14Reject Interval - Non-Mech. A.1.15 O-11 FOC & Reject Response Completeness - Partially Mech. B.1.9 O-9/O-15FOC Timeliness Mech. A.1.16 O-11 FOC & Reject Response Completeness - Non-Mech. B.1.12 O-9/O-15FOC Timeliness - Partially Mech. - 10 hours Provisioning B.1.13 O-9/O-15FOC Timeliness - Non-Mech. A.2.1 P-4 Order Completion Interval B.1.14 O-11 FOC & Reject Response Completeness Mech. A.2.4 P-2 % Jeopardies - Mech. B.1.15 O-11 FOC & Reject Response Completeness Partially Mech. A.2.5 P-2 % Jeopardies - Non-Mech. B.1.16
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- to resubmit their requests for review with proof that their original submissions were timely filed. These requests for review may be resubmitted electronically or by facsimile within 60 days of the release date of this Order. All requests for review re-submitted pursuant to this paragraph shall be accompanied by a signed affidavit or a declaration pursuant to Commission rule section 1.16 stating the date on which the pleading was originally sent for delivery to the Commission and by what means (i.e., by U.S. mail, express courier, or hand delivery). For this purpose only, the new pleading will be considered filed as of the date on which the original pleading was sent for delivery. The provisions of this paragraph are applicable to
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- made before any officer authorized by law to administer oaths (e.g., a notary public), that the contents of the petition are true.'' Harrea Broadcasters, Inc., 52 FCC 2d 998, 1001 (Comm. 1975) (petition to deny license renewal application dismissed in part for failure to verify). This definition of verification was followed for many years. However, the Commission subsequently adopted Section 1.16 that provides that unsworn verifications or declarations (i.e., non-notarized verifications) can be accepted in lieu of sworn affidavits or declarations if they are substantially in the following form: ``I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct.'' In the instant case, the counterproposal did not contain a
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- served by the cell sites, and the number of cell sites associated with each PSAP. For example, it could report that Phase II technology has been deployed to County A PSAP, covering 300 cell sites; Locality B PSAP, covering 600 cell sites, and Municipality C PSAP, covering 100 cell sites, for a total of 1,000 cell sites. See 47 CFR §1.16. City of Richardson Reconsideration Order at para. 16. Federal Communications Commission FCC 03-129 Federal Communications Commission FCC 03-129 ‰ - ± ¶ é ê @ˆþÿ @ˆþÿ | $ 6 Î â š@ 00 00 š@ 00 bP' bP'
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- by the cell sites, and the number of cell sites associated with each PSAP. For example, it could report that Phase II technology has been deployed to County A PSAP, covering 300 cell sites; Locality B PSAP, covering 600 cell sites, and Municipality C PSAP, covering 100 cell sites, for a total of 1,000 cell sites. See 47 CFR § 1.16. Federal Communications Commission FCC 03-172 Federal Communications Commission FCC 03-172 Federal Communications Commission FCC 03-172 Federal Communications Commission FCC 03-172 h @ˆþÿ @ˆþÿ @ˆþÿ R ð . / C P R T a n ‰ Á Â ä î ð ò ú hÌ@ >ð F $ * ñ * 00 €Ó €Ó €Ó €Ó €Ó €Ó €Ó €Ó €Ó
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- license. 1.14 "Prototype" means a pre-production model of a Unidirectional Digital Cable Product that is not sold commercially. 1.15 "POD Module" means an individual addressable device for authorizing and de- authorizing the decryption or descrambling of services and individual programs and events delivered through the Unidirectional Digital Cable Product on a service by service or individual program or event basis. 1.16 "Referenced Technology" means those standards set forth on Exhibit A hereto; provided however, Referenced Technology does not include any third party proprietary technology referenced in or required by such standards, such as DES, DTCP, or MPEG-2. 1.17 "Robustness Rules" mean the rules described in Exhibit C hereto, as such rules may be amended from time to time in accordance with
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- costs and responsibilities, the time required to make the necessary technical changes, and the disruption, if any, of public safety services. Should disputes arise in connection with such matters, parties are encouraged to resolve them using arbitration, mediation or other alternative dispute mechanisms. We stress that we only provide this ``safety valve'' to public safety licensees. See 47 C.F.R. § 1.16. The Washington, D.C. office of the Wireless Telecommunication Bureau is: 445 12th Street SW, Washington, D.C. 20554. Complaints should be addressed to the Public Safety and Critical Infrastructure Division. We recommend, but do not require, that the affected parties keep records of interference complaints and the resolution thereof; and make such records available to the Commission on request. infra. supra
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- costs and responsibilities, the time required to make the necessary technical changes, and the disruption, if any, of public safety services. Should disputes arise in connection with such matters, parties are encouraged to resolve them using arbitration, mediation or other alternative dispute mechanisms. We stress that we only provide this ``safety valve'' to public safety licensees. See 47 C.F.R. § 1.16. The Washington, D.C. office of the Wireless Telecommunication Bureau is: 445 12th Street SW, Washington, D.C. 20554. Complaints should be addressed to the Public Safety and Critical Infrastructure Division. We recommend, but do not require, that the affected parties keep records of interference complaints and the resolution thereof; and make such records available to the Commission on request. infra. supra
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- Public Notice entitled ``The FCC's Advisory Committee for the 2003 World Radiocommunication Conference Approves Draft Proposals,'' DA 03-91, released January 15, 2003. See United States of America Proposals for the Work of the Conference, plenary meeting, Document_E, dated February 9, 2003 (U.S. Proposals for WRC-03); United States of America Proposals for the Work of the Conference, plenary meeting, Agenda Item 1.16, Document 38-E, April 28, 2003. The ITU divides the world into three geographic Regions. The United States is in Region 2, which includes North and South America. Region 1 is primarily Africa, Europe, the former Soviet Union, and the Middle East. Region 3 is primarily the remainder of Asia, Australia, and New Zealand. See 47 C.F.R. § 2.104 for the
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- Standard error 1.67 1.07 0.26 0.11 0.03 5% Trimmed $5.55 $2.77 $1.22 $0.44 $0.06 DBS competition ** Average $8.34 $5.61 $1.62 $0.61 $0.14 Observations 45 45 45 45 45 Standard error 1.15 0.84 0.20 0.06 0.03 5% Trimmed $8.07 $5.59 $1.58 $0.61 $0.13 Wireless competition ** Average $2.12 $2.58 $0.81 $0.23 $0.02 Observations 29 29 29 29 29 Standard error 1.16 0.61 0.17 0.05 0.01 5% Trimmed $2.07 $2.49 $0.79 $0.22 $0.02 Low penetration test Average $7.96 -$0.14 $1.25 $0.55 $0.09 Observations 36 36 36 36 36 Standard error 1.43 2.19 0.15 0.08 0.03 5% Trimmed $7.10 $1.52 $1.26 $0.53 $0.06 * Operating Expense does not include the following expenses: Corporate overhead, depreciation and amortization, interest expense, losses from sale or
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- 13, 2004 (``Carrera Response''). Carrera did not respond fully to LOI Inquiry Numbers 8, 9, 10, and 12 regarding various regulatory program payments. In addition, the affidavit Carrera supplied to support its response did not contain a statement that it was made under penalty of perjury, as specifically required in the LOI, and thus failed to conform to Commission Rule 1.16, 47 C.F.R. § 1.16. Moreover, in response to LOI Inquiry Number 5, Carrera did not provide a specific response setting forth the required revenue information. Letters from Hillary S. DeNigro, Deputy Chief, Investigations and Hearings Division, Enforcement Bureau, to Joann P. Bennett, Carrera, dated November 5, 2004 and January 21, 2005. Carrera's receipt of the letters was confirmed by return
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- from co-primary to secondary. Final Analysis argues that the domestic co-primary allocation is effective, based on the meeting of the three contingencies spelled out in footnote US368. Final Analysis states that the first contingency was satisfied when tests, measurements and studies were completed by a U.S. laboratory and submitted in a U.S. document that sought support of WRC-03 Agenda Item 1.16. Final Analysis states that the second contingency was satisfied when the secondary allocation, as specified in footnote 5.339A, was adopted at WRC-03. Final Analysis states that the third contingency was satisfied because the WRC-03 made any Little LEO system filing an application for domestic use of the bands subject to decisions taken at WRC-07, including any provisions to protect other
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- to effectuate the operation of undersea transport network(s) outside of the United States and in no manner controls land-based transport network(s) or their associated system in the United States. 1.14. ``Effective Date'' means the date on which the transactions contemplated by the SPA and APA are consummated. 1.15. ``Electronic Communication'' has the meaning given it in 18 U.S.C. § 2510(12). 1.16. ``Electronic Surveillance'' means: (a) the interception of wire, oral, or electronic communications as defined in 18 U.S.C. §§ 2510(4), (1), (2), and (12), respectively, and electronic surveillance as defined in 50 U.S.C. § 1801(f); (b) access to stored wire or electronic communications, as referred to in 18 U.S.C. § 2701 et seq.; (c) acquisition of dialing, routing, addressing or signaling
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- the applicant, the ULS assigned file number, and the date the application was submitted via the ULS. The cover letter and maps should be mailed to: Federal Communications Commission, Attn: Chief, Mobility Division, 445 Twelfth Street, SW, Washington, D.C. 20554. 47 C.F.R. § 22.911(a) (SAB formula). See 47 C.F.R. § 22.949 (unserved area licensing process). . See 47 C.F.R. § 1.16 (unsworn declarations under penalty of perjury in lieu of affidavits). We are thus waiving Section 22.911(a) to the extent we accept a certification in lieu of a revised CGSA determination. For example, if one of 12 CGSA defining sites were modified, the analog-determined CGSA, as modified, would become the licensee's new CGSA. Analog Sunset Order, 17 FCC Rcd at 18406
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- and dated by an authorized officer of Verizon with personal knowledge of the representations therein, verifying that Verizon has complied with the terms of this Consent Decree. The declaration shall be submitted to Kathryn S. Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with Section 1.16 of the Commission's rules, 47 C.F.R. § 1.16, and be substantially in the form set forth therein. D. Termination. The provisions of this paragraph shall remain in effect for two (2) years from the Effective Date. The Commission agrees that, in the absence of new material evidence, it will not institute, on its own motion or in response to third-party
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- NCE station WEDU, channel *3, and WEDU-DT, channel *54, Tampa, FL, received channel *13 for its TCD in the proposed DTV Table. FWCPB requests that the proposed DTV Table Appendix B be revised to specify omnidirectional facilities for WEDU at an ERP of 40 kW. The Commission's interference analysis based on recalculated Appendix B facilities shows that WEDU would cause 1.16 percent new interference to WTLV, Jacksonville, Florida (analog channel 12, post-transition digital channel TCD channel 13). WGTV, Athens, GA. Georgia Public Telecommunications Commission (``GPTC''), licensee of NCE station WGTV, channel *8, and permittee of WGTV-DT, channel *12, Athens, GA, received channel *8 for its TCD in the proposed DTV Table. GPTC requests that the proposed parameters in DTV Table Appendix
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- provide Domestic Communications, or (ii) engage in provisioning, control, maintenance, management, security, selling, billing, or monitoring of Hosting Services, or data. 1.13. "Effective Date" means the date of the last signature affixed to this Agreement by the Parties. 1.14. "Electronic Communication" has the meaning given it in 18 U.S.C. § 2510(12). 1.15. "FBI" means the Federal Bureau of Investigation. 4 1.16. "Foreign Entity" means any Foreign Person; any entity established under the laws of a country other than the United States, or any government other than the U.S. Government or a U.S. state or local government. 1.17. "Foreign Person" means any Person who is not a U.S. Person as provided by 31 C.F.R. § 800.222. 1.18. "Hosting Services" means Web hosting
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- 0.74760 0.75 48,375,000 Interstate Tele- communication Service Providers 51,000,000,000 1 140,184,000 135,819,336 0.00266312 0.00266 135,660,000 CMRS Mobile Services (Cellular/Public Mobile) 229,000,000 1 42,000,000 40,596,052 0.177 0.18 41,220,000 CMRS Messag. Services 7,500,000 1 520,000 600,077 0.08 0.08 600,000 BRS2 LMDS 1,300 410 1 1 485,925 90,750 425,139 134,077 327 327 325 325 422,500 133,250 International Bearer Circuits 6,500,000 1 7,791,000 7,548,425 1.16 1.16 7,540,000 International Public Fixed 1 1 1,925 1,865 1,865 1,875 1,875 Earth Stations 3,900 1 752,500 729,071 187 185 721,500 International HF Broadcast 5 1 4,100 3,972 794 795 3,975 Space Stations (Geostationary) 86 1 9,693,975 9,392,151 109,211 109,200 9,391,200 Space Stations (Non-Geostationary 6 1 721,350 698,891 116,482 116,475 698,850 ****** Total Estimated Revenue to be Collected 299,624,101 290,274,768
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- for KBRR be changed to lower ERP from 9.7 to 5.9 kW, increase HAAT from 113 to 183 meters, and change the antenna ID to indicate use of a non-directional antenna. Id. See Seventh Report and Order, 22 FCC Rcd at 15609-10, ¶¶ 68-69. Specifically, the Commission's interference analysis based on recalculated Appendix B facilities showed that WEDU would cause 1.16 percent new interference to WTLV, Jacksonville, FL (analog channel 12, post-transition TCD 13). Id. See Petition for Reconsideration by Florida West Coast Public Broadcasting, Inc., filed Oct. 26, 2007, at 3. Specifically, FWCPB requests that the antenna ID in Appendix B be changed from 75058 to omnidirectional. Id. at Engineering Statement p. 3. Id. at 2. FWCPB also notes that
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- announcing approval of the collections by OMB. See VRS Practices R&O, 26 FCC Rcd at 5585-87, ¶¶ 88-91; id. at 5610-11 (codifying rule at 47 C.F.R. § 64.604(c)(5)(iii)(C)(5)). See 2010 VRS Declaratory Ruling, Order, and NPRM, 25 FCC Rcd at 6018-20, ¶¶ 11-16; 6038, App. B. VRS Practices R&O, 26 FCC Rcd at 5586, ¶ 90 (citing 47 C.F.R. § 1.16). See 47 C.F.R. § 1.17. See VRS Practices R&O, 26 FCC Rcd at 5586, ¶ 90. We note that the Commission's rules require similar certifications in other application and report contexts. See, e.g., 47 C.F.R. § 1.2105 (requiring applicants for eligibility to bid in Commission auctions to make various certifications under penalty of perjury, including, for instance, identifying all parties
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-121A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-121A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-121A1.txt
- Internet through the International Bureau Filing System (IBFS). For information on filing your petition through IBFS, see Part 1, Subpart Y and the IBFS homepage at http://www.fcc.gov/ib. (c) The U.S. parent filing the petition for declaratory ruling required by paragraph (a)(1) of this section shall certify to the information contained in the petition in accordance with the provisions of § 1.16. (d) The following definitions shall apply to this section and §§ 1.991-1.994 of this part. (1) Individual refers to a natural person as distinguished from a partnership, association, corporation, or other organization. (2) Entity includes a partnership, association, estate, trust, corporation, limited liability company, governmental authority or other organization. (3) Control includes actual working control in whatever manner exercised and
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-121A1_Rcd.pdf
- Internet through the International Bureau Filing System (IBFS). For information on filing your petition through IBFS, see Part 1, Subpart Y and the IBFS homepage at http://www.fcc.gov/ib. (c) The U.S. parent filing the petition for declaratory ruling required by paragraph (a)(1) of this section shall certify to the information contained in the petition in accordance with the provisions of § 1.16. (d) The following definitions shall apply to this section and §§ 1.991-1.994 of this part. (1) Individualrefers to a natural person as distinguished from a partnership, association, corporation, or other organization. (2) Entityincludes a partnership, association, estate, trust, corporation, limited liability company, governmental authority or other organization. (3) Controlincludes actual working control in whatever manner exercised and is not limited
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-151A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-151A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-151A1.txt
- compliance with Section 717(a)(5)(A) and section 14.31 of our new rules and be supported with an affidavit or declaration under penalty of perjury, signed and dated by the authorized officer of the company with personal knowledge of the representations provided in the company's certification, verifying the truth and accuracy of the information therein. All such declarations must comply with section 1.16 of our rules and be substantially in the form set forth therein. We also require the certification to identify the name and contact details of the person or persons within the company that are authorized to resolve complaints alleging violations of our accessibility rules and Sections 255, 716, and 718 of the Act, and the name and contact details of
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- ``FORF'' in block number 24A (payment type code). The Companies will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov and Kathy.Berthot@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Theresa Z. Cavanaugh at Terry.Cavanaugh@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov.
- http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-54A1.doc http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-54A1.pdf http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-11-54A1.txt
- at 6; Purple Comments (Sept. 13, 2010) at 14; Sorenson Comments (Sept. 13, 2010) at 21; SnapVRS Comments at 27-28. AT&T Comments at 14-15. AT&T Comments at 15. BISVRS Comments at 4; CSDVRS Comments at 29; PAHVRS Comments at 6; SnapVRS Comments at 27-28. CSDVRS Comments at 29; PAHVRS Comments at 6. SnapVRS Comments at 28. See, e.g., 47 C.F.R. §1.16. (c)(5)(iii)(C)(5). See ¶47, supra. . 2010 VRS NOI, 25 FCC Rcd at 8605-8606, ¶¶25-26. Id. at 8605, ¶25. Id. The accompanying Order explains that such call center functions, include call distribution, routing, call setup, mapping, call features, billing for compensation from the TRS Fund, and registration. See ¶56, supra. Id. at 8606, ¶26. Rules governing the current certification process are
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- Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Radio License Holding XI, LLC must also send electronic notification on the date said payment is made to Terry.Cavanaugh@fcc.gov, Anjali.Singh@fcc.gov, and Melissa.Marshall@fcc.gov. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement shall be mailed to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Terry.Cavanaugh@fcc.gov, Anjali.Singh@fcc.gov, and Melissa.Marshall@fcc.gov. The Commission will not
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- number 800-453-4220 in the carrier's records). (last visited Jan. 26, 2012). Citation from Kurt A. Schroeder, Deputy Chief, Telecommunications Consumers Division, Enforcement Bureau, File No. EB-07-TC-2584, to Collection Elements, ATTN: Tammy Pocknett, dated July 6, 2007. 47 U.S.C. § 503(b). 47 C.F.R. § 1.80. 47 U.S.C. § 227(b)(1)(C). 47 C.F.R. § 64.1200(a)(3). 47 C.F.R. § 1.80. 47 C.F.R. §§ 1.80(f)(3), 1.16. (...continued from previous page) (continued....) Federal Communications Commission FCC 12-23 Federal Communications Commission FCC 12-23 kd} ó & @ Z t Ž (c) Ã Þ 'I'z'"'Ü( 1J1‚1º1ò2*2c2›2Ô3 Þ¢ß)߯à6à½áDáÌâSâÛãcãëäsäüå„æ (R)áX jóýCâ5äJ œü½x §ƒ\m·Å3ycí " Ùtm(R)v•Ü[çrÛK„ åôÚå<1ðö û¯ï<Ì g,ŠF[a rUÜ ÐaY''•b¹'ŒƒŽOÔõ"uá ÈòÏ Ùnþ*i×hÑH\£Äw æ9=ºgæU tu 5 Êà (R)x$g -Ù?tm¯pÓ ûÌŒ@_``b¶Ö o,¾òG›òð ¾ ¨ÛÉ-[q ºüß/ -Œ.â6åW,Cm]¥›#x ``ªyÒ"ãÌÏ-6Ä6-à |²çnÆ Ù&ßl³ð ncÕw ]¿‰r
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- procedures. T-Mobile USA, Inc. must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov, Linda Nagel at Linda.Nagel@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement also should be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. The
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- delinquent balances. As discussed above in paragraph 2, debt collection procedures may include further administrative efforts both by the Commission and by the United States Treasury or, as appropriate, referral of the delinquent debt to the Department of Justice for enforced collection action. 47 C.F.R. § 1.1917. 47 U.S.C. § 503(b). 47 C.F.R. § 1.80. See 47 C.F.R. §§ 1.80(f)(3), 1.16. See 47 C.F.R. § 1.1914. (continued ...) Federal Communications Commission FCC 12-62 Federal Communications Commission FCC 12-62 $ Õ›K Y,œ Å7çðÎf·"êà ☕ cbJ õ:sâ$Å),àQg20pp¡Àf Âe``¯„ -` >\ ³ÒVÐÊÒþ5E8çVk+ÖœÆËÍ\8ðâ¼Æ0X4D)Ü!!ý ö?*|f¿vè „ä5 6?$Qìí g ÿÿ N M M N N
- http://transition.fcc.gov/Bureaus/Mass_Media/Notices/2001/fcc01329.pdf http://transition.fcc.gov/Bureaus/Mass_Media/Notices/2001/fcc01329.txt
- FM Classical Rockford, IL 150 Rockford IL Northern Illinois University 1991 0 0 0 B WYHY FM Oldies Rockford, IL 150Winnebago IL RadioWorks Inc 1971 May-99 2100 8.8 0.83 A WNTA AM Nws/Tlk/Old Rockford, IL 150 Rockford IL RadioWorks Inc 1953 Aug-99 500 4 0.53 B WXRX FM Clsc Rock Rockford, IL 150Belvidere IL RadioWorks Inc 1971 Aug-99 2600 9.4 1.16 A WGFB FM AC Rockford, IL 150 Rockton IL RadioWorks Inc 1963 Oct-99 1825 4.6 1.15 A Out of Market Stations (Home Market Listed) WLS AM News/Talk Chicago, IL 3 Chicago IL ABC Radio Incorporated 1924 Feb-96 18300 1.9 A WMVP AM Sports Chicago, IL 3 Chicago IL ABC Radio Incorporated 1926 Apr-99 8600 0 A WKIE FM CHR/Rhymc Chicago,
- http://transition.fcc.gov/Bureaus/OMD/News_Releases/2001/nrmd0106.pdf http://transition.fcc.gov/Bureaus/OMD/News_Releases/2001/nrmd0106.txt
- overnight delivery service other than U.S. Postal Service Express and Priority Mail to the Commission's headquarters; by 9:00 PM EST if filed by hand delivery at the Capitol Heights, Maryland location; or by 12:00 midnight EST if resubmitted electronically. All refilings pursuant to this paragraph shall be accompanied by a signed affidavit or a declaration pursuant to Commission rule section 1.16 stating that the previously filed pleading was timely filed in accordance with Commission rules, the date the pleading was originally sent to the Commission, and by what means. Covered Pleadings submitted up to 7 calendar days following the effective date of this order in a manner not consistent with its terms must be refiled in the same manner as Covered
- http://transition.fcc.gov/Bureaus/OMD/Orders/fcc01345.pdf http://transition.fcc.gov/Bureaus/OMD/Orders/fcc01345.txt
- Postal Service Express and Priority Mail to the Commission's headquarters, prior to 5:30 PM Eastern Time on the seventh calendar day following the effective date of this order. Three exceptions to these requirements are specified in paragraph 4 below. All refilings pursuant to this paragraph shall be accompanied by a signed affidavit or a declaration pursuant to Commission rule section 1.16 stating that the previously filed pleading was timely filed in accordance with Commission rules, the date the pleading was originally sent to the Commission, and by what means. Covered Pleadings submitted up to 7 calendar days following the effective date of this order in a manner not consistent with its terms must be refiled in the same manner as Covered
- http://transition.fcc.gov/Bureaus/Wireline_Competition/Orders/2002/fcc02118.pdf
- MR-1-02- 2000 Status Trouble 4.7 3.24 5.01 1.45 5.56 0.45 5.57 0.45 5.43 0.39 MR-1-03- 2000 Modify Trouble 5.86 6 6.02 8.03 5.9 8.62 5.67 0.46 6.24 NA a,b,c,d MR-1-04- 2000 Request Cancellation of Trouble 7 8.13 7.17 7.97 7.14 6.02 6.76 2.42 7.43 2.22 d MR-1-05- 2000 Trouble Report History (by TN/Circuit) 0.55 2.59 0.39 1.75 0.33 1.01 0.32 1.16 0.52 0.99 MR-1-06- 2000 Test Trouble (POTS Only)-RETAIL only 62.41 47.15 62.6 45.25 56.04 44.96 56.18 44 56.88 46.33 BILLING BI-1 - Timeliness of Daily Usage Feed BI-1-02-2030 % DUF in 4 Business Days 99.88 99.54 99.87 99.75 99.91 a,b BI-2 Timeliness of Carrier Bill BI-2-01-2030 Timeliness of Carrier Bill 98.46 98.78 99.09 99.32 95.54 BI-3 - Billing Accuracy
- http://transition.fcc.gov/Reports/fcc2008budget_complete.pdf
- to look at issues on the agenda for the WRC-07. In preparation for WRC-07, the WAC has produced over 40 recommendations for the Commission. The various conference agenda items have been initially assigned to the informal working groups as follows: Informal Working Groups (IWG) Agenda Items (Major WRC-07 Issues) IWG-1 Terrestrial and Space Science Services 1.2, 1.3, 1.5, 1.14, 1.16, & 1.20 IWG-2 Satellite Services including those related to High Altitude Platform Stations (HAPS) 1.6 (Resolution 415), 1.7, 1.8, 1.17, 1.18, 1.19, & 1.21) IWG-3 International Mobile Telephone (IMT-2000) & 2.5 GHz 1.4 & 1.9 IWG-4 Broadcasting and Amateur Services 1.6 (Resolution 414), 1.11, 1.13, 1.15, & 7.1 (Recommendation 952) IWG-5 Regulatory Issues 1.1, 1.0, 1.12,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-256485A1.html
- financial status. Any claim of inability to pay must specifically identify the basis for the claim by reference to the financial documentation submitted. 1.15. Requests for payment of the full amount of this Notice of Apparent Liability for Forfeiture under an installment plan should be sent to: Chief, Revenue and Receivable Operation Group, 445 12th Street, S.W., Washington, D.C. 20554.16 1.16. IT IS FURTHER ORDERED that this Notice of Apparent Liability for Forfeiture shall be sent, by Certified Mail, Return Receipt Requested, and regular mail, to Lazer Broadcasting Corporation, 2627 W. Florida Avenue, Suite 109, Hemet, CA 92545. FEDERAL COMMUNICATIONS COMMISSION William R. Zears Jr. District Director San Diego District Office Western Region Enforcement Bureau _________________________ 147 C.F.R. 11.35. 247 U.S.C.
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-260117A1.html
- petitioner submits: (1) federal tax returns for the most recent three-year period; (2) financial statements prepared according to generally accepted accounting practices (``GAAP''); or (3) some other reliable and objective documentation that accurately reflects the petitioner's current financial status. Any claim of inability to pay must specifically identify the basis for the claim by reference to the financial documentation submitted. 1.16. Requests for payment of the full amount of this Notice of Apparent Liability for Forfeiture under an installment plan should be sent to: Chief, Revenue and Receivable Operation Group, 445 12th Street, S.W., Washington, D.C. 20554.14 1.17. IT IS FURTHER ORDERED THAT this NOTICE OF APPARENT LIABILITY shall be sent, by Certified Mail, Return Receipt Requested to Farmworkers Educational Radio
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-262295A1.html
- referenced above. Payment by check or money order may be mailed to Federal Communications Commission, P.O. Box 358340, Pittsburgh, PA 15251-8340. Payment by overnight mail may be sent to Mellon Bank /LB 358340, 500 Ross Street, Room 1540670, Pittsburgh, PA 15251. Payment by wire transfer may be made to ABA Number 043000261, receiving bank Mellon Bank, and account number 911-6106 1.16. The response, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, California 92111 and must include the NAL/Acct. No. referenced above. 17. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits: (1)
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-263779A1.html
- referenced above. Payment by check or money order may be mailed to Federal Communications Commission, P.O. Box 358340, Pittsburgh, PA 15251-8340. Payment by overnight mail may be sent to Mellon Bank /LB 358340, 500 Ross Street, Room 1540670, Pittsburgh, PA 15251. Payment by wire transfer may be made to ABA Number 043000261, receiving bank Mellon Bank, and account number 911-6106. 1.16. The response, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., Suite 660, Cerritos, California 90703 and must include the NAL/Acct. No. referenced above. 17. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits: (1) federal
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- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Cablevision to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cablevision with personal knowledge of the representations provided in Cablevision's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295455A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295456A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295457A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295458A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Forever Broadcasting LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Forever Broadcasting LLC with personal knowledge of the representations provided in Forever Broadcasting LLC's response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295595A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Believe & Achieve Family and Educational Center, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Believe & Achieve Family and Educational Center, Inc. with personal knowledge of the representations provided in Believe & Achieve Family and Educational
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295629A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CAPSTAR to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CAPSTAR with personal knowledge of the representations provided in CAPSTAR's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
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- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Mount San Antonio Community College District to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Mount San Antonio Community College District with personal knowledge of the representations provided in Mount San Antonio Community College District's response, verifying the truth
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295635A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295637A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CCR to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CCR with personal knowledge of the representations provided in CCR's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295639A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Palomar Community College District to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Palomar Community College District with personal knowledge of the representations provided in Palomar Community College District 's response, verifying the truth and accuracy of the information
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295640A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct SDCCD to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of SDCCD with personal knowledge of the representations provided in SDCCD's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295830A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Weber to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Weber with personal knowledge of the representations provided in Weber's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295831A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Beacon to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Beacon with personal knowledge of the representations provided in Beacon's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295833A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Mountain Broadcasting LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Mountain Broadcasting LLC with personal knowledge of the representations provided in Mountain Broadcasting LLC's response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295906A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Union Free to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Union Free with personal knowledge of the representations provided in Union Free's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295908A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct L-COM, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Farm & Home Broadcasting Company with personal knowledge of the representations provided in L-COM, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295909A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct L-Com Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of L-Com Inc. with personal knowledge of the representations provided in L-Com Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-295911A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Stone/Collins Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Stone/Collins Communications, Inc. with personal knowledge of the representations provided in Stone/Collins Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-296413A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Kickin' Country Broadcasting, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Stone/Collins Communications, Inc. with personal knowledge of the representations provided in Stone/Collins Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-296418A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Radio Disney Group, LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Radio Disney Group, LLC, with personal knowledge of the representations provided in Radio Disney Group, LLC response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-296419A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Cactus Radio, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cactus Radio, Inc., with personal knowledge of the representations provided in Cactus Radio, Inc. response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-296581A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct New Millenium to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of New Millenium with personal knowledge of the representations provided in New Millenium's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-296712A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Clarion County Broadcasting Corp to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Clarion County Broadcasting Corp with personal knowledge of the representations provided in Clarion County Broadcasting Corp's response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-296842A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Universal Broadcasting of New York, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Universal Broadcasting of New York, Inc. with personal knowledge of the representations provided in Universal Broadcasting of New York, Inc.'s response, verifying the truth
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-296847A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct San Luis Obispo Broadcasting to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of San Luis Obispo Broadcasting with personal knowledge of the representations provided in San Luis Obispo Broadcasting response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-297322A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hispanic Target Media, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hispanic Target Media, Inc., with personal knowledge of the representations provided in Hispanic Target Media, Inc., response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-298186A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct The Allen Broadcasting Corp., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of The Allen Broadcasting Corp., with personal knowledge of the representations provided in The Allen Broadcasting Corp.'s response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-298343A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct WLFM,LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of WLFM,LLC with personal knowledge of the representations provided in WLFM,LLC's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-298527A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Seton Hall University to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Seton Hall University with personal knowledge of the representations provided in Seton Hall University's response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-298637A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct RK Media Group, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RK Media Group, with personal knowledge of the representations provided in RK Media Group's response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-298638A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Broadcasting Corporation of America, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Broadcasting Corporation of America, with personal knowledge of the representations provided in Broadcasting Corporation of America's response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-299106A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CBS Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CBS Radio, with personal knowledge of the representations provided in CBS Radio Stations, Inc. response, verifying the truth and accuracy of the information therein, and confirming that all
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-299107A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CBS Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CBS Radio, with personal knowledge of the representations provided in CBS Radio Stations, Inc. response, verifying the truth and accuracy of the information therein, and confirming that all
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-299108A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hi-Favor, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hi-Favor, with personal knowledge of the representations provided in Hi-Favor's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-299110A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Burbach of DE, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Burbach of DE, LLC with personal knowledge of the representations provided in Burbach of DE, LLC response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-299114A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct New York University to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of New York University with personal knowledge of the representations provided in New York University's response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-299115A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct 6 Johnson Road Licenses, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of 6 Johnson Road Licenses, Inc. with personal knowledge of the representations provided in 6 Johnson Road Licenses, Inc.'s response, verifying the truth and accuracy of
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-299874A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Ondas, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ondas, with personal knowledge of the representations provided in Ondas De Vida Network, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that all of
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-300854A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct One Love Outreach, Inc, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of One Love Outreach, Inc, with personal knowledge of the representations provided in One Love Outreach, Inc's response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-300922A1.html
- facts and circumstances, (ii) must fully explain each violation, including action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Word Power, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Word Power, Inc. with personal knowledge of the representations provided in Word Power, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-301056A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices.4 4. In accordance with Section 1.16 of the Commission's Rules, we direct MPS Media of Tennessee, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of MPS Media of Tennessee, LLC with personal knowledge of the representations provided in MPS Media of Tennessee, LLC response, verifying the truth and accuracy of
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-301057A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct New Age Media of Tennessee License, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of New Age Media of Tennessee License, LLC with personal knowledge of the representations provided in New Age Media of Tennessee License, LLC response,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-301059A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct SMCCD to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of SMCCD with personal knowledge of the representations provided in SMCCD's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-301925A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hi-Favor, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Payson Classical, with personal knowledge of the representations provided in Payson Classical's response, verifying the truth and accuracy of the information therein, and confirming that all of the information
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-301926A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Cable One, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cable One, with personal knowledge of the representations provided in Cable One response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-301927A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Circle S, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Circle S, with personal knowledge of the representations provided in Circle S response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-302029A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Ho'ona'auao Community TV, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ho'ona'auao Community TV, Inc., with personal knowledge of the representations provided in Ho'ona'auao Community TV, Inc.'s response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-302030A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Premier Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Premier Radio, with personal knowledge of the representations provided in Premier Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-302530A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Holiday to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Holiday with personal knowledge of the representations provided in Holiday's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-302531A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct KSOP to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KSOP with personal knowledge of the representations provided in KSOP response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-302946A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hero to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hero with personal knowledge of the representations provided in Hero's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303042A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Iron River TV to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Iron River TV with personal knowledge of the representations provided in Iron River TV response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303222A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Heartland to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Heartland with personal knowledge of the representations provided in Heartland's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303695A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Oasis to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Oasis with personal knowledge of the representations provided in Oasis' response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303811A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CFCD to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CFCD with personal knowledge of the representations provided in CFCD's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303812A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Davidson Media Station WTMT licensee, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Davidson Media Station WTMT Licensee, LLC with personal knowledge of the representations provided in Davidson Media Station WTMT Licensee, LLC's response, verifying the truth
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303813A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Davidson Media Station to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Davidson Media Station with personal knowledge of the representations provided in Davidson Media Station's response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-303989A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bird to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bird with personal knowledge of the representations provided in Bird's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-304202A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Erie Christian Broadcasting, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Erie Christian Broadcasting, Inc. with personal knowledge of the representations provided in Erie Christian Broadcasting, Inc.'s response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-304628A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Radio Hawaii, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Radio Hawaii, Inc., with personal knowledge of the representations provided in Radio Hawaii, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-305116A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Clarion to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Clarion with personal knowledge of the representations provided in Clarion's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-305159A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Vanguard Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Vanguard Radio, with personal knowledge of the representations provided in Vanguard Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-305160A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Vanguard Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Vanguard Radio, with personal knowledge of the representations provided in Vanguard Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-305410A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Enrico S. Brancadora to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of AM Station WIBG with personal knowledge of the representations provided in Enrico S. Brancadora's response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-306449A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Langer Broadcasting Outdoors, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of AM Station WFYL with personal knowledge of the representations provided in Langer Broadcasting Outdoors, Inc.'s response, verifying the truth and accuracy of the information therein, and
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-306474A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hearst Stations Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hearst Stations Inc., with personal knowledge of the representations provided in Hearst Stations Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-306901A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Louisville TV Licenses, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Louisville TV Licenses, LLC with personal knowledge of the representations provided in Louisville TV Licenses, LLC response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-307477A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct ICS to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of ICS with personal knowledge of the representations provided in ICS response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-307999A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Charles R. Meeker, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the licensee, with personal knowledge of the representations provided in Charles R. Meeker's response, verifying the truth and accuracy of the information therein, and confirming that all
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308322A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308323A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308324A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308325A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308326A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308421A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus' response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308425A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus' response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308426A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus'response, verifying the truth and accuracy of the information therein, and confirming that all of the information
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308427A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus'response, verifying the truth and accuracy of the information therein, and confirming that all of the information
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308940A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Clear Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of FM Station WVLT with personal knowledge of the representations provided in Clear Communication Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-308942A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Lesea Broadcasting of Hawaii, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Lesea Broadcasting of Hawaii, Inc., with personal knowledge of the representations provided in Lesea Broadcasting of Hawaii, Inc.'s response, verifying the truth and accuracy of
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309208A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Eastern Utah Broadcasting Company to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Eastern Utah Broadcasting Company with personal knowledge of the representations provided in Eastern Utah Broadcasting Company response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309310A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Verizon to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Verizon with personal knowledge of the representations provided in Verizon's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309449A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Valley Christian Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Valley Christian Radio Corp. with personal knowledge of the representations provided in Valley Christian Radio Corp.'s response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309786A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Knology f the Plains, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Knology with personal knowledge of the representations provided in Knology's response, verifying the truth and accuracy of the information therein, and confirming that all of
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309787A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Polynesian Broadcasting, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Polynesian Broadcasting, Inc., with personal knowledge of the representations provided in Polynesian Broadcasting, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309788A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309789A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309790A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309791A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309794A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct UNM, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of UNM, with personal knowledge of the representations provided in UNM's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309795A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Vanguard Media, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Vanguard Media, with personal knowledge of the representations provided in Vanguard Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309796A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Lifetalk, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Lifetalk, with personal knowledge of the representations provided in Lifetalk's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309797A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct El Camino, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of El Camino, with personal knowledge of the representations provided in El Camino's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309798A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct SFCC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of SFCC, with personal knowledge of the representations provided in SFCC's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309799A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct La Voz, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of La Voz, with personal knowledge of the representations provided in La Voz's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309803A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct JMK Communications, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of JMK Communications, Inc., with personal knowledge of the representations provided in JMK Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-309811A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Comcast to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Comcast, with personal knowledge of the representations provided in Comcast's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310098A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Agpal to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Agpal Broadcasting Inc. with personal knowledge of the representations provided in Agpal's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310099A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Agpal to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Agpal Broadcasting Inc. with personal knowledge of the representations provided in Agpal's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310100A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Eureka to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Eureka Broadcasting Co., Inc. with personal knowledge of the representations provided in the Eureka's response, verifying the truth and accuracy of the information therein, and confirming that all
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310101A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Eureka to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Eureka Broadcasting Co., Inc. with personal knowledge of the representations provided in the Eureka's response, verifying the truth and accuracy of the information therein, and confirming that all
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310311A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Ohana Broadcast Company LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ohana Broadcast Company LLC, with personal knowledge of the representations provided in Ohana Broadcast Company LLC's response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310312A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Capstar TX LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Capstar TX LLC, with personal knowledge of the representations provided in Capstar TX LLC's response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310313A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Ohana Broadcast Company LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ohana Broadcast Company LLC, with personal knowledge of the representations provided in Ohana Broadcast Company LLC's response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310620A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Mediacom, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Mediacom with personal knowledge of the representations provided in Mediacom's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310731A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Lake Michigan Broadcasting, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Lake Michigan Broadcasting, Inc. with personal knowledge of the representations provided in Lake Michigan Broadcasting, Inc.'s response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310868A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct HTM, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of HTM, with personal knowledge of the representations provided in HTM's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310869A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Media Enterprises, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Media Enterprises, Inc. with personal knowledge of the representations provided in Media Enterprises, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310870A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Oasis to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Oasis with personal knowledge of the representations provided in Oasis's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-310970A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Crystal Coast Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Crystal Coast Communications, Inc. with personal knowledge of the representations provided in Crystal Coast Communications, Inc.'s response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-311568A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Keyhole to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Keyhole with personal knowledge of the representations provided in Keyhole response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-311569A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Keyhole to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Keyhole with personal knowledge of the representations provided in Keyhole response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-311695A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's rules, we direct Cantroair to support its response to this Notice with a statement under penalty of perjury, signed and dated by an authorized officer of Cantroair with personal knowledge of the representations provided in Cantroair's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by this Notice
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-311710A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 5. In accordance with Section 1.16 of the Commission's Rules, we direct Susan L. Uecker, Receiver, to support her response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by Susan L. Uecker, Receiver, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by this Notice which is in the licensee's possession,
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-311713A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Cequel to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cequel with personal knowledge of the representations provided in Cequel's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-311714A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CALNEVA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CALNEVA with personal knowledge of the representations provided in CALNEVA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-311715A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct KM Radio to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KM Radio with personal knowledge of the representations provided in KM Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312038A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Calvary Chapel to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Calvary Chapel with personal knowledge of the representations provided in Calvary Chapel response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312039A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Calvary Chapel to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Calvary Chapel with personal knowledge of the representations provided in Calvary Chapel response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312040A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312041A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312042A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312043A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312044A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312045A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Freisland to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Freisland with personal knowledge of the representations provided in Freisland's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312046A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Freisland to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Freisland with personal knowledge of the representations provided in Freisland's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312556A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's rules, we direct Wings Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Wings Communications, Inc. with personal knowledge of the representations provided in Wings Communications, Inc. response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312655A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct White Park to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of White Park with personal knowledge of the representations provided in White Park's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312656A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct White Park to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of White Park with personal knowledge of the representations provided in White Park's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312657A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct White Park to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of White Park with personal knowledge of the representations provided in White Park's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-312908A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Adelman Broadcasting, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Adelman Broadcasting, Inc. with personal knowledge of the representations provided in Adelman Broadcasting, Inc. response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-313072A1.html
- upon any change in height or change in ownership information." Although antenna structure number 1221656 was not transferred to another entity, its owner changed its legal name, and, at the time of inspection, the Antenna Structure Registration Database still listed Day Star Communications' previous name. 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Sections 1.16 and 1.89 of the Commission's rules, Day Star Communications must submit a written statement concerning this matter within twenty (20) calendar days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and should include a time line for completion of pending
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-313467A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct A&J to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of A&J with personal knowledge of the representations provided in A&J's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-313468A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Gulf-CA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Gulf-CA with personal knowledge of the representations provided in Gulf-CA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-313584A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct RMB to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RMB with personal knowledge of the representations provided in RMB's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-313585A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct RMB to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RMB with personal knowledge of the representations provided in RMB's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-313586A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct RMB to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RMB with personal knowledge of the representations provided in RMB's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-313587A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Gulf-CA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Gulf-CA with personal knowledge of the representations provided in Gulf-CA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-313588A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Gulf-CA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Gulf-CA with personal knowledge of the representations provided in Gulf-CA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-313997A1.html
- Registration Number must be weather-resistant and of sufficient size to be easily seen at the base of the antenna structure." At the time of inspection, there was no Antenna Structure Registration Number posted on the fence or nearby the base of antenna structure number 1030576. 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Sections 1.16 and 1.89 of the Commission's rules, In Site Towers must submit a written statement concerning this matter within twenty (20) calendar days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and should include a time line for completion of pending
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-314039A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct KHLS, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KHLS, Inc., with personal knowledge of the representations provided in KHLS, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-314040A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Salem Media of Hawaii, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Salem Media of Hawaii, Inc., with personal knowledge of the representations provided in Salem Media of Hawaii, Inc.'s response, verifying the truth and accuracy of
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-314041A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Trinity Broadcasting Network, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Trinity Broadcasting Network, with personal knowledge of the representations provided in Trinity Broadcasting Network's response, verifying the truth and accuracy of the information therein, and confirming that
- http://transition.fcc.gov/eb/FieldNotices/2003/DOC-314042A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hawaii Public Television Foundation, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hawaii Public Television Foundation, with personal knowledge of the representations provided in Hawaii Public Television Foundation's response, verifying the truth and accuracy of the information therein,
- http://transition.fcc.gov/eb/Orders/2002/DOC-240879A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240880A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240913A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240923A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240929A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240934A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240937A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240950A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240953A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240954A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240957A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240958A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240972A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240973A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240974A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240975A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-240976A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241002A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241003A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241004A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241007A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241011A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241012A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241013A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241014A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241017A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241020A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241021A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241023A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241024A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241026A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241034A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241035A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241040A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241042A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241043A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241044A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241045A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241046A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241047A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241050A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241054A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241069A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241070A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241071A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241072A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241169A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241172A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241173A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241174A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241175A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241176A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241177A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241178A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241179A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241180A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241181A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241182A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241183A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241184A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241185A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241186A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241187A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241188A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241205A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241230A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241316A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/DOC-241319A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://transition.fcc.gov/eb/Orders/2002/FCC-02-132A1.html
- If confidential treatment is sought, redacted versions of the reports still must be served as required by the Consent Decree. 5 Cingular should serve the Executive Director of each organization as well as its counsel, to the extent such counsel has been identified in the record in response to Cingular's request for relief. 6 See www.fcc.gov/e911. 7 See 47 C.F.R. 1.16. As required by Section 20.18(h)(1) of the Commission's Rules, Cingular's network- based technology for delivering E911 Phase II location information must meet the following standards for location accuracy: 100 meters for 67 percent of calls, 300 meters for 95 percent of calls. Cingular will derive its network- wide location accuracy by selecting the 67 percent and 95 percent accuracy numbers
- http://transition.fcc.gov/eb/Orders/2002/FCC-02-174A1.html
- AT&T Wireless as described in this Consent Decree pertains only to AT&T Wireless's TDMA and TDMA/AMPS network. 17 AT&T Wireless should serve the Executive Director of each organization as well as its counsel, to the extent such counsel has been identified in the record in response to AT&T Wireless's request for relief. 18 See e911 >. 19 See 47 C.F.R. 1.16. As required by Section 20.18(h)(1) of the Commission's Rules, AT&T Wireless's network-based technology for delivering E911 Phase II location information must meet the following standards for location accuracy: 100 meters for 67 percent of calls, 300 meters for 95 percent of calls. AT&T Wireless will derive its network-wide location accuracy by selecting the 67 percent and 95 percent accuracy numbers
- http://transition.fcc.gov/eb/Orders/2002/FCC-02-283A1.html
- conditions imposed on AT&T Wireless as described in this Consent Decree pertains only to AT&T Wireless's GSM network. 13 AT&T Wireless should serve the Executive Director of each organization as well as its counsel, to the extent such counsel has been identified in the record in response to AT&T Wireless's request for relief. 14 See e911>. 15 See 47 CFR 1.16. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-02-283A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-02-283A1.doc
- http://transition.fcc.gov/eb/Orders/2003/DA-03-2614A1.html
- return receipt requested, to Billy R. Autry, 145 Memphis Street, Holly Springs, Mississippi 38635. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 73.49, 73.1745. 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332620012 (Enf. Bur., New Orleans Office, released March 17, 2003). 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2614A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2614A1.doc
- http://transition.fcc.gov/eb/Orders/2003/DA-03-2615A1.html
- Best Country Broadcasting, LLC, P.O. Box 280, Bogalusa, Louisiana 70429-0280. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau - Unhandled Picture - _________________________ 1 47 C.F.R. 17.4(a). 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332620009 (Enf. Bur., New Orleans Office, released February 19, 2003). 3 47 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2615A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2615A1.doc
- http://transition.fcc.gov/eb/Orders/2003/DA-03-2741A1.html
- 33162 and 1000 N. Hiatus Road, Suite 110, Pembroke Pines, Florida 33026. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 1.903(a), 90.403(f) and 90.425(a). 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332600001 (Enf. Bur., Miami Office, released March 18, 2003). 3 47 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth herein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2741A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2741A1.doc
- http://transition.fcc.gov/eb/Orders/2003/DA-03-3320A1.html
- certified mail return receipt requested, to Davies Communications Inc., P.O. Box 1069, McPherson Kansas 67460. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 73.3526(a)(2). 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332560020 (Enf. Bur., Kansas City Office, released April 7, 2003). 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3320A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3320A1.doc
- http://transition.fcc.gov/eb/Orders/2003/DA-03-3339A1.html
- and certified mail return receipt requested, to Chatterbox, Inc., 1348 Sunset Drive, Grenada, Mississippi 38901. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 11.61. 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332620011 (Enf. Bur., New Orleans Office, released April 18, 2003). 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3339A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3339A1.doc
- http://transition.fcc.gov/eb/Orders/2003/DA-03-3410A1.html
- and certified mail return receipt requested, to Radio Centre Inc., P.O. Box 602, Centre, Alabama 35960-0602. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 73.49. 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332480021 (Enf. Bur., Atlanta Office, released April 15, 2003). 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3410A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3410A1.doc
- http://transition.fcc.gov/eb/Orders/2003/FCC-03-129A1.html
- by the cell sites, and the number of cell sites associated with each PSAP. For example, it could report that Phase II technology has been deployed to County A PSAP, covering 300 cell sites; Locality B PSAP, covering 600 cell sites, and Municipality C PSAP, covering 100 cell sites, for a total of 1,000 cell sites. 15 See 47 CFR 1.16. 16 City of Richardson Reconsideration Order at para. 16. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-129A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-129A1.doc
- http://transition.fcc.gov/eb/Orders/2003/FCC-03-172A1.html
- by the cell sites, and the number of cell sites associated with each PSAP. For example, it could report that Phase II technology has been deployed to County A PSAP, covering 300 cell sites; Locality B PSAP, covering 600 cell sites, and Municipality C PSAP, covering 100 cell sites, for a total of 1,000 cell sites. 16 See 47 CFR 1.16. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-172A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-172A1.doc
- http://transition.fcc.gov/eb/Orders/2004/DA-04-1016A1.html
- Kelly Avenue, Blountstown, Florida 32424 and to 612 North Jefferson Street, Perry Florida 32347. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 11.35, 73.49, 73.3526(c). 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200432700006 (Enf. Bur., Tampa Office, released December 16, 2003). 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1016A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1016A1.doc
- http://transition.fcc.gov/eb/Orders/2004/DA-04-1091A1.html
- C.F.R. 90.403(a). 20 Id. 21 47 C.F.R. 90.403(b). 22 Indeed, we note that Two-Way's principal apparently prepared the application on behalf of NOCC. Thus, any finding of misrepresentation or lack of candor by NOCC might also raise questions as to Two-Way's qualifications to be a Commission licensee. 23 47 U.S.C. 308(b). 24 Such affidavit or declaration should comply with Section 1.16 of Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1091A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1091A1.doc
- http://transition.fcc.gov/eb/Orders/2004/DA-04-1296A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 3-C366 Washington, DC, 20554. Include the file number, EB-04-TC-078, in any correspondence. Under the Privacy Act
- http://transition.fcc.gov/eb/Orders/2004/DA-04-1333A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 3-C366 Washington, DC, 20554. Include the file number, EB-04-TC-079, in any correspondence. Under the Privacy Act
- http://transition.fcc.gov/eb/Orders/2004/DA-04-1577A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 3-C366 Washington, DC, 20554 Include the file number, EB-04-TC-098, in any correspondence. Under the Privacy Act
- http://transition.fcc.gov/eb/Orders/2004/DA-04-1619A1.html
- requested, to Vector Communications, Inc. d/b/a WCFI, Inc., 3621 NW 10th Street, Ocala, Florida 34475. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 17.51(a). 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200432700005 (Enf. Bur., Tampa Office, released December 16, 2003). 3 47 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1619A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1619A1.doc
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-115, in any correspondence. Under the Privacy Act
- http://transition.fcc.gov/eb/Orders/2004/DA-04-3245A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-138, in any correspondence. Under the Privacy Act
- http://transition.fcc.gov/eb/Orders/2004/DA-04-3831A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-140, in any correspondence. Under the Privacy Act
- http://transition.fcc.gov/eb/Orders/2004/DA-04-3832A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-137, in any correspondence. Under the Privacy Act
- http://transition.fcc.gov/eb/Orders/2004/DA-04-3866A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-162, in any correspondence. Under the Privacy Act
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- Ficka, III or Companies to, the entities or individuals listed above in 2(a)-(p). Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your company, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445-12th Street, S.W., Rm. 3-C366 Washington, D.C. 20554 Reference EB-04-TC-052 when corresponding with the Commission. Under the Privacy Act of 1974,
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- H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 73.1125. 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332500011 (Enf. Bur., Dallas Office, released December 19, 2003). An Erratum was released on January 9, 2004, which corrected the NAL to indicate that the NAL/Acct. No. is 200432500002. 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 1.80. 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-923A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-923A1.doc
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- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-05-TC-046, in any correspondence. Under the Privacy Act
- http://transition.fcc.gov/eb/Orders/2005/DA-05-2679A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-040, in any correspondence. Under the Privacy Act
- http://transition.fcc.gov/eb/Orders/2005/DA-05-2785A1.html
- or knowledge have been produced. If multiple Fax Marketing employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of Fax Marketing noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. See 18 U.S.C. 1001; see also 47 C.F.R. 1.17. Failure to respond appropriately to a Bureau LOI constitutes a violation
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- cards.''7 Contrary to the directions of the LOI, however, Blackstone did not provide financial statements, tax returns, or specific identification of its alleged non-telecommunications products, services and associated revenue. In addition, the certification Blackstone supplied to support its response did not contain a statement that it was made under penalty of perjury and thus failed to conform to Commission Rule 1.16, 47 C.F.R. 1.16, as required in the LOI.8 5. As a result of Blackstone's inadequate and incomplete response, the Bureau was compelled to send a second LOI to Blackstone on June 28, 2005, requesting additional information that would permit the Bureau to examine Blackstone's claim, directing it to provide complete responses to inquiries in the original LOI, and agreeing to
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- 13, 2004 (``Carrera Response''). Carrera did not respond fully to LOI Inquiry Numbers 8, 9, 10, and 12 regarding various regulatory program payments. In addition, the affidavit Carrera supplied to support its response did not contain a statement that it was made under penalty of perjury, as specifically required in the LOI, and thus failed to conform to Commission Rule 1.16, 47 C.F.R. 1.16. Moreover, in response to LOI Inquiry Number 5, Carrera did not provide a specific response setting forth the required revenue information. 32Letters from Hillary S. DeNigro, Deputy Chief, Investigations and Hearings Division, Enforcement Bureau, to Joann P. Bennett, Carrera, dated November 5, 2004 and January 21, 2005. Carrera's receipt of the letters was confirmed by return of
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- custody, control or knowledge have been produced. If multiple Intercoast employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of Intercoast noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. S 1.16, and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. See 18 U.S.C. S 1001; see also 47 C.F.R. S 1.17. Failure to respond appropriately to a Bureau LOI
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- intended to appear responsive to a portion of the October 28, 2004 LOI. Subsequent investigation showed, however, that Unicom never actually filed this worksheet with USAC. See Letter from Hillary DeNigro, Deputy Chief, Investigations and Hearings Division, Enforcement Bureau, FCC, to Charles D. D'Ascoli, Managing Partner, Unicom Communications, L.L.C., dated June 28, 2005 ("June 28, 2005 Letter"). 47 C.F.R. S 1.16. 47 U.S.C. S 503(b)(1)(B); 47 C.F.R. S 1.80(a)(1); see also 47 U.S.C. S 503(b)(1)(D) (forfeitures for violation of 14 U.S.C. S 1464). 47 U.S.C. S 312(f)(1). H.R. Rep. No. 97-765, 97^th Cong. 2d Sess. 51 (1982). See, e.g., Application for Review of Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388, P 5 (1991) ("Southern California
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- by an authorized officer of the Company with personal knowledge of the representations therein, verifying that Covad has complied with the terms of this Consent Decree. The declaration shall be submitted to Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. 13. Within five business days after the Adopting Order becomes a Final Order, Covad agrees that it shall make a voluntary contribution to the United States Treasury in the amount of $35,000. The payment shall be made by check or similar instrument, payable
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- Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission to P.J. Moody, Controller, Communication Options, Inc. (Aug. 28, 2006). See Letter from P.J. Moody, Controller, Communication Options, Inc. to David Janas, Special Counsel, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, dated August 30, 2006, ("LOI Response"). LOI at 9 (directing COI to comply with 47 C.F.R. S: 1.16). 47 U.S.C. S: 503(b)(1)(B); 47 C.F.R. S: 1.80(a)(1); see also 47 U.S.C. S: 503(b)(1)(D) (forfeitures for violation of 14 U.S.C. S: 1464). 47 U.S.C. S: 312(f)(1). H.R. Rep. No. 97-765, 97th Cong. 2d Sess. 51 (1982). See, e.g., Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388 (1991) ("Southern California Broadcasting Co."). See, e.g., Callais Cablevision,
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- Annual Report. Twelve (12) months and twenty-four (24) months after the Effective Date, TELUS shall submit an affidavit or declaration under penalty of perjury, signed and dated by an authorized representative of TELUS with personal knowledge of the representations therein, verifying that TELUS has complied with the terms of this Consent Decree. The declaration or affidavit must comply with Section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein The declaration shall be submitted to Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. g. Termination. TELUS' obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. 15. The Commission agrees
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- and dated by an authorized officer of Verizon with personal knowledge of the representations therein, verifying that Verizon has complied with the terms of this Consent Decree. The declaration shall be submitted to Kathryn S. Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with Section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. D. Termination. The provisions of this paragraph shall remain in effect for two (2) years from the Effective Date. 13. The Commission agrees that, in the absence of new material evidence, it will not institute, on its own motion or in response to
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- Enforcement Division Enforcement Bureau Letter from Kathryn S.Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, to Mr. Anthony Gallagher, President, Digital Antenna, Inc. (November 5, 2007). Response from Anthony Gallagher, President, Digital Antenna, Inc., to Kathryn Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau , Federal Communications Commission (November 6, 2007) ("response"). Id. at 2. Id. 47 C.F.R. S: 1.16. Letter from Kathryn S. Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, to Mr. Anthony Gallagher, President, Digital Antenna, Inc. (February 4, 2008). Response from Anthony Gallagher, President, Digital Antenna, Inc., to Kathryn Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission (February 15, 2008) ("second LOI response"). Although the second LOI response was dated February 15,
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- signed and dated by an authorized officer of USWDI with personal knowledge of the representations therein, verifying that USWDI has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. g. Termination. USWDI's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. 19. The Bureau agrees that in the absence of new material evidence, it will not use the facts developed in this Investigation through the Effective Date, or
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- David Janas, Special Counsel, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, dated August 23, 2006. Letter from Trent Harkrader, Acting Deputy Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission to P.J. Moody, Controller, Communication Options, Inc. (Aug. 28, 2006). See LOI Response, supra note 4. LOI at 9 (directing COI to comply with 47 C.F.R. S: 1.16). COI NAL, supra note 3. Id. at P: 24. 47 U.S.C. S: 503(b)(1)(B). 47 U.S.C. S: 312(f)(1). H.R. Rep. No. 97-765, 97th Cong. 2d Sess. 51 (1982). See, e.g., Application for Review of Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388, P: 5 (1991) ("Southern California Broadcasting Co."). See, e.g., Callais Cablevision, Inc., Grand Isle,
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- and dated by an authorized officer of T-Mobile with personal knowledge of the representations therein, verifying that T-Mobile has complied with the terms of this Consent Decree. The affidavit or declaration shall be submitted to the Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The affidavit or declaration must comply with Section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. c. Termination. The provisions of this paragraph shall remain in effect for two (2) years from the Effective Date. 11. Section 208 Complaints; Subsequent Investigations. Nothing in this Consent Decree shall prevent the Commission or its delegated authority from adjudicating any formal or
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- signed and dated by an authorized officer of ARINC with personal knowledge of the representations therein, verifying that ARINC has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. e. Termination. ARINC's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. 11. Voluntary Contribution. ARINC agrees that it will make a voluntary contribution to the United States Treasury in the amount of Fifteen Thousand Dollars ($15,000.00). The payment
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- signed and dated by an authorized officer of Hughes with personal knowledge of the representations therein, verifying that Hughes has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. e. Termination. Hughes's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. 12. Voluntary Contribution. Hughes agrees that it will make a voluntary contribution to the United States Treasury in the amount of twelve thousand dollars ($12,000.00). The payment
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- IT IS FURTHER ORDERED that within thirty days of the release of this NAL that Indianapolis Community Television Inc. SHALL FILE a written statement concerning the steps that it has taken to come into compliance with the staffing requirements for its main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. 15. Payment of the forfeiture must be made by check
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- and Sections 2.803 and 15.205(a) of the Commission's Rules ("Rules"). As explained below, future violations of the Commission's rules in this regard may subject your company to monetary forfeitures. In March 2008, the Spectrum Enforcement Division of the Enforcement Bureau ("Division") received a complaint alleging that Spy Camera was marketing unauthorized wireless video transmitters that operate in the 1.08, 1.12, 1.16 and 1.2 GHz bands. We initiated an investigation and on May 13, 2008, we sent a Letter of Inquiry ("LOI") to Spy Camera. In your June 9, 2008 response to our LOI, you admit marketing wireless video transmitters beginning in early 2006 on your web site, www.spycameras.com, to end users and resellers. You admit that these wireless video transmitters all
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- with any questions regarding payment procedures. CruiseEmail will also send electronic notification to Ricardo Durham at Ricardo.Durham@fcc.gov and Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. 13.
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- was submitted; and (3) is not aware of any instances of non-compliance. If the Compliance Official is not able to so certify, he shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Commission's rules, and be substantially in the form set forth therein. (e) Self-Disclosure. QCC will report any occurrences of non-compliance with the terms and conditions of this Consent Decree, with section 276 of the Act, and with the Commission's rules and regulations regarding the obligations of telecommunications service providers to transmit payphone-specific coding digits, within 60 days after
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- with any questions regarding payment procedures. Wi-Ex will also send electronic notification on the date said payment is made to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 10. The
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- with any questions regarding payment procedures. Cellphone-Mate will also send electronic notification on the date said payment is made to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 10. The
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- any questions regarding payment procedures. Alpheus will also send electronic notification on the date said payment is made to Kathryn Berthot at Kathy.Berthot@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The response should also be e-mailed to Kathryn Berthot at Kathy.Berthot@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. 18.
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- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Verizon will also send electronic notification on the date said payment is made to Jennifer.Burton@fcc.gov and JoAnn.Lucanik@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Jennifer Burton at Jennifer.Burton@fcc.gov. 18. The
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- ensure compliance with the terms and conditions of this Consent Decree and with section 20.19 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Huawei, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Myers shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim
- http://transition.fcc.gov/eb/Orders/2010/DA-10-1321A1.html
- ensure compliance with the terms and conditions of this Consent Decree and with section 20.19 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Qomo, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- procedures intended to ensure compliance with the terms and conditions of this Consent Decree, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) Hearst has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Hearst, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- conditions of this Consent Decree, and with Sections 2.803(a) and 87.199(f) of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that Kannad has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) that Kannad is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Kannad, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- arinquiries@fcc.gov with any questions regarding payment procedures. Oklahoma Independent RSA 5 Partnership will also send electronic notification on the date said payment is made to Kathy Berthot at Kathy.Berthot@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Kathy Berthot at Kathy.Berthot@fcc.gov. 18. The Commission will not consider reducing
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- questions regarding payment procedures. TX-10 Licensee, LLC will also send electronic notification on the date said payment is made to Kathy Berthot at Kathy.Berthot@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The response should also be emailed to Kathy Berthot at Kathy.Berthot@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. 18. The
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- regarding payment procedures. OK-5 Licensee Co., LLC will also send electronic notification on the date said payment is made to Jackie Ellington at Jackie.Ellington@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Jackie Ellington at Jackie.Ellington@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 18. The
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- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Ms. Lubin shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- of this Consent Decree and with section 301 of the Act and sections 1.903(a) and 1.949(a) of the Rules, together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the officer cannot provide the requisite certification, the officer, as an agent of and on behalf of Nex-Tech, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree, the Act, and
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- with the Sponsorship Identification Laws or this Consent Decree, what steps it has taken to resolve those difficulties, and the success of those steps in doing so. All compliance reports shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, Room 4-C330, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Commission's rules and be substantially in the form set forth therein. 12. Termination Date. Unless stated otherwise, the requirements of the Compliance Plan will expire three (3) years after the Effective Date. 13. Voluntary Contribution. Licensee agrees that it will make a voluntary contribution to the United States Treasury in the amount of Twenty-One Thousand Dollars ($21,000.00). The
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- the Act, Rules or FCC orders. If the Compliance Director or other equivalent Company Officer is not able to so certify, he or she shall explain fully the reason(s) therefor. All Compliance Reports shall be directed to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with Section 1.16 of the Rules, and be substantially in the form set forth therein. (b) Self-Disclosure. The Company shall report any known (following an internal review) violations of the Act, Rules or orders, within thirty (30) calendar days of discovery to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The Company shall likewise
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- or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. American Taxi Shuttle and Limo Inc. shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in
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- the Rules together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) Globalstar has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with either this Consent Decree or the Act, Rules, or Commission Orders. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Globalstar, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- and conditions of this Consent Decree and with Section 310 of the Act and Section 73.3540 of the Commission's Rules, together with an accompanying statement explaining the basis for the certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that LIU has taken or
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- conditions of this Consent Decree and with Section 310 of the Act and Section 73.3540 of the Commission's Rules, together with an accompanying statement explaining the basis for the compliance certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certifications shall comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the President of Peconic cannot provide the requisite certification, he/she, as an agent of and on behalf of Peconic, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the
- http://transition.fcc.gov/eb/Orders/2010/DA-10-1897A1.html
- operating procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Callaway, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Lloyd Morris shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Boston Office, 1 Batterymarch Park, Quincy, MA 02169 and must include the NAL/Acct. No. referenced in the caption. The statement shall also be emailed to NER-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim of
- http://transition.fcc.gov/eb/Orders/2010/DA-10-1908A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Robert Brown shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Boston Office, 1 Batterymarch Park, Quincy, MA 02169 and must include the NAL/Acct. No. referenced in the caption. The statement shall also be emailed to NER-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim of
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- (i) has established operating procedures intended to ensure compliance with the terms and conditions of this Consent Decree, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of VisionTek, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Vicot Chery shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, New York Office, 201 Varick Street, Suite 1151, New York, NY 10014, and must include the NAL/Acct. No. referenced in the caption. The statement shall also be emailed to NER-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response
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- questions regarding payment procedures. TCM also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn.Lucanik@ fcc.gov and to Jacqui.Johnson@fcc.gov. 19. The Commission will not consider
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- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. IDT also shall send electronic notification to Sam.Peoples@fcc.gov and Ricardo.Durham@fcc.gov on the date said payment is made. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Sam Peoples at Sam.Peoples@fcc.gov. 21. The
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- with any questions regarding payment procedures. MGA also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov. 12. The
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- the Termination Date. Each Compliance Report will include a certification by the Compliance Officer that Delta is, and at all times since the previous Compliance Report was submitted has been, in compliance with the terms and conditions of this Consent Decree and with Section 310(d) of the Act and Section 1.948 of the Rules. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer is not able to so certify, he shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington,
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- with any questions regarding payment procedures. Cbeyond also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov on the date said payment is made. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov. 18. The
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- officer is not able to so certify, he or she shall explain fully the reasons therefor. (b) All Compliance Reports and other disclosures required by this Consent Decree shall be in writing and shall be directed to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554. The certification must comply with Section 1.16 of the Rules and must be substantially in the form set forth therein. 10. Voluntary Contribution. Verizon Wireless agrees to make a voluntary contribution to the U.S. Treasury in the amount of twenty-five million dollars ($25,000,000). The payment must be made by check or similar instrument, payable to the order of the Federal Communications Commission within five (5) days after
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- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Beacon Broadcasting, Inc. shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Field Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 15. The Commission will not consider reducing or canceling
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- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mapleton License of San Luis Obispo, LLC, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to a
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- 301 and 310(d) of the Act, and sections 25.102, 25.119 and 25.121(e) of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) Shared Data has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that Shared Data has taken
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2146A1.html
- ensure compliance with the terms and conditions of this Consent Decree and with Part 52 of the Rules, together with an accompanying statement explaining the basis for the officer's compliance certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of PTI Pacifica, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Smith shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 N.E. Colbern Rd., 2nd Floor, Lees Summit, MO 64086 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture
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- of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) Norlight has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with either the Consent Decree or Section 4.9 of the Rules. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Norlight, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- Decree together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures for the entire term of the Consent Decree; and (iii) the officer is not aware of any instances of non-compliance with this Consent Decree that have not otherwise been disclosed pursuant to subsection (C) above. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. Such certification must be mailed within fifteen (15) days of the one (1) and the two (2) year anniversary, and AT&T must mail its certification to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W.,
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- questions regarding payment procedures. Lightyear also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn.Lucanik@fcc.gov and to Jacqui.Johnson@fcc.gov. 16. The Commission will not consider reducing
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- the Rules, together with an accompanying statement explaining the basis for the certification; (ii) Liberty-Bell has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act and the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and those specified sections of the Act and the Rules, and (ii)
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- payment procedures. East Buchanan Telephone Cooperative must also send electronic notification on the date said payment is made to Ricardo Durham at Ricardo.Durham@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. Number referenced in the caption. The statement must also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. 19.
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- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. J.M.J. Radio, Inc. shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 14. The Commission will not consider reducing or
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- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Donald D. Coss shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Portland Resident Agent Office, P.O. Box 61469, Vancouver, Washington, 98666-1469 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2290A1.html
- Decree, and with sections 2.803(a), 2.925, and 15.204(d)(1), (2) of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that RF Linx has been utilizing those procedures since the commencement of the Compliance Plan; and (iii) that RF Linx is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of RF Linx, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2303A1.html
- together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that XO has been utilizing those procedures since the development of the Compliance Plan, and in any event no later than thirty (30) days after the Effective Date; and (iii) that XO is not aware of any instances of noncompliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of XO, shall provide the Commission with a detailed explanation of: (i) any instances of noncompliance with this Consent Decree or
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2313A1.html
- compliance with the terms and conditions of this Consent Decree, the Underwriting Laws, and the Sponsorship Identification Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2338A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Dollar shall also send electronic notification to WR-Response@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, California, 92111, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be emailed to WR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2347A1.html
- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. BASF Corporation must also send electronic notification to Ricardo.Durham@fcc.gov and to Linda.Nagel@fcc.gov on the date said payment is made. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Ricardo.Durham@fcc.gov and to Linda.Nagel@fcc.gov. 16. The Commission will not consider reducing
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2378A1.html
- to ensure compliance with this Consent Decree and with Section 20.19 of the Rules together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) MaxCell has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of MaxCell, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2389A1.html
- procedures in compliance with the terms and conditions of this Consent Decree and with section 301 of the Act, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures during the term of the agreement; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Luna Park, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree,
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2428A1.html
- questions regarding payment procedures. Sandhill Communications must also send electronic notification on the date said payment is made to Jennifer Burton at Jennifer.Burton@fcc.gov and to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account No. referenced in the caption. The statement must also be emailed to Jennifer Burton at Jennifer.Burton@fcc.gov and to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov. 20.
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2435A1.html
- Telephone Company d/b/a CT Communications, Inc. also shall send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. 15.
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2436A1.html
- regarding payment procedures. Indigo Wireless, Inc. will also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. 19.
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2439A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. STi Prepaid must also send electronic notification on the date said payment is made to Katherine.Power@fcc.gov and Pamera.Hairston@fcc.gov. 27. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. 28.
- http://transition.fcc.gov/eb/Orders/2010/DA-10-2440A1.html
- regarding payment procedures. Epic Touch Co., Inc. must also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The
- http://transition.fcc.gov/eb/Orders/2010/DA-10-287A1.html
- Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. The University of San Diego will also send electronic notification on the date said payment is made to Celia.Lewis@fcc.gov and Ricardo.Durham@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Celia Lewis at Celia.Lewis@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. 17. The
- http://transition.fcc.gov/eb/Orders/2010/DA-10-390A1.html
- questions regarding payment procedures. Lubbock Aero will also send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn.Lucanik@fcc.gov and to Jacqui.Johnson@fcc.gov. 15. The Commission will not consider reducing
- http://transition.fcc.gov/eb/Orders/2010/DA-10-455A1.html
- of the release of this NAL that Birach Broadcasting Corporation SHALL FILE a written statement concerning the steps that it has taken to reassert control over Station WMFN(AM) Zeeland, Michigan, and to comply with the FCC staffing requirements for Station WMFN(AM)'s main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. Birach Broadcasting Corporation shall also transmit a copy of the
- http://transition.fcc.gov/eb/Orders/2010/DA-10-456A1.html
- of the release of this NAL that Birach Broadcasting Corporation SHALL FILE a written statement concerning the steps that it has taken to reassert control over Station WMJH(AM) Rockford, Michigan, and to comply with the FCC staffing requirements for Station WMJH(AM)'s main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. Birach Broadcasting Corporation shall also transmit a copy of the
- http://transition.fcc.gov/eb/Orders/2010/DA-10-669A1.html
- any questions regarding payment procedures. Phonejammer.com will also send electronic notification to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. 18.
- http://transition.fcc.gov/eb/Orders/2010/DA-10-77A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. ACSW will also send electronic notification on the date said payment is made to Peter.Waltonen@fcc.gov and JoAnn.Lucanik@fcc.gov. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Peter Waltonen at Peter.Waltonen@fcc.gov. 21. The
- http://transition.fcc.gov/eb/Orders/2010/DA-10-78A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Doro will also send electronic notification on the date said payment is made to Ricardo.Durham@fcc.gov and Linda.Nagel@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. 15. The
- http://transition.fcc.gov/eb/Orders/2010/DA-10-79A1.html
- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. East Kentucky Network will also send electronic notification on the date said payment is made to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Katherine Power at Katherine.Power@fcc.gov. 15. The
- http://transition.fcc.gov/eb/Orders/2010/DA-10-80A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. ZTE will also send electronic notification on the date said payment is made to Susan.Stickley@fcc.gov and Ricardo.Durham@fcc.gov. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Susan Stickley at Susan.Stickley@fcc.gov. 21. The
- http://transition.fcc.gov/eb/Orders/2010/DA-10-81A1.html
- payment procedures. TCT Mobile will also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Kevin M. Pittman at Kevin.Pittman@fcc.gov. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Kevin M. Pittman at Kevin.Pittman@fcc.gov.
- http://transition.fcc.gov/eb/Orders/2010/DA-10-83A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Locus will also send electronic notification on the date said payment is made to Karen.Mercer@fcc.gov and JoAnn.Lucanik@fcc.gov. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen.Mercer@fcc.gov. 21. The Commission will not
- http://transition.fcc.gov/eb/Orders/2010/DA-10-84A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Airo will also send electronic notification on the date said payment is made to Holly.Berland@fcc.gov and JoAnn.Lucanik@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, , if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Ava Holly Berland at Holly.Berland@fcc.gov. 15.
- http://transition.fcc.gov/eb/Orders/2010/DA-10-995A1.html
- of this Notice, Fox Television Stations, Inc. SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. 19. Payment of the forfeiture must be made by check or similar instrument, payable to the order of the Federal Communications Commission. The payment must include the NAL/Account Number and FRN Number referenced above. Payment by check or money order may be mailed to Federal Communications Commission, P.O. Box 979088, St. Louis, MO 63197-9000. Payment by
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1000A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Hays shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, New Orleans Office, 2424 Edenborn Ave. Suite 460, Metairie, LA 70001 and must include the NAL/Acct. No. referenced in the caption. Mr. Hays also shall email the written response to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1002A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(f) hereof. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of CBW, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://transition.fcc.gov/eb/Orders/2011/DA-11-101A1.html
- of this Consent Decree and with Subpart D of Part 25 of the Rules, together with an accompanying statement explaining the basis for the officer's compliance certification (ii) that NewCom has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) that NewCom is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of NewCom, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1052A1.html
- established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of SBI, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1058A1.html
- conditions of this Consent Decree and section 214 of the Act and section 63.18 of the Commission's rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1062A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, L. Stanley Wall will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and include the NAL/Acct. No. referenced in the caption. L. Stanley Wall also shall email the written response to NER-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1093A1.html
- 24A (payment type code). America Movil, S.A.B. de C.V. will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov and Kathy.Berthot@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 16.
- http://transition.fcc.gov/eb/Orders/2011/DA-11-109A1.html
- Rules, together with an accompanying statement explaining the basis for the certification; (ii) DRS Technologies has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act or the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and those specified sections of the Act and the Rules, and (ii)
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1123A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Vision Latina Broadcasting shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas, 77065 and include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1134A1.html
- this Consent Decree and with sections 64.1300, 64.1310(a), and 64.1320 of the Rules concerning payphone compensation, together with an accompanying statement explaining the basis for the certification; (ii) Compass Global has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) Compass Global is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she must provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that Compass Global has taken
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1144A1.html
- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Licensee-Conducted Contest Rule, together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the officer cannot provide the requisite certification, the officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1145A1.html
- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Licensee-Conducted Contest Rule, together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the officer cannot provide the requisite certification, the officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1183A1.html
- in block number 24A (payment type code). ATMS will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov, Pamela.Kane@fcc.gov and Robert.Krinsky@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov and Robert.Krinsky
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1188A1.html
- has addressed any instances of non-compliance and taken steps to remedy the cause thereof. 2. Each Compliance Report must be supported by the declaration of an officer as an agent of and on behalf of ReconRobotics with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. 3. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: a. a detailed explanation of the non-compliance; b. the steps ReconRobotics has taken to remedy the non-compliance and ensure future compliance; and c. the schedule on which
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1194A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Spirit Broadcasting Inc. shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Norfolk Office, 1457 Mount Pleasant Road Suite 113, Chesapeake VA 23322 and must include the NAL/Acct. No. referenced in the caption. Spirit also shall email the written response to SCR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1272A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, HK Media, Inc. will send electronic notification on the date said payment is made to WR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., Suite # 660, Los Angeles, CA 90703 and include the NAL/Acct. No. referenced in the caption. HK Media, Inc. shall also email the written response to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1311A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Rapidwave, LLC, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 23. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region Office, 215 S. Wadsworth Blvd., Suite 303, Lakewood, CO 80226, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to WR-Response@fcc.gov. 24. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1312A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Sling shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 21. The Commission will not consider reducing or canceling a forfeiture in response to a claim
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1313A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Ayustar shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, US Federal Building, Room 762, San Juan, PR, 00918-1731 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 21. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1314A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Insight Consulting Group of Kansas City, LLC will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, 520 NE Colbern Rd., Second Floor, Lees Summit, MO 64086 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 18. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1324A1.html
- forth herein, Mr. Alcime agrees, upon the Effective Date, to authorize the Fort Myers Police Department to release Mr. Alcime's radio transmitting equipment currently in police custody to the Bureau for destruction. Mr. Alcime shall also submit within thirty (30) calendar days after the Effective Date a certification signed by Mr. Alcime, under penalty of perjury and consistent with section 1.16 of the Rules, that he is not operating and will not in the future operate an unlicensed radio station anywhere in the United States. This certification is required by this Consent Decree and shall be submitted to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607 and an electronic
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1326A1.html
- and (3) are not aware of any instances of non-compliance. If the Compliance Officer is not able to so certify, he or she shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Rules, and be substantially in the form set forth therein. g. Self-Disclosure. Within thirty (30) calendar days of the Compliance Officer or senior executive management becoming aware of the matter (whether from a report from an employee or otherwise), the Companies will report any occurrences of noncompliance with the terms and conditions of this Consent Decree; with section
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1362A1.html
- the basis for the officer's compliance certification; (ii) has been utilizing those procedures since establishing and implementing the Compliance Plan; and (iii) is not aware of any instances of noncompliance, other than those set forth in paragraph 8(e) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Alpheus, shall provide the Commission with a detailed explanation of: (i) any instances of noncompliance with this Consent Decree, the
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1426A2.html
- and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) STi and Progress have been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree, the Act or the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that STi and Progress have
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1468A1.html
- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Marshall Amplification PLC will also send electronic notification to Nissa.Laughner@fcc.gov and Neal.McNeil@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1475A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Estevan J. Gutierrez shall send electronic notification on the date said payment is made to WR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, CA 92111 and include the NAL/Acct. No. referenced in the caption. Estevan J. Gutierrez shall also email the written response to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1482A1.html
- and (3) are not aware of any instances of non-compliance. If the Compliance Officer is not able to so certify, he or she shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Rules, and be substantially in the form set forth therein. f. Reporting Non-Compliance. NUI will report to the Bureau any non-compliance with this Consent Decree or sections of the Act, Rules, or Commission Orders that relate to the purchase, sale, acquisition, assignment or transfer of control of NUI or NUI assets, within 15 days after the discovery of
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1491A1.html
- or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Northeast Utilities Service Company must also send electronic notification to Neal.McNeil@fcc.gov and Karen.Mercer@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Neal.McNeil@fcc.gov and to Karen.Mercer@fcc.gov. The Commission will not consider reducing or
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1503A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Power Ministries shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd. Suite 425, Tampa, Florida 33607 and include the NAL/Acct. No. referenced in the caption. Power Ministries also shall email the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1529A1.html
- in block number 24A (payment type code). FTTH will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov, Pamela.Kane@fcc.gov, and Robert.Krinsky@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's Rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Robert.Krinsky
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1536A1.html
- in block number 24A (payment type code). VTel will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov, Gary.Schonman@fcc.gov and Pam.Slipakoff@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Gary Schonman at Gary.Schonman@fcc.gov and Pam
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1538A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. SCI shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 NE Colbern Road, 2nd Floor, Lee's Summit, Missouri, 64086 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1539A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. SCI shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 NE Colbern Road, 2nd Floor, Lee's Summit, Missouri, 64086 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1540A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. SCI shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 NE Colbern Road, 2nd Floor, Lee's Summit, Missouri, 64086 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1578A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Eleuterio Lebron shall also send an email notification to SCR-Response@fcc.gov on the date said payment is made. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, shall be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, San Juan Office, Room 762, Federal Building, Hato Rey, Puerto Rico, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 10. The Commission will not consider reducing or canceling a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-157A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Scottsdale Lexus will also send electronic notification to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov.on the date said payment is made. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. 16. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1586A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Airadigm, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1641A1.html
- with any questions regarding payment procedures. Pace must also send electronic notification on the date said payment is made to Pamera Hairston at Pamera.Hairston@fcc.gov and Katherine Power at Katherine.Power@fcc.gov. 4. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and Katherine Power at Katherine.Power@fcc.gov 5. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1651A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. St. George shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The statements should also be emailed to SCR-Response@fcc.gov. 18. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1676A2.html
- Consent Decree and section 214 of the Act and sections 63.03, 63.04, 63.18, and 63.24 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1704A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Meade County Communications, Inc. will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Chicago Office, 1550 North Northwest Highway, Room 306, Park Ridge, IL 60068 and include the NAL/Acct. No. referenced in the caption. Meade County Communications, Inc. also shall email the written response to NER-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1721A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Upper Peninsula shall also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Detroit Office, 24897 Hathaway Street, Farmington Hills, Michigan, 48335 and include the NAL/Acct. No. referenced in the caption. Upper Peninsula also shall email the written response to NER-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to a claim of
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1722A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Neal Davis shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, Florida 33152, and include the NAL/Acct. No. referenced in the caption. In addition, Neal Davis shall email the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1745A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. P&Y Broadcasting Corporation shall send electronic notification on the date said payment is made to WR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., Suite 660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. P&Y Broadcasting Corporation shall also email the written response to WR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1750A1.html
- Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, John E. Criteser, Jr. will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, Florida 33152 and include the NAL/Acct. No. referenced in the caption. In addition, John E. Criteser, Jr., shall email the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1755A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, R.J.'s Late Night Entertainment Corporation will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Detroit Office, 24897 Hathaway Street, Farmington Hills, Michigan, 48335-1552 and include the NAL/Acct. No. referenced in the caption. In addition, R.J.'s Late Night Entertainment Corporation shall email the written response to NER-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1775A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Willis Cernogg, Jr. shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, Florida 33152 and include the NAL/Account number referenced in the caption. In addition, Willis Cernogg, Jr. shall email the written response to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1779A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email:. If payment is made, Aleluya Christian Broadcasting Inc. will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas, 77065 and include the NAL/Acct. No. referenced in the caption. Aleluya Christian Broadcasting, Inc. also shall email the written response to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-178A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Bold Gold shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 12. The Commission will not consider reducing or
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1802A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Equity shall also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and include the NAL/Acct. No. referenced in the caption. Equity Communications LP also shall email the written response to NER-Response@fcc.gov 16. The Commission will not consider reducing or canceling a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1807A1.html
- other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that CRNI is apparently liable for a $4,000 forfeiture for failure to operate its station pursuant to the authorized power limits. We further order CRNI to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of CRNI within thirty (30) days of the release date of this NAL that Station KPIO is now in compliance with section 73.1745(a) of the Rules. IV. ORDERING CLAUSES 7. Accordingly, IT IS ORDERED that, pursuant to section 503(b) of the Communications Act of 1934, as amended,
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1809A1.html
- Keystone Wireless, LLC d.b.a. Immix Wireless must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau-Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The Commission will
- http://transition.fcc.gov/eb/Orders/2011/DA-11-180A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. South Bay Aviation shall send electronic notification to WR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Road, Suite 660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1812A1.html
- any questions regarding payment procedures. Chariton Valley must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov and Paul Noone at Paul.Noone@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and Paul Noone at Paul.Noone@fcc.gov. 19. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1834A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Perry shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607 and must include the NAL/Acct. No. referenced in the caption. Mr. Perry also shall email the written response to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1844A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of OTZ, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
- http://transition.fcc.gov/eb/Orders/2011/DA-11-184A1.html
- regarding payment procedures. Cricket Communications, Inc. must also send electronic notification on the date said payment is made to Kathy Harvey at Kathy.Harvey@fcc.gov and to Ricardo Durham at Ricardo.Durham@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Kathy Harvey at Kathy.Harvey@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. 17. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1911A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Custom Interface Technologies, a Division of Thornstar Corporation, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles District Office, 18000 Studebaker Rd., Suite 660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. Custom Interface Technologies, a Division of Thornstar Corporation, also shall email the written response to WR-Response@fcc.gov. 12. The Commission will not consider reducing or
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1914A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Timothy J. Mullen will send electronic notification on the date said payment is made to WR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. Timothy J. Mullen shall also email the written response to WR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1941A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. i. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. ii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Sprint, shall provide the Commission with a detailed explanation of: (A) each instance of non-compliance; (B) the steps that
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1969A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. o. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. p. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Carrier Coach, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1973A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Cross Wireless, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each
- http://transition.fcc.gov/eb/Orders/2011/DA-11-1977A1.html
- pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that MMG is apparently liable for a forfeiture of $8,000 for its violation of section 11.35 of the Rules. We further order MMG to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of MMG within thirty (30) days of the release date of this NAL that Station KRDD(AM) is now in compliance with section 11.35 of the Rules. IV. ORDERING CLAUSES 8. Accordingly, IT IS ORDERED that, pursuant to section 503(b) of the Communications Act of 1934, as amended,
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2004A2.html
- and sections 1.903, 1.948 and 1.949(a) of the Commission's Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since commencement of the Compliance Plan or the previous Compliance Report was submitted, as applicable; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he or she, as an agent of and on behalf of Rio Tinto or Alcan, respectively, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2012A1.html
- also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and David Janas at David.Janas@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and David
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2034A1.html
- d/b/a i wireless must also send electronic notification to Jennifer Burton at Jennifer.Burton@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau -Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Jennifer Burton at Jennifer.Burton@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 17. The Commission
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2035A1.html
- payment procedures. Affordable Phone Services, Inc. must also send electronic notification to Samantha Peoples at Sam.Peoples@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Samantha Peoples at Sam.Peoples@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2042A1.html
- dba Airfire Wireless must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov, Kathy Harvey at Kathy.Harvey@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. 10.
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2060A1.html
- Cellular Limited Partnership must also send electronic notification to Celia Lewis at Celia.Lewis@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Celia Lewis at Celia.Lewis@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 16. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2061A1.html
- Big Sky Mobile must also send electronic notification to Paul Noone at Paul.Noone@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Paul Noone at Paul.Noone@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 17. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2075A1.html
- Communication, Inc. also must send electronic notification to Nissa Laughner at Nissa Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. 17.
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2076A1.html
- Centennial Communications Corporation must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 20. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2077A1.html
- Company d.b.a. MetTel must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must also be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov.
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2078A1.html
- Locus Telecommunications, Inc. must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 20. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2079A1.html
- NEP Cellcorp, Inc. must also send electronic notification to Linda Nagel at Linda.Nagel@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Linda Nagel at Linda.Nagel@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 17. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-2080A1.html
- Communications Cellular, LLC must also send electronic notification to Jennifer Burton at Jennifer.Burton@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Jennifer Burton at Jennifer.Burton@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-213A1.html
- 1.948 of the Commission's Rules, together with an accompanying statement explaining the basis for the certification; (ii) Turner has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) Turner is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act and Rules. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the FCC Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Act or Rules, and (ii) the steps that
- http://transition.fcc.gov/eb/Orders/2011/DA-11-216A1.html
- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Community Television of Southern California shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-229A1.html
- questions, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. CBC shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, New Orleans Office, 2424 Edenborn Avenue, Suite 460, Metairie, LA 70001, and must include the NAL/Acct. No. referenced in the caption. 15. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless
- http://transition.fcc.gov/eb/Orders/2011/DA-11-231A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Media East shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Norfolk Office 1457 Mount Pleasant Rd, Suite 113, Chesapeake, Virginia 23322 and must include the NAL/Acct. No. referenced in the caption. 13. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless
- http://transition.fcc.gov/eb/Orders/2011/DA-11-232A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Aversa shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa Florida, 33607, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2011/DA-11-242A1.html
- and with section 310(d) of the Act and sections 73.3526, 73.3540, 73.3613, and 73.3615 of the Commission's Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://transition.fcc.gov/eb/Orders/2011/DA-11-257A1.html
- explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; (iii) has filed the required annual Hearing Aid Compatibility Report and updated its public website in a timely manner consistent with the Rules; and (iv) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Pantech, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://transition.fcc.gov/eb/Orders/2011/DA-11-258A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Bernabe Moreno shall send electronic notification on the date said payment is made to NER-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, New York Office, 201 Varick Street, Suite 1151, New York, NY 10014, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-273A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Utah Broadband shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 24. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region Office, 215 S. Wadsworth Blvd., Suite 303, Lakewood, CO 80226, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to WR-Response@fcc.gov. 25. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-292A1.html
- any questions regarding payment procedures. Spanish Broadcasting System Holding Company, Inc. will also send electronic notification on the date said payment is made to Hillary.DeNigro@fcc.gov, Ben.Bartolome@fcc.gov, Kenneth.Scheibel@fcc.gov, and Guy.Benson@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement shall be mailed to Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Hillary.DeNigro@fcc.gov, Ben.Bartolome@fcc.gov, Kenneth.Scheibel@fcc.gov, and Guy.Benson@fcc.gov. 13. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-306A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, AT&T will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, US Federal Building, Room 762, San Juan, PR, 00918-1731 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 19. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-352A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Cumulus Licensing, LLC shall send electronic notification on the date said payment is made to NER-Response@fcc.gov, 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 10. The Commission will not consider reducing or
- http://transition.fcc.gov/eb/Orders/2011/DA-11-373A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Pacific Spanish Network, Inc. shall send electronic notification on the date said payment is made to WR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, California, 92111, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be emailed to WR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2011/DA-11-394A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. KFW Communications LLC shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 NE Colbern Road, 2nd Floor, Lee's Summit, MO, 64081, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-402A1.html
- outage reports and taken steps to remedy the cause of the late filings. ii. Each Compliance Report must be supported by the declaration of the Compliance Officer as an agent of and on behalf of AT&T with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. iii. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: 1. a detailed explanation of the non-compliance; 2. the steps AT&T has taken to remedy the non-compliance and ensure future compliance; and 3. the schedule on which
- http://transition.fcc.gov/eb/Orders/2011/DA-11-410A1.html
- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Underwriting Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
- http://transition.fcc.gov/eb/Orders/2011/DA-11-431A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Whisler Fleurinor shall also send an email notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152, and must include the NAL/Acct. No. referenced in the caption. The written shall also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-443A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Ace of Hearts Disc Jockey Service, Inc., will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. Ace of Hearts Disc Jockey Service, Inc. shall also email the response to SCR-Response@fcc.gov. 16. The Commission will not consider
- http://transition.fcc.gov/eb/Orders/2011/DA-11-457A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Ira Jones shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Francisco Office, 5653 Stoneridge Drive, Pleasanton, California, 94588-8543, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be emailed to WR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-472A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Gabriel A. Garcia shall also send electronic notification to WR-Response@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Francisco Office, 5653 Stoneridge Drive, Suite 105, Pleasanton, CA 94588-8543 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to WR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response
- http://transition.fcc.gov/eb/Orders/2011/DA-11-479A1.html
- or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Shubat Transportation Company must also send electronic notification to Ricardo.Durham@fcc.gov and to Celia.Lewis@fcc.gov on the date said payment is made. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Ricardo.Durham@fcc.gov and to Celia.Lewis@fcc.gov. The Commission will not consider reducing or
- http://transition.fcc.gov/eb/Orders/2011/DA-11-48A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. North County Broadcasting Corporation shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov 4. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, California, 92111, and must include the NAL/Acct. No. referenced in the caption. The statement shall also be emailed to WR-Response@fcc.gov. 5. The Commission will not consider reducing or canceling a forfeiture in response
- http://transition.fcc.gov/eb/Orders/2011/DA-11-521A1.html
- ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Fox Television Stations, Inc. must also send electronic notification on the date said payment is made to Terry.Cavanaugh@fcc.gov, Melanie.Godschall@fcc.gov, Anjali.Singh@fcc.gov and Kenneth.Scheibel@fcc.gov. 23. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement shall be mailed to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Terry.Cavanaugh@fcc.gov, Melanie.Godschall@fcc.gov, Anjali.Singh@fcc.gov, and Kenneth.Scheibel@fcc.gov. 24. The Commission
- http://transition.fcc.gov/eb/Orders/2011/DA-11-523A1.html
- any questions regarding payment procedures. Access.1 New Jersey License Company, LLC must also send electronic notification on the date said payment is made to Terry.Cavanaugh@fcc.gov, Melanie.Godschall@fcc.gov, Anjali.Singh@fcc.gov, and Kenneth.Scheibel@fcc.gov. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement shall be mailed to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Terry.Cavanaugh@fcc.gov, Melanie.Godschall@fcc.gov, Anjali.Singh@fcc.gov, and Kenneth.Scheibel@fcc.gov. 20. The Commission
- http://transition.fcc.gov/eb/Orders/2011/DA-11-567A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Also, Marckenson Bazile shall send an email notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152 and must include the NAL/Acct. No. referenced in the caption. The statement shall also be emailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-60A1.html
- the Cable Landing License Act of 1921, and sections 1.65, 1.767, 1.948, 25.119 and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) AST has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) AST is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that AST has taken or
- http://transition.fcc.gov/eb/Orders/2011/DA-11-629A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Andrews Tower Rental, Inc. shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Dallas Office, 9330 LBJ Freeway, Suite 1170, Dallas, Texas, 75243 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-630A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Miller will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Atlanta Office, 3575 Koger Blvd; Ste 320, Duluth, GA 30096, along with the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability
- http://transition.fcc.gov/eb/Orders/2011/DA-11-633A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Harrah's Atlantic City Operating Company LLC shall send electronic notification on the date said payment is made to NER-Response@fcc.gov, 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to NER-Response@fcc.gov. 13. The Commission will not consider reducing
- http://transition.fcc.gov/eb/Orders/2011/DA-11-65A1.html
- questions, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. RAMCO shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas, 77065 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-666A1.html
- has addressed any instances of non-compliance and taken steps to remedy the cause thereof. ii. Each Compliance Report must be supported by the declaration of an officer as an agent of and on behalf of Allegiance with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. iii. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: 1. a detailed explanation of the non-compliance; 2. the steps Allegiance has taken to remedy the non-compliance and ensure future compliance; and 3. the schedule on which
- http://transition.fcc.gov/eb/Orders/2011/DA-11-6A1.html
- with an accompanying statement explaining the basis for the officer's certification; (ii) the Company has been utilizing those procedures for the entire term of the Consent Decree; and (iii) the officer is not aware of any instances of non-compliance with this Consent Decree that have not otherwise been disclosed pursuant to subsection (B) above. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. Such certification must be mailed within fifteen (15) days of the one (1) and the two (2) year anniversary of the Effective Date, and Comcast must mail its certification to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission,
- http://transition.fcc.gov/eb/Orders/2011/DA-11-724A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. A Radio shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, San Juan, Room 762, Hato Rey, PR, 00918 and must include the NAL/Acct. No. referenced in the caption. A Radio shall also email an electronic copy to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-734A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. CBS Communications Services, Inc. shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to WR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-754A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. (ii) The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. i. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of PreSonus, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://transition.fcc.gov/eb/Orders/2011/DA-11-809A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Pilot Media, LLC will also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northwest Region, Chicago Field Office, 1550 N. Northwest Highway, Room 306, Park Ridge, Illinois 60068 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to NER-Response@fcc.gov . 11. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-810A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Mattoon Broadcasting Company will also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Chicago District Office, 1550 North Northwest Highway, Room 306, Park Ridge, IL 60068 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to NER-Response@fcc.gov. 15. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2011/DA-11-816A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Frandsen Media Company, LLC, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Denver District Office, 215 South Wadsworth Boulevard, Suite 303, Lakewood, Colorado, 80226, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be emailed to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response
- http://transition.fcc.gov/eb/Orders/2011/DA-11-829A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Also, Mr. Alcime shall send an email notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement. shall be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-830A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Patrick Michael Ford shall also send an email notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, shall be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling
- http://transition.fcc.gov/eb/Orders/2011/DA-11-831A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Morey shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, should be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, along with the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-832A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Also, Mr. Rhodd shall send an email notification to SCR-Response@fcc.gov on the date said payment is made. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152,and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-833A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Antonio Robinson shall also send an email notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement shall be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and must include the NAL/Acct. No. referenced in the caption. Antonio Robinson shall also email the response to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-836A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Gabriel A. Garcia shall also send electronic notification to WR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Francisco Office, 5653 Stoneridge Drive, Suite 105, Pleasanton, CA 94588-8543 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response
- http://transition.fcc.gov/eb/Orders/2011/DA-11-843A2.html
- Plan for the entire term of the Consent Decree; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree that have not been disclosed as required by Paragraph 11(d) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Sprint, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://transition.fcc.gov/eb/Orders/2011/DA-11-860A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Recardo Millwood shall also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, New York Office, 201 Varick Street, Suite 1151, New York, NY 10014, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-861A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Fritzner Lindor shall also send an email notification to SCR-Response@fcc.gov on the date said payment is made. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, shall be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling
- http://transition.fcc.gov/eb/Orders/2011/DA-11-862A1.html
- conditions of this Consent Decree, the Unauthorized Transfer of Control Laws, the Underwriting Laws, and the Origination Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree,
- http://transition.fcc.gov/eb/Orders/2011/DA-11-870A1.html
- Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Consolidated Radio will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas, 77065 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-871A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Also, Judith V. Smith shall send an email notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152 and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2011/DA-11-876A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Patrick H. Sickafus shall send electronic notification on the date said payment is made to NER-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia District Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 11. The Commission will not consider reducing
- http://transition.fcc.gov/eb/Orders/2011/DA-11-880A1.html
- the Act, and sections 63.01, 63.03, 63.04, 63.12, 63.18 and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) PCS and Surry have been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that PCS and Surry have
- http://transition.fcc.gov/eb/Orders/2011/DA-11-881A1.html
- Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Mr. Warmath will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Atlanta Office, 3575 Koger Blvd., Suite 320, Duluth, GA 30096 and must include the NAL/Acct. No. referenced in the caption. The statement should also be mailed to SCR-Response@fcc.gov. 15. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2011/DA-11-885A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Luxul, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://transition.fcc.gov/eb/Orders/2011/DA-11-886A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Lazer Licenses, LLC, will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street - Suite 370, San Diego, CA 92111 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2011/DA-11-888A1.html
- to ensure compliance with the terms and conditions of this Consent Decree and with the Sponsorship Identification Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Station, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://transition.fcc.gov/eb/Orders/2011/DA-11-898A1.html
- ensure compliance with the terms and conditions of this Consent Decree and with section 73.1206 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Station, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://transition.fcc.gov/eb/Orders/2011/DA-11-8A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Call Mobile must also send electronic notification to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. 17. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-900A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Entertainment Media Trust will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 N.E. Colbern Rd., 2nd Floor, Lees Summit, Missouri, 64086, along with the NAL/Acct. No. referenced in the caption. Also, email the response to SCR-Response@fcc.gov. 19. The Commission will not consider reducing or canceling a forfeiture in response to a claim
- http://transition.fcc.gov/eb/Orders/2011/DA-11-902A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Entertainment Media Trust shall send electronic notification on the date said payment is made to NER-Response@fcc.gov. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Chicago Office, 1550 North Northwest Highway, Room 306, Park Ridge, Illinois 60068 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 10. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-926A1.html
- payment procedures, contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Durrant Clarke shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-940A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Stephen R. Peters shall also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Columbia Office, 9200 Farm House Lane, Columbia, MD, 21046, and must include the NAL/Acct. No. referenced in the caption. 10. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits:
- http://transition.fcc.gov/eb/Orders/2011/DA-11-941A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Della Jane Woofter shall also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Columbia Office, 9200 Farm House Lane, Columbia, MD, 21046 and must include the NAL/Acct. No. referenced in the caption. 10. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits:
- http://transition.fcc.gov/eb/Orders/2011/DA-11-954A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Blue Skies Broadcasting Corporation, shall send electronic notification on the date said payment is made to WR-Response@fcc.gov, 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner St., Room 370, San Diego, CA 92111 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2011/DA-11-976A1.html
- questions regarding payment procedures. SmartLabs, Inc. will also send electronic notification on the date said payment is made to Kathy Harvey at Kathy.Harvey@fcc.gov and to Neal McNeil at Neal.McNeil@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Kathy Harvey at Kathy.Harvey@fcc.gov and Neal McNeil at Neal.McNeil@fcc.gov. 15. The
- http://transition.fcc.gov/eb/Orders/2011/DA-11-978A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, CRS will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Norfolk Office; 1457 Mount Pleasant Road Suite 113; Chesapeake VA 23322 and include the NAL/Acct. No. referenced in the caption. CRS also shall email the written response to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2011/DA-11-982A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Comcast will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Comcast shall mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Atlanta Office, 3575 Koger Blvd, Suite 320, Duluth, GA, 30096 and include the NAL/Acct. No. referenced in the caption. Comcast also shall email the written response to SCR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2012/DA-12-1038A1.html
- pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Mr. Ragan is apparently liable for a forfeiture in the amount of seventeen thousand dollars ($17,000). 8. We further order Mr. Ragan to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by Mr. Ragan, stating that he is in full compliance with Section 301and is no longer engaged in the unauthorized operation on frequency 104.9 MHz or any other frequency for which he has no license, and will make his authorized amateur station available for inspection as required by the Rules. This statement
- http://transition.fcc.gov/eb/Orders/2012/DA-12-107A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Mercius Dorvilus will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, Florida 33152, and include the NAL/Acct. number referenced in the caption. In addition, Mercius Dorvilus, shall email the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2012/DA-12-109A1.html
- and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Casarez is apparently liable for a forfeiture of $8,000 for his violation of Section 11.35 of the Rules. 8. We further order Casarez to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by Casarez stating that Station KCRX(AM) is now in compliance with Section 11.35 of the Rules. This statement must be provided to the San Diego Office at the address listed in paragraph 11 within thirty (30) calendar days of the release of this NAL. IV. ORDERING CLAUSES 9. Accordingly, IT IS ORDERED
- http://transition.fcc.gov/eb/Orders/2012/DA-12-111A1.html
- regarding payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Whisler Fleurinor shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, Florida 33152, and include the NAL/Acct. number referenced in the caption. In addition, Whisler Fleurinor shall email the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2012/DA-12-112A1.html
- payment procedures, contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Robens Cheriza shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://transition.fcc.gov/eb/Orders/2012/DA-12-136A1.html
- of culpability, any history of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that L&R is apparently liable for a forfeiture of $10,000. 7. We direct L&R to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of L&R, stating that Station KPIR is maintaining and making available a complete public inspection file. This statement must be provided to the Dallas Office at the address listed in paragraph 12 within thirty (30) calendar days of the release date of this NAL. IV. ORDERING CLAUSES
- http://transition.fcc.gov/eb/Orders/2012/DA-12-157A1.html
- (including gross revenue figures), and after applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that KM Radio is apparently liable for a $10,000 forfeiture. 13. In addition to the proposed forfeiture, we direct KM Radio to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of KM Radio, stating that the Licensee has repaired its EAS equipment and tower lighting, it is operating its stations within authorized power limits, and it is maintaining two separate and complete public inspection files for Stations KQMG and KQMG-FM. This statement must be provided to the Kansas City Office at the
- http://transition.fcc.gov/eb/Orders/2012/DA-12-194A1.html
- evidence before us, we find that an upward adjustment of $2,000 is warranted. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Richards TV is apparently liable for a total forfeiture in the amount of $10,000. 7. We direct Richards TV to submit a statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Richards TV stating that its cable system serving Jerusalem, Ohio is now in compliance with Section 11.35 of the Rules. The statement should also state whether Richards TV's cable systems serving Bealsville, Ohio and New Athens, Ohio are in compliance with Section 11.35 of the Rules.
- http://transition.fcc.gov/eb/Orders/2012/DA-12-197A1.html
- Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Taylor Broadcasting will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Detroit Office, 24897 Hathaway Street, Farmington Hills, Michigan 48335-1552 and must include the NAL/Acct. No. referenced in the caption. Taylor Broadcasting also shall email the written response to NER-Response@fcc.gov. 15. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2012/DA-12-198A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Curran Communications, Inc. shall send electronic notification on the date said payment is made to NER-Response@fcc.gov . 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission. , Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and include the NAL/Acct. No. referenced in the caption. Curran Communications, Inc. also shall email the written response to NER-Response@fcc.gov. 12. The Commission will not consider reducing or canceling
- http://transition.fcc.gov/eb/Orders/2012/DA-12-211A1.html
- also send electronic notification within forty-eight (48) hours of the date said payment is made to Theresa Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Mindy Littell at Mindy.Littell@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Theresa Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Mindy Littell
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- terms and conditions of this Consent Decree, the Federal Regulatory Reporting and Contribution Rules, and the CPNI Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of BSCI, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of AMS, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that JHT Ventures is apparently liable for a forfeiture in the amount of $4,000. 6. We further order JHT Ventures to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of JHT Ventures, stating that it is operating Station KULF only during daytime hours and consistent with its license authorization. This statement must be provided to the Houston Office at the address listed in paragraph 11, below, within thirty (30) calendar days of the release date of
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- pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Super W is apparently liable for a total forfeiture of $4,000. 7. We also direct Super W to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of Super W, stating the measures it has taken to come into full compliance with Section 73.1350(a) of the Rules. This statement must be provided to the Tampa Office at the address listed in paragraph 12, below, within thirty (30) calendar days of the release date of this NAL. IV. ORDERING CLAUSES
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- a sufficient deterrent. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Argos is apparently liable for a forfeiture of $25,000 for violations of Section 301 of the Act and Section 15.1(b) of the Rules. 13. Finally, we order Argos to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Argos stating that Argos is now operating all of its U-NII devices in compliance with their equipment authorizations and the Rules. This statement must be provided to the San Juan Office at the address listed in paragraph 19 within thirty (30) calendar days of the release
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- notify the structure owner promptly in the event of a lighting failure or other malfunction. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Hacienda is apparently liable for a forfeiture in the amount of $4,500. 6. We direct Hacienda to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Hacienda stating that it has submitted an FCC Form 854 to the Commission to update the ownership information for the Antenna Structure. This statement must be provided to the San Juan Office at the address listed in paragraph 11 within thirty (30) calendar days of the
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- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 11 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Epic Touch, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each
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- questions about payment procedures, contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Jeffrey Darius shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response
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- conclude that Mr. Czura is apparently liable for a total forfeiture of $25,000, consisting of the following: $7,000 for failure to maintain an effective locked fence, $8,000 for failure to install EAS equipment, and $10,000 for failure to maintain and make available a complete public inspection file. 14. We direct Mr. Czura to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury that the licensee has: (1) repaired the locked fence around the base of the antenna tower; (2) placed all of the required contents in Station WNFO's public inspection file; and (3) properly installed Station WNFO's EAS equipment. This statement must be provided to the Atlanta Office at the address listed in paragraph
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- egregious behavior warranting an upward adjustment of $4,000. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Hoosier is apparently liable for a total forfeiture in the amount of $8,000. 9. We also direct Hoosier to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of Hoosier, reporting on the status of the Station's operations (i.e., whether it is currently broadcasting; if not, an explanation as to why, and when, it has stopped broadcasting) and the location of its transmitter. This statement must be provided to the Chicago Office at the address listed in paragraph 14, below,
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- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Uniradio, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of ETI, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
- http://transition.fcc.gov/eb/Orders/2012/DA-12-391A1.html
- established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
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- established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon Wireless, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps
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- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. b. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification, and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Hawking, shall provide the Commission with a detailed explanation of (i) each instance of non-compliance; (ii) the steps that
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- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. VPNet shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region; San Juan Office at FCC, US Federal Building Room 762, San Juan, PR 00918-1731and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture
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- Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. If payment is made, Arthur Lee Young shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Atlanta Office, 3575 Koger Blvd, Suite 320, Duluth, GA 30096 and include the NAL/Acct. No. referenced in the caption. Arthur Lee Young also shall e-mail the written response to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to
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- the Consent Decree; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree that have not been disclosed as required by paragraph 13(I) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must be substantially in the form set forth in Section 1.16 of the Rules. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Reduced Rate Long Distance, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that Reduced Rate Long Distance has taken or will take to remedy such non-compliance, including
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- Atlanta Office renders its actions egregious and deserving of an upward adjustment of $5,000. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Telava is apparently liable for a total forfeiture in the amount of $15,000. 7. We direct Telava to submit a written statement, pursuant to Section 1.16 of the Rules, in addition to any statement it might submit pursuant to paragraph 12, signed under penalty of perjury by an officer or director of Telava stating that it is currently monitoring the Antenna Structure's lights on a daily basis and that the lights on the Antenna Structure have been restored. If the lights on the Antenna Structure have
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- years demonstrates a deliberate disregard for the Commission's rules and warrants an upward adjustment of $5,000. Applying the Forfeiture Policy Statement, Section 1.80, and the statutory factors to the instant case, we conclude that Telava is apparently liable for a total forfeiture in the amount of $17,000. 13. We also direct Telava to submit a written statement, pursuant to Section 1.16 of the Rules, in addition to any statement it might submit pursuant to paragraph 18, signed under penalty of perjury by an officer or director of Telava stating that it is currently monitoring the Antenna Structure's lights on a daily basis and that the lights on the Antenna Structure have been restored. If the lights on the Antenna Structure have
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- offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that ERJ Media is apparently liable for a forfeiture in the amount of $4,000. 6. We further order ERJ Media to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of ERJ Media, stating that it is operating Station WOIR at its authorized power levels. This statement must be provided to the Miami Office at the address listed in paragraph 11, below, within thirty (30) calendar days of the release date of this Notice of Apparent Liability
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- prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Classic Cable is apparently liable for a forfeiture in the amount of $10,000. 6. We direct Classic Cable to submit a written statement, pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Classic Cable, stating that the Antenna Structure has been repainted to maintain good visibility. If the Antenna Structure has not yet been cleaned and repainted, we direct Classic Cable to provide a timetable for when the work will be completed. We also direct Classic Cable to
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- prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that James Cable is apparently liable for a forfeiture in the amount of $10,000. 6. We direct James Cable to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of James Cable stating that the Antenna Structure has been painted to maintain good visibility. If the Antenna Structure has not yet been repainted, we direct James Cable to provide a timetable for when the work will be completed. We also direct James Cable to describe the
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- Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance in the Market with this Consent Decree, the Unauthorized Transfer of Control Laws, and the Underwriting Laws. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance in the Market with
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- other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Mobile Phone of Texas, Inc. is apparently liable for a forfeiture in the amount of $10,000. 6. We direct Mobile Phone of Texas, Inc., to submit a written statement, pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Mobile Phone of Texas, Inc., stating that the Antenna Structure and the coaxial cables have been repainted to maintain good visibility of the structure. If the Antenna Structure has not yet been cleaned and repainted, we direct Mobile Phone of Texas, Inc., to provide a timetable
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- SW, Room 1- A625, Washington, DC 20554. Please contact the Financial Operations Group Help Desk at 1-877-480-320 1 or e-mail ARINQUIRIES@fcc.gov with any questions regarding payment procedures. 57. The written statement seeking reduction or cancellation of the proposed forfeit ure, if any, must include a detailed factual statement supported by appropriate documentatio n and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commissions rules. 177 The written stat ement must be mailed both to Marlene H. Dortch, Secretary, Federal Communications Commission, 445 12th St reet, SW, Washington, DC 20554, ATTN: Enforcement Bureau Investigations and Hearings Di vision; and to Theresa Z. Cavanaugh, Division Chief, Investigations and Hearings Division, Enf orcement Bureau, Federal Communications Commission, 445 12th Street, SW, Room 4-C330,
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- of $2,000 for the public file violation and $1,000 for the unauthorized operation violation are warranted. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Nassau Broadcasting is apparently liable for a $17,000 forfeiture. 10. We also direct Nassau Broadcasting to submit a written statement pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Nassau Broadcasting, stating that it is currently maintaining a public inspection file that is in full compliance with the requirements under section 73.3526 of the Rules, and that it is either operating consistent with its station authorization or has a valid STA. This statement must be
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- entire record and the factors listed above, we find that a forfeiture in the amount of $10,000 is warranted. We also note that Mapleton has not indicated whether the public inspection file for Station KXDZ(FM) has come into compliance with the requirements of Section 73.3526 of the Rules. We therefore order Mapleton to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Mapleton within thirty (30) calendar days of the release date of this Forfeiture Order that Station KXDZ(FM) is now in compliance with Section 73.3526 of the Rules. IV. ORDERING CLAUSES 10. ACCORDINGLY, IT IS ORDERED that, pursuant to Section 503(b) of the Communications Act of 1934,
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- Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Robenson Thermitus will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152, and include the NAL/Acct. number referenced in the caption. Robenson Thermitus also shall email the written response to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response to a claim of
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- established and implemented the Compliance Plan and (ii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 15 of this Consent Decree. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth in Section 1.16. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Telrite, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i)
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- overall record and circumstances of this case does not convince us that a reduction of the forfeiture is warranted; further, we note that the original forfeiture of $13,000 in the NAL has now been reduced to $11,000, thereby reducing the financial penalty imposed against Ace. F. Reporting Requirement 10. We direct Ace to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Ace that it is currently operating its Station with authorized transmitter output power. This statement must be provided to the Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, within thirty (30) calendar days of
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- measures to achieve full compliance with the CPNI Rules; and (iv) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 14 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Ztar, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- the amount of $1,400 is appropriate. Applying the Forfeiture Policy Statement, Section 1.80, and the statutory factors to the instant case, we conclude that US Jetting is apparently liable for a $8,400 forfeiture for marketing one model of an unauthorized radio frequency device in the United States. 8. We order US Jetting to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of the company stating that it is no longer marketing the unauthorized wireless handheld controller and describing the disposition of the remaining inventory of the device. This statement must be provided to the Enforcement Bureau at the address listed in paragraph 13 within thirty (30) calendar days
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- of this Consent Decree and Section 214 of the Act and Sections 63.03 and 63.04 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- hours of the date said payment is made to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Edward Smith at Edward.Smith@fcc.gov. 19. The response to this Notice of Apparent Liability for Forfeiture seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. The response must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The response should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Edward Smith at
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- fill. Send an e-mail to fcc504@fcc.gov or call the Consumer & Governmental Affairs Bureau: For sign language interpreters, CART, and other reasonable accommodations: 202-418-0530 (voice), 202-418-0432 (tty); For accessible format materials (braille, large print, electronic files, and audio format): 202-418-0531 (voice), 202-418-7365 (tty). VI. REPORTING REQUIREMENT 12. Pursuant to Sections 4(i), 4(j), and 403 of the Communications Act and Section 1.16 of the Rules, we also direct North Chapel to submit within thirty (30) calendar days after the release date of this Citation a statement signed under penalty of perjury stating that it has updated the ownership information in the ASR database for the Antenna Structures, repainted all of the Antenna Structures and repaired any lighting outages on the Antenna Structures.
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- the statutory factors to the instant case, we conclude that Mr. Davis is apparently liable for a total forfeiture of $13,000, consisting of the following: $10,000 for violations of Sections 17.48(a), 17.50, and 17.51(a) of the Rules and $3,000 for violation of Section 17.57 of the Rules. 10. We direct Mr. Davis to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by Mr. Davis, stating that he has updated the ownership information for the Antenna Structure in the ASR database and that he has complied with the Commission's antenna structure painting and lighting requirements. The statement should specify any steps taken to come into compliance, including the timeframe for the repair or replacement
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- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 11 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Fisher, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each instance
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- ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Nassau Broadcasting III, LLC will also send electronic notification on the date said payment is made to Terry.Cavanaugh@fcc.gov, Jeffrey.Gee@fcc.gov, Kenneth.Scheibel@fcc.gov, and Jennifer.Lewis@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement shall be mailed to Terry Cavanaugh, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Terry.Cavanaugh@fcc.gov, Jeffrey.Gee@fcc.gov, Kenneth.Scheibel@fcc.gov, and Jennifer.Lewis@fcc.gov. 14. The Commission
- http://transition.fcc.gov/eb/Orders/2012/DA-12-789A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Mt. Rushmore Broadcasting, Inc., will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Denver Office, 215 S. Wadsworth Blvd., # 303, Lakewood, Colorado 80226, and include the NAL/Acct. No. referenced in the caption. Mt. Rushmore Broadcasting, Inc., also shall email the written response to WR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2012/DA-12-792A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Pacific Empire Radio Corporation will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Portland Resident Agent Office, P.O. Box 61469,Vancouver, Washington 98666-1469, and include the NAL/Acct. No. referenced in the caption. Pacific Empire Radio Corporation shall also email the written response to WR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response
- http://transition.fcc.gov/eb/Orders/2012/DA-12-800A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. WOYK Inc. will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and include the NAL/Acct. No. referenced in the caption. WOYK Inc. also shall email the written response to NER-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture
- http://transition.fcc.gov/eb/Orders/2012/DA-12-831A1.html
- Forfeiture Policy Statement, Section 1.80 of the rules, and the statutory factors to the instant case, we conclude that Quinn is apparently liable for a total forfeiture of $16,000, consisting of $10,000 for violation of the public file rule and $6,000 for failing to file required forms and information. 9. We direct Quinn to submit a statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Quinn stating that: (1) the Radio issues/program lists are being compiled, and (2) the Radio issues/program lists are being placed in the Stations' public inspection files by the tenth day of the succeeding calendar quarter. This statement must be provided to the Philadelphia Office at the
- http://transition.fcc.gov/eb/Orders/2012/DA-12-841A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 14 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon Wireless, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each
- http://transition.fcc.gov/eb/Orders/2012/DA-12-846A1.html
- of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Birach is apparently liable for a total forfeiture in the amount of $17,000. 10. We further direct Birach to submit a statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Birach stating that (1) an effective locked fence has been installed around the Antenna Structure, (2) the radio issues/program lists have been compiled, and (3) the issues/program lists have been and are continuing to be placed in the public inspection file by the tenth day of
- http://transition.fcc.gov/eb/Orders/2012/DA-12-867A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Horvath, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
- http://transition.fcc.gov/eb/Orders/2012/DA-12-872A1.html
- questions regarding payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Townsquare will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and .80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Detroit Office, 24897 Hathaway Street, Farmington Hills, Michigan, 48335, and include the NAL/Acct. No. referenced in the caption. Townsquare also shall e-mail the written response to NER-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to a claim
- http://transition.fcc.gov/eb/Orders/2012/DA-12-874A1.html
- offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Martin Broadcasting is apparently liable for a total forfeiture in the amount of $10,000. 8. We direct Martin Broadcasting to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Martin Broadcasting, stating that the lights on the Antenna Structure have been restored, including the date of restoration, or setting forth the timeframe for when the lights on the Antenna Structure will be repaired or replaced. In addition, an officer or director of Martin Broadcasting shall
- http://transition.fcc.gov/eb/Orders/2012/DA-12-875A1.html
- questions regarding payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Aramark shall send electronic notification on the date said payment is made to NER-Response@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047. Aramark also shall e-mail the written response to NER-Response@fcc.gov. 15. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to
- http://transition.fcc.gov/eb/Orders/2012/DA-12-876A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Luis Ernesto Rivas, Jr. will also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and include the NAL/Acct. No. referenced in the caption. Luis Ernesto Rivas, Jr. also shall e-mail the written response to SCR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response
- http://transition.fcc.gov/eb/Orders/2012/DA-12-888A1.html
- payment procedures, contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Albert R. Knighten, Jr. shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd. Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be e-mailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling
- http://transition.fcc.gov/eb/Orders/2012/DA-12-8A1.html
- Decree and Sections 214 and 225 of the Act and Sections 63.18, 64.604(c)(5)(iii)(A), and 64.1195(a) of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://transition.fcc.gov/eb/Orders/2012/DA-12-902A1.html
- reports and taken steps to remedy the cause of the late filings. i. Each Compliance Report will be supported by the declaration of the Compliance Officer as an agent of and on behalf of Level 3 with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration will comply with Section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. ii. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: 1. a detailed explanation of the non-compliance; 2. the steps Level 3 has taken to remedy the non-compliance and ensure future compliance; and 3. the schedule on
- http://transition.fcc.gov/eb/Orders/2012/DA-12-927A1.html
- to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Birach is apparently liable for a total forfeiture in the amount of four thousand dollars ($4,000). 9. We further order Birach to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Birach stating that it is operating Station WOAP in compliance with Section 73.1745(a) of the Rules. This statement must be provided to the Detroit Office at the address listed in paragraph 14, below, within thirty (30) calendar days of the release date of this NAL. IV.
- http://transition.fcc.gov/eb/Orders/2012/DA-12-931A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Vision Latina Broadcasting, Inc. will also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas 77065, and include the NAL/Acct. No. referenced in the caption. Vision Latina Broadcasting, Inc. also shall e-mail the written response to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2012/DA-12-933A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Vision Latina Broadcasting, Inc. shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas 77065, and include the NAL/Acct. No. referenced in the caption. Vision Latina Broadcasting, Inc. also shall e-mail the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in
- http://transition.fcc.gov/eb/Orders/2012/DA-12-939A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Pierre Nixon Jean shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and include the NAL/Acct. No. referenced in the caption. Pierre Nixon Jean also shall e-mail the written response to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response to
- http://transition.fcc.gov/eb/Orders/2012/DA-12-953A1.html
- set forth in Paragraph 18 hereof. Comcast shall maintain for a period of twelve (12) months following the submission of each Compliance Report the material documents and materials relating to the representations made in each such Compliance Report. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Comcast, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each instance
- http://transition.fcc.gov/eb/Orders/2012/FCC-12-16A1.html
- ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Radio License Holding XI, LLC must also send electronic notification on the date said payment is made to Terry.Cavanaugh@fcc.gov, Anjali.Singh@fcc.gov, and Melissa.Marshall@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement shall be mailed to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Terry.Cavanaugh@fcc.gov, Anjali.Singh@fcc.gov, and Melissa.Marshall@fcc.gov. 16. The Commission will
- http://transition.fcc.gov/eb/Orders/2012/FCC-12-23A1.html
- Operations, 445 12th Street, SW, Room 1-A625, Washington, D.C. 20554. Please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Any response must be mailed both to: Marlene H. Dortch, Secretary, Federal Communications Commission, 445 12th Street, SW, Washington, DC 20554, ATTN: Enforcement Bureau - Telecommunications Consumers Division; and to Richard A. Hindman, Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, SW, Washington, DC 20554, and must include the NAL/Acct. No. referenced in
- http://transition.fcc.gov/eb/Orders/2012/FCC-12-39A1.html
- T-Mobile USA, Inc. must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov, Linda Nagel at Linda.Nagel@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 8. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement also should be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. 9.
- http://transition.fcc.gov/eb/Orders/2012/FCC-12-62A1.html
- "FORF" in block number 24A (payment type code). Telseven will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov and Robert.Krinsky@fcc.gov. 37. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Account number referenced above. The written statement should also be e-mailed to Theresa Z. Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela S. Kane at Pamela.Kane@fcc.gov, and
- http://transition.fcc.gov/fcc-bin/audio/FCC-99-55A1.doc http://transition.fcc.gov/fcc-bin/audio/FCC-99-55A1.pdf
- four station changes. Furthermore, we believe that the likelihood of an unforeseen event precluding the effectuation of a coordinated facility change increases with the number of interdependent proposals. Accordingly, we also are concerned that significant Commission resources may be expended processing proposals that would never be constructed if we were to permit the filing of more than four related applications. 1.16 We believe a strict dismissal policy is warranted. The plain quid pro quo for creating this greater technical flexibility for broadcasters is that applicants bear sole responsibility for developing proposals that fully comply with the Commission's rules. However, we wish to correct Reynolds' erroneous assumption in its comments that applicants would be prohibited from filing curative amendments. Our current commercial
- http://transition.fcc.gov/mb/databases/cdbs/index.html
- [45]FTP | [46]HTTP ] (0.01 MB) dtv_allotment.zip [ [47]FTP | [48]HTTP ] (0.04 MB) dtv_channel_assignments.zip [ [49]FTP | [50]HTTP ] (0.06 MB) dtv_facility.zip [ [51]FTP | [52]HTTP ] (0.01 MB) dtv_transition.zip [ [53]FTP | [54]HTTP ] (0.20 MB) elevation_ant_make.zip [ [55]FTP | [56]HTTP ] (0.00 MB) elevation_pattern.zip [ [57]FTP | [58]HTTP ] (0.51 MB) elevation_pattern_addl.zip [ [59]FTP | [60]HTTP ] (1.16 MB) fac_party.zip [ [61]FTP | [62]HTTP ] (0.49 MB) facility.zip [ [63]FTP | [64]HTTP ] (2.79 MB) fm_app_indicators.zip [ [65]FTP | [66]HTTP ] (0.47 MB) fm_eng_data.zip [ [67]FTP | [68]HTTP ] (8.81 MB) fmcmnts.zip [ [69]FTP | [70]HTTP ] (0.17 MB) frn_history.zip [ [71]FTP | [72]HTTP ] (1.07 MB) gen_app_indicators.zip [ [73]FTP | [74]HTTP ] (0.89 MB) if_notification.zip [ [75]FTP
- http://transition.fcc.gov/ownership/roundtable_docs/waldfogel-b.pdf
- data. Arbitron only reports minority listening separately in markets with substantial minority Contemp., CHR/New Rock, Contemporary Hit Radio/Urban, Classical, Classic Album Oriented Rock, Classic Hits, Ethnic, Easy Listening, Full Service/Variety, Full Service/Variety/Talk, Gospel, Jazz, News, News/Talk, Oldies, Religious, Soft Adult Contemp., Spanish, Sports, Talk, Talk/Classic AOR, Talk/Full Service, Talk/Jazz. 14 populations, and these markets tend to be large. Population averages 1.16 million in the 100 markets with black listening data; black population in the same markets averages 190 thousand, and the percent black averages 18.7 percent. Population averages 1.62 million in the 51 markets with Hispanic listening data; the Hispanic population averages 334 thousand, and the percent Hispanic averages 24.5 percent. Because much radio listening takes place in cars, we have
- http://wireless.fcc.gov/auctions/23/charts/23press2.pdf
- 27 15 15 $59,604,000.00 $41,253,050.00 45 1.40 1 7.44 28 8 8 $59,982,000.00 $41,588,550.00 45 1.39 1 3.44 29 19 19 $60,146,000.00 $40,974,100.00 43 1.35 1 14.11 30 17 17 $60,624,000.00 $42,081,250.00 43 1.23 2 7.10 31 18 18 $61,782,000.00 $42,504,850.00 41 1.19 2 8.40 32 13 13 $62,489,000.00 $43,727,700.00 41 1.17 2 5.41 33 9 9 $62,960,000.00 $43,719,000.00 40 1.16 2 5.04 34 7 7 $63,386,000.00 $44,065,500.00 40 1.15 2 4.08 35 13 12 $63,847,000.00 $44,296,100.00 40 1.08 3 5.04 36 6 6 $64,203,000.00 $44,491,900.00 40 1.06 3 2.72 37 3 3 $64,447,000.00 $44,626,100.00 40 1.04 3 1.44 38 4 4 $64,782,000.00 $44,810,350.00 40 1.04 3 1.66 39 1 1 $64,801,000.00 $44,820,800.00 40 1.04 3 0.38 40 2 2 $64,884,000.00
- http://wireless.fcc.gov/auctions/conferences/combin2001/papers/vsmith.pdf
- Low Medium High Baseline 7.0 9.5 8.6 7.9 Flexible 8.4 10.4 10.0 9.3 Unequal 6.7 7.3 7.4 6.8 Unequal Flexible 9.3 10.2 9.4 10.1 Table 15: Poisson Model Parameter Estimates for Bidding Rounds Variable Estimates t-value Intercept 2.10 25.2 Flexible 0.12 4.15 Unequal 0.02 0.87 Environment (Low) 0.09 2.19 Environment (Medium) 0.01 0.52 Environment (High) -0.01 -0.29 CE Exists -0.04 -1.16 Overlap 0.01 0.43 Table 16: Per Auction Losses: Additive Environment Nonflexible Flexible Equal $0.15 $0.00 Unequal $0.01 $0.00 Table 17: Per Auction Losses: Superadditive Environments Low Nonflexible Flexible Equal $15.02 $11.31 Unequal $6.10 $3.64 Medium Nonflexible Flexible Equal $5.79 $5.09 Unequal $6.16 $7.04 High Nonflexible Flexible Equal $12.93 $21.39 Unequal $8.76 $10.15 Table 18: Linear Model Parameter Estimates for Losses
- http://wireless.fcc.gov/rss/index.htm?job=ainf&id=66
- Winning Bidders http://wireless.fcc.gov/auctions/default.htm?job=auction_summary&id=66M on, 21 Aug 2006 16:50:01 GMT Summary Licenses: Auction No. 66 will offer 1,122 licenses: 36 Regional Economic Area Grouping (REAG) licenses, 352 Economic Area (EA) licenses, and 734 Cellular Market Area (CMA) licenses. Qualified Bidders: 168 Rounds Completed: 31 Bidding Days: 9 Results for Round 31 Gross Revenue: $11,966,268,900.00 - Dollar Change: 137367000.00 - % Change: 1.16 Net Revenue: $11,816,701,000.00 - Dollar Change: 190181800.00 - % Change: 1.64 New Bids: 265 Withdrawn Bids: 0 Proactive Waivers: 8 Bidders that Reduced Eligibility: 51 Licenses with PWBs*: 909 FCC Held Licenses: 213 Eligible Bidders: 136 (of 168 qualified bidders) * PWBs = Provisionally Winning Bidders http://wireless.fcc.gov/auctions/default.htm?job=auction_summary&id=66M on, 21 Aug 2006 19:05:09 GMT Summary Licenses: Auction No. 66 will offer
- http://wireless.fcc.gov/services/index.htm?job=about_cellular_coverage_certification&id=cellular
- certification stating that discontinuance of analog service will not result in any loss of cellular coverage throughout the affected CGSA. The certification must be filed at least 60 days before discontinuing analog service in a particular CGSA. Licensees must file the certification at least 60 days before discontinuing analog service in a particular CGSA. The certification must comply with [31]Section 1.16 of the Commissions rules (unsworn declarations under penalty of perjury in lieu of affidavits), be signed by an officer or director of the licensee, and be filed online. If a licensee elects to file such a certification, its analog-determined CGSA (on file with the Commission as of the certification filing date) will remain its CGSA, and it will not be
- http://www.fcc.gov/Bureaus/Common_Carrier/Notices/1999/fcc99345.doc http://www.fcc.gov/Bureaus/Common_Carrier/Notices/1999/fcc99345.txt
- following table sets forth what CPD might be appropriate to correct for productivity underestimations in prior year X-factors depending on the X-factor that we prescribe. RATE REDUCTION IN 1998 IMPLIED BY NEW X-FACTOR PRESCRIPTION _______________________________________________________________________ _______ Overstatement Annual Consumer X-Factor of Price Indices Benefits Lost (%) (%) ($ billion) ________________________________________________________________________ ______ 5.0 0.14 - 0.44 0.24 5.5 3.19 - 4.36 1.16 6.0 7.10 - 8.14 2.06 6.5 10.70 - 11.79 2.95 7.0 14.26 - 15.31 3.80 7.5 17.69 - 18.71 4.64 8.0 21.00 - 21.98 5.45 8.5 24.20 - 25.15 6.23 ________________________________________________________________________ ______ V. PRESCRIBING THE X-FACTOR ON A GOING-FORWARD BASIS We seek comment on whether we should prescribe an X-factor that would apply as of July 1, 2000 that is
- http://www.fcc.gov/Bureaus/Common_Carrier/Orders/2000/fcc00104.doc http://www.fcc.gov/Bureaus/Common_Carrier/Orders/2000/fcc00104.pdf http://www.fcc.gov/Bureaus/Common_Carrier/Orders/2000/fcc00104.txt
- carriers must demonstrate that they are (or will be) ready to place the numbering resources in service by the activation date indicated in their application. Sprint recommends imposing conditions on initial numbering resources, including documentation of planned services, certification, interconnection, and actual use of numbering resources. PCIA suggests that carriers should be required to certify, pursuant to 47 C.F.R. § 1.16, that they will be ready to use the numbering resources within six months. We conclude that allowing carriers to build inventories before they are prepared to offer service results in highly inefficient distribution of numbering resources and is counterproductive to our goal of optimizing the use of numbering resources. Thus, a carrier shall not receive numbering resources if it does
- http://www.fcc.gov/Bureaus/Common_Carrier/Orders/2002/fcc02331.pdf
- Non-Mech. A.1.12 O-9 FOC Timeliness - Partially Mech. - 10 hours B.1.4 O-8/O-14Reject Interval Mech. A.1.13 O-9 FOC Timeliness - Non-Mech. B.1.7 O-8/O-14Reject Interval - Partially Mech. - 10 hours A.1.14 O-11 FOC & Reject Response Completeness - Mech. B.1.8 O-8/O-14Reject Interval - Non-Mech. A.1.15 O-11 FOC & Reject Response Completeness - Partially Mech. B.1.9 O-9/O-15FOC Timeliness Mech. A.1.16 O-11 FOC & Reject Response Completeness - Non-Mech. B.1.12 O-9/O-15FOC Timeliness - Partially Mech. - 10 hours Provisioning B.1.13 O-9/O-15FOC Timeliness - Non-Mech. A.2.1 P-4 Order Completion Interval B.1.14 O-11 FOC & Reject Response Completeness Mech. A.2.4 P-2 % Jeopardies - Mech. B.1.15 O-11 FOC & Reject Response Completeness Partially Mech. A.2.5 P-2 % Jeopardies - Non-Mech. B.1.16
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Fiber/fiber97.pdf
- 25,733 64% NA NA NA NA NA NA NA NA NA Pacific Telesis 22,111 78% 140,456 240 191,692 5,920 6,352 10.8 8.7 0.27 3.0% SBC 18,701 73% NA NA NA NA NA NA NA NA NA U S WEST 25,294 75% NA NA NA NA NA NA NA NA NA GTE 19,805 76% 168,651 669 727,500 22,998 8,515 33.8 36.7 1.16 3.1% Total reported: 179,176 75% * See accompanying notes to the tables and discussion in text. ** Total Switched and Special Access Lines from ARMIS 43-08 data. *** Bell Atlantic data includes NYNEX Notes to Tables 5-13: (NA indicates unavailable data.) In some instances carriers estimate certain data. Accuracy may vary depending on the carrier's method of collecting and assembling
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ldrpt103.pdf
- 1997 0.15 0.16 0.69 0.11 1958 0.24 1.46 1998 0.14 0.16 0.58 0.11 1959 0.24 1.47 1999 0.14 0.15 0.54 0.11 1960 0.24 1.44 2000 0.12 0.12 0.52 0.09 1961 0.25 1.47 2001 0.10 0.10 0.35 0.08 1962 0.25 1.48 1963 0.25 1.44 1964 0.25 1.42 1965 0.24 1.35 1966 0.24 1.33 1967 0.24 1.29 1968 0.24 1.20 1969 0.24 1.16 Sources: Estimates for 1930 through 1981 are based on information in AT&T's Long Lines Statistics, 1930-1963, 1946-1970, and 1960-1981, and appear to represent data for the conterminous U.S. only. Data prior to 1946 may not be comparable. Data for 1982 and 1983 were estimated using BLS price index changes. Data for 1984 through 1991 were supplied by AT&T. Starting with
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/pntris02.pdf
- 94.3% 97.4% 8.4% * 3.1% Arizona 1987 2.45 73.6% 82.4% 86.8% 8.9% 4.4% 90.0% 90.3% 95.3% 0.3% 5.0%* Arkansas 1986 0.63 78.3% 78.8% 85.9% 0.5% 7.1%* 87.2% 88.7% 92.2% 1.5% 3.5% California 1985 2.35 82.9% 87.7% 94.3% 4.7% * 6.6%* 92.6% 94.0% 97.4% 1.4% 3.4%* Colorado 1986 3.50 86.9% 88.0% 94.6% 1.2% 6.5%* 94.6% 96.5% 96.9% 1.9% 0.4% Connecticut 1993 1.16 80.5% 85.9% 90.1% 5.4% 4.3% 94.7% 95.6% 97.3% 1.0% 1.7% Delaware 1998 2.30 87.3% 94.4% 92.8% 7.1% -1.6% 95.5% 95.2% 97.3% -0.3% 2.0% District of Columbia 1987 3.50 92.5% 81.1% 87.0% -11.4% * 5.9% 95.9% 91.4% 94.0% -4.5% * 2.6% Florida 1994 3.50 80.2% 84.4% 89.7% 4.1% 5.3%* 89.9% 92.1% 94.7% 2.2% 2.6%* Georgia 1991 3.44 69.1% 81.6% 87.3% 12.5%
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/pntris03.pdf
- 94.3% 97.0% 8.4% * 2.7% Arizona 1987 2.62 73.6% 82.4% 87.8% 8.9% 5.4% 90.0% 90.3% 95.5% 0.3% 5.2%* Arkansas 1986 0.92 78.3% 78.8% 82.7% 0.5% 3.9% 87.2% 88.7% 92.1% 1.5% 3.4% California 1985 2.43 82.9% 87.7% 93.1% 4.7% * 5.4%* 92.6% 94.0% 97.1% 1.4% 3.1%* Colorado 1986 3.49 86.9% 88.0% 92.6% 1.2% 4.5% 94.6% 96.5% 96.9% 1.9% 0.4% Connecticut 1993 1.16 80.5% 85.9% 92.5% 5.4% 6.6%* 94.7% 95.6% 97.5% 1.0% 1.9% Delaware 1998 2.30 87.3% 94.4% 91.2% 7.1% -3.2% 95.5% 95.2% 96.7% -0.3% 1.4% District of Columbia 1987 3.50 92.5% 81.1% 89.4% -11.4% # 8.3% 95.9% 91.4% 95.0% -4.5% 3.7% Florida 1994 3.50 80.2% 84.4% 89.8% 4.1% * 5.4%* 89.9% 92.1% 95.1% 2.2% * 2.9%* Georgia 1991 3.43 69.1% 81.6% 86.0%
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ref02.pdf
- Average Local rates for a Business with a Key-System Line in Urban Areas (As of October 15, 2001).....................24 Table 1.14 Average Local Rates for a Business with a Key-System Line in Urban Areas (As of October 15), 1989-2001...........25 Table 1.15 Monthly Telephone Rates in the Sample Cities for a Business with a Key-System Line (As of October 15), 1990-2001...........................................26 Table 1.16 Connection Charges for Three Key-System Business Lines in the Sample Cities (As of October 15), 1990-2001...........................................28 iii Table 1.17 Average Local Rates for Businesses with a PBX Trunk in Urban Areas (As of October 15, 2001)..........30 Table 1.18 Average Local Rates for a Business with a PBX Trunk in Urban Areas (As of October 15), 1989-2001.........31 Table 1.19 Monthly Telephone
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ref03.pdf
- rates for a Business with a Key-System Line in Urban Areas (As of October 15, 2002) Table 1.14 Average Local Rates for a Business with a Key-System Line in Urban Areas (As of October 15), 1989-2002 Table 1.15 Monthly Telephone Rates in the Sample Cities for a Business with a Key- System Line (As of October 15), 1990-2002 ii Table 1.16 Connection Charges for Three Key-System Business Lines in the Sample Cities (As of October 15), 1990-2002 Table 1.17 Average Local Rates for Businesses with a PBX Trunk in Urban Areas (As of October 15, 2002) Table 1.18 Average Local Rates for a Business with a PBX Trunk in Urban Areas (As of October 15), 1989-2002 Table 1.19 Monthly Telephone Rates
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ref98.pdf
- for a Single Business Line in the Sample Cities, 1990-1997..........22 Table 1.13 Average Local rates for a Business with a Key System Line as of October 15, 1997......24 Table 1.14 Average Local Rates for a Business with a Key System Line, 1989-1997...............25 Table 1.15 Monthly Rates in the Sample Cities for a Business with a Key System Line, 1990-1997...26 Table 1.16 Connection Charges in the Sample Cities for Three Key System Business Lines, 1990-1997..28 Table 1.17 Average Local Rates for a Business with a PBX Trunk as of October 15, 1997............30 Table 1.18 Average Local Rates for a Business with a PBX Trunk, 1989-1997...................31 iii Table 1.19 Monthly Rates in the Sample Cities for a Business with a PBX Trunk, 1990-1997........32
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ref99.pdf
- for a Single Business Line in the Sample Cities, 1990-1998.........22 Table 1.13 Average Local rates for a Business with a Key System Line as of October 15, 1998.....24 Table 1.14 Average Local Rates for a Business with a Key System Line, 1989-1998.............25 Table 1.15 Monthly Rates in the Sample Cities for a Business with a Key System Line, 1990-1998...26 Table 1.16 Connection Charges in the Sample Cities for Three Key System Business Lines, 1990-1998..28 Table 1.17 Average Local Rates for a Business with a PBX Trunk as of October 15, 1998..........30 Table 1.18 Average Local Rates for a Business with a PBX Trunk, 1989-1998..................31 ii Table 1.19 Monthly Rates in the Sample Cities for a Business with a PBX Trunk, 1990-1998.......32
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/ror96.pdf
- 12.13 44GTE SOUTHWEST INCORPORATED - AR/NE/OK/TX 10.48 10.93 (0.61) 12.41 (3,850.16) 12.83 12.35 45CAROLINA TELEPHONE AND TELEGRAPH COMPANY 12.45 12.50 10.33 12.96 12.67 12.83 46UNITED TELEPHONE CO. OF FLORIDA 11.97 11.47 8.12 16.92 54.64 8.24 13.58 47UNITED TELEPHONE CO. OF INDIANA, INC. 11.63 9.98 15.10 11.53 1,199.77 15.92 13.31 48UNITED TELEPHONE CO. OF NEW JERSEY 11.62 11.35 8.40 18.31 829.63 1.16 12.59 49UNITED TELEPHONE CO. OF OHIO 12.63 11.56 11.27 16.84 1,986.81 11.69 14.28 50UNITED TELEPHONE CO. OF PENNSYLVANIA 12.97 12.56 10.15 17.73 1,170.05 9.53 14.30 51UNITED TELEPHONE CO. OF THE NORTHWEST 13.80 11.88 14.10 15.30 897.28 18.60 16.59 52UNITED TELEPHONE SYSTEM - MIDWEST GROUP 12.42 12.07 5.67 15.59 603.11 11.74 14.08 53UNITED TELEPHONE SYSTEM - SOUTHEAST GROUP 11.88 12.92 14.24
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/strev-95.pdf
- 0.29 50 3 53 DC 13.70 0.31 55 3 58 FLORIDA 223.90 5.14 896 55 951 GEORGIA 110.50 2.54 442 27 469 HAWAII 21.90 0.50 88 5 93 IDAHO 16.00 0.37 64 4 68 ILLINOIS 216.20 4.96 865 53 918 INDIANA 90.70 2.08 363 22 385 IOWA 44.30 1.02 177 11 188 KANSAS 41.30 0.95 165 10 175 KENTUCKY 50.60 1.16 203 12 215 LOUISIANA 58.90 1.35 236 14 250 MAINE 18.40 0.42 74 5 78 MARYLAND 96.50 2.21 386 24 410 MASSACHUSETTS 119.70 2.75 479 29 509 MICHIGAN 164.00 3.76 656 40 697 MINNESOTA 79.30 1.82 317 19 337 MISSISSIPPI 30.70 0.70 123 8 130 MISSOURI 84.60 1.94 339 21 359 MONTANA 11.80 0.27 47 3 50 NEBRASKA 25.70 0.59
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/strev-96.pdf
- 1,286 0.07 KANSAS 36,046 1.97 7,734 0.42 28,312 1.55 KENTUCKY 14,062 0.59 9,874 0.41 4,188 0.18 LOUISIANA 39,990 1.42 11,790 0.42 28,200 1.00 MAINE 4,640 0.50 3,928 0.42 712 0.08 MARYLAND 0 0.00 15,881 0.40 (15,881) (0.40) MASSACHUSETTS 7 0.00 21,604 0.42 (21,597) (0.42) MICHIGAN 13,137 0.18 29,675 0.41 (16,538) (0.23) MINNESOTA 10,115 0.30 14,203 0.43 (4,089) (0.12) MISSISSIPPI 17,702 1.16 6,477 0.42 11,225 0.74 MISSOURI 29,429 0.77 15,944 0.42 13,485 0.35 MONTANA 23,380 3.99 2,506 0.43 20,873 3.56 NEBRASKA 6,688 0.58 4,828 0.42 1,860 0.16 NEVADA 3,208 0.24 5,589 0.41 (2,381) (0.18) NEW HAMPSHIRE 2,494 0.27 3,917 0.42 (1,423) (0.15) NEW JERSEY 2,048 0.03 30,058 0.42 (28,010) (0.40) NEW MEXICO 19,107 1.85 4,236 0.41 14,870 1.44 NEW YORK 9,633 0.07
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/strev-97.pdf
- (2,350) (0.12) KANSAS 36,263 1.91 8,078 0.42 28,185 1.48 KENTUCKY 14,146 0.57 10,299 0.42 3,847 0.16 LOUISIANA 41,626 1.42 11,191 0.38 30,435 1.04 MAINE 5,142 0.53 3,711 0.38 1,432 0.15 MARYLAND 0 0.00 18,190 0.43 (18,190) (0.43) MASSACHUSETTS 7 0.00 22,936 0.43 (22,930) (0.43) MICHIGAN 13,982 0.19 23,016 0.31 (9,034) (0.12) MINNESOTA 8,924 0.26 14,258 0.41 (5,333) (0.15) MISSISSIPPI 18,339 1.16 6,764 0.43 11,575 0.73 MISSOURI 29,578 0.74 15,514 0.39 14,064 0.35 MONTANA 23,468 3.85 3,074 0.50 20,393 3.34 NEBRASKA 6,281 0.53 5,122 0.43 1,159 0.10 NEVADA 3,253 0.22 7,965 0.55 (4,713) (0.33) NEW HAMPSHIRE 2,474 0.25 5,589 0.57 (3,115) (0.32) NEW JERSEY 2,012 0.03 36,363 0.49 (34,351) (0.46) NEW MEXICO 19,261 1.78 5,717 0.53 13,544 1.25 NEW YORK 10,665 0.07
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/strev-99.pdf
- 8,140 11,560 19,700 7.34 North Carolina 2,355 4,012 6,367 873 766 1,639 3,228 4,777 8,006 2.98 North Dakota 222 295 517 88 54 143 310 349 660 0.25 Ohio 2,754 5,257 8,011 1,063 877 1,940 3,817 6,134 9,952 3.71 Oklahoma 882 1,358 2,241 325 161 486 1,207 1,520 2,727 1.02 Oregon 1,046 1,422 2,468 408 248 656 1,453 1,670 3,123 1.16 Pennsylvania 3,328 5,248 8,577 1,178 1,015 2,193 4,506 6,264 10,770 4.01 Rhode Island 355 419 774 123 48 172 479 467 946 0.35 South Carolina 1,158 1,912 3,070 429 291 720 1,587 2,204 3,790 1.41 South Dakota 247 316 562 99 55 154 345 371 716 0.27 Tennessee 1,550 2,494 4,044 572 312 884 2,122 2,806 4,928 1.84 Texas 5,056
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend100.pdf
- 4.33 3.10 14.00 01/01/8706/30/87 1.55 4.33 3.10 12.41 07/01/8712/31/87 0.69 4.33 3.10 11.49 01/01/8811/30/88 0.00 4.14 3.10 10.56 12/01/8802/14/89 0.00 3.39 3.00 9.60 02/15/8903/31/89 0.00 3.25 3.00 9.46 04/01/8912/31/89 1.00 1.83 3.00 9.11 01/01/9006/30/90 1.00 1.53 2.50 7.78 07/01/9012/31/90 1.00 1.23 2.50 7.48 01/01/9106/30/91 1.00 1.14 2.40 7.18 07/01/9106/30/92 0.88 1.06 2.40 6.97 07/01/9206/30/93 0.79 0.95 2.40 6.76 07/01/9306/30/94 0.88 1.16 2.20 6.66 07/01/9406/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/9506/30/96 0.74 0.89 1.96 0.21 6.16 07/01/9606/30/97 0.72 0.89 1.95 0.17 6.04 07/01/9712/31/97 0.64 0.84 1.63 0.14 5.18 01/01/9806/30/98 0.68 0.23 1.29 0.21 4.04 07/01/9812/31/98 0.91 0.20 0.99 0.30 3.82 01/01/9906/30/99 0.82 0.16 0.98 0.32 3.71 07/01/9912/31/99 0.37 0.10 0.86 0.28 2.82 01/01/0006/30/00 0.32 0.10 0.86 0.31 2.85 Source: Industry Analysis Division,
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend199.pdf
- 4.33 3.10 14.00 01/01/8706/30/87 1.55 4.33 3.10 12.41 07/01/8712/31/87 0.69 4.33 3.10 11.49 01/01/8811/30/88 0.00 4.14 3.10 10.56 12/01/8802/14/89 0.00 3.39 3.00 9.60 02/15/8903/31/89 0.00 3.25 3.00 9.46 04/01/8912/31/89 1.00 1.83 3.00 9.11 01/01/9006/30/90 1.00 1.53 2.50 7.78 07/01/9012/31/90 1.00 1.23 2.50 7.48 01/01/9106/30/91 1.00 1.14 2.40 7.18 07/01/9106/30/92 0.88 1.06 2.40 6.97 07/01/9206/30/93 0.79 0.95 2.40 6.76 07/01/9306/30/94 0.88 1.16 2.20 6.66 07/01/9406/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/9506/30/96 0.74 0.89 1.96 0.21 6.16 07/01/9606/30/97 0.72 0.89 1.95 0.17 6.04 07/01/9712/31/97 0.64 0.84 1.63 0.14 5.18 01/01/9806/30/98 0.68 0.23 1.29 0.21 4.04 07/01/9812/31/98 0.91 0.20 0.99 0.30 3.82 01/01/9906/30/99 0.82 0.16 0.98 0.32 3.71 SOURCE: INDUSTRY ANALYSIS DIVISION, MONITORING REPORT AND ACCESS TARIFF FILINGS. * This table shows average rates
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend200.pdf
- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend298.pdf
- 4.33 3.10 14.00 01/01/8706/30/87 1.55 4.33 3.10 12.41 07/01/8712/31/87 0.69 4.33 3.10 11.49 01/01/8811/30/88 0.00 4.14 3.10 10.56 12/01/8802/14/89 0.00 3.39 3.00 9.60 02/15/8903/31/89 0.00 3.25 3.00 9.46 04/01/8912/31/89 1.00 1.83 3.00 9.11 01/01/9006/30/90 1.00 1.53 2.50 7.78 07/01/9012/31/90 1.00 1.23 2.50 7.48 01/01/9106/30/91 1.00 1.14 2.40 7.18 07/01/9106/30/92 0.88 1.06 2.40 6.97 07/01/9206/30/93 0.79 0.95 2.40 6.76 07/01/9306/30/94 0.88 1.16 2.20 6.66 07/01/9406/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/9506/30/96 0.74 0.89 1.96 0.21 6.16 07/01/9606/30/97 0.72 0.89 1.95 0.17 6.04 07/01/9712/31/97 0.64 0.84 1.63 0.14 5.18 01/01/9806/30/98 0.68 0.23 1.29 0.21 4.04 07/01/9812/31/98 0.91 0.20 0.99 0.30 3.82 SOURCE: FEDERAL-STATE JOINT BOARD MONITORING REPORT, MAY 1997, FILINGS MADE EFFECTIVE JULY 1, 1997, JANUARY 1, 1998, AND JULY 1, 1998, AND
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend299.pdf
- 4.33 3.10 14.00 01/01/8706/30/87 1.55 4.33 3.10 12.41 07/01/8712/31/87 0.69 4.33 3.10 11.49 01/01/8811/30/88 0.00 4.14 3.10 10.56 12/01/8802/14/89 0.00 3.39 3.00 9.60 02/15/8903/31/89 0.00 3.25 3.00 9.46 04/01/8912/31/89 1.00 1.83 3.00 9.11 01/01/9006/30/90 1.00 1.53 2.50 7.78 07/01/9012/31/90 1.00 1.23 2.50 7.48 01/01/9106/30/91 1.00 1.14 2.40 7.18 07/01/9106/30/92 0.88 1.06 2.40 6.97 07/01/9206/30/93 0.79 0.95 2.40 6.76 07/01/9306/30/94 0.88 1.16 2.20 6.66 07/01/9406/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/9506/30/96 0.74 0.89 1.96 0.21 6.16 07/01/9606/30/97 0.72 0.89 1.95 0.17 6.04 07/01/9712/31/97 0.64 0.84 1.63 0.14 5.18 01/01/9806/30/98 0.68 0.23 1.29 0.21 4.04 07/01/9812/31/98 0.91 0.20 0.99 0.30 3.82 01/01/9906/30/99 0.82 0.16 0.98 0.32 3.71 07/01/9912/31/99 0.37 0.10 0.86 0.28 2.82 Source: Industry Analysis Division, Monitoring Report and access tariff filings.
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend502.pdf
- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend504.pdf
- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend605.pdf
- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend801.pdf
- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/IAD/trend803.pdf
- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Intl/itltrd98.pdf
- 1.59 1.61 1967 2/ 40 114 55 60 23 32 2.88 1.38 1.50 1.36 1.45 1968 46 127 62 65 28 40 2.73 1.33 1.41 1.42 1.41 1969 65 172 83 89 38 52 2.66 1.28 1.38 1.35 1.37 1970 81 197 99 98 51 60 2.43 1.22 1.21 1.17 1.19 1971 101 237 121 117 68 75 2.35 1.20 1.16 1.10 1.13 1972 127 292 148 144 92 99 2.31 1.17 1.14 1.08 1.11 1973 159 365 184 180 112 120 2.29 1.16 1.13 1.08 1.11 1974 191 429 217 212 142 152 2.25 1.14 1.11 1.07 1.09 1975 219 490 247 243 167 177 2.23 1.13 1.11 1.06 1.09 1976 273 601 303 298 197 207 2.20 1.11 1.09
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Intl/itltrd99.pdf
- 1.59 1.61 1967 2/ 40 114 55 60 23 32 2.88 1.38 1.50 1.36 1.45 1968 46 127 62 65 28 40 2.73 1.33 1.41 1.42 1.41 1969 65 172 83 89 38 52 2.66 1.28 1.38 1.35 1.37 1970 81 197 99 98 51 60 2.43 1.22 1.21 1.17 1.19 1971 101 237 121 117 68 75 2.35 1.20 1.16 1.10 1.13 1972 127 292 148 144 92 99 2.31 1.17 1.14 1.08 1.11 1973 159 365 184 180 112 120 2.29 1.16 1.13 1.08 1.11 1974 191 429 217 212 142 152 2.25 1.14 1.11 1.07 1.09 1975 219 490 247 243 167 177 2.23 1.13 1.11 1.06 1.09 1976 273 601 303 298 197 207 2.20 1.11 1.09
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Intl/itrnd00.pdf
- 1.63 1.59 1.61 1967 39.7 114.2 54.6 59.6 23.4 31.8 2.88 1.38 1.50 1.36 1.45 1968 46.4 126.9 61.5 65.4 28.2 40.0 2.73 1.33 1.41 1.42 1.41 1969 64.6 172.0 82.7 89.4 38.3 51.6 2.66 1.28 1.38 1.35 1.37 1970 81.1 196.6 98.9 97.7 51.0 59.8 2.43 1.22 1.21 1.17 1.19 1971 100.9 237.4 120.7 116.6 68.4 75.1 2.35 1.20 1.16 1.10 1.13 1972 126.5 291.8 148.2 143.6 91.7 98.6 2.31 1.17 1.14 1.08 1.11 1973 159.3 364.9 184.4 180.5 111.5 120.2 2.29 1.16 1.13 1.08 1.11 1974 190.7 428.7 216.6 212.1 142.0 152.2 2.25 1.14 1.11 1.07 1.09 1975 219.4 490.2 247.4 242.9 167.0 176.9 2.23 1.13 1.11 1.06 1.09 1976 272.7 601.1 303.0 298.1 197.2 207.2 2.20 1.11 1.09
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Intl/itrnd01.pdf
- 1.63 1.59 1.61 1967 39.7 114.2 54.6 59.6 23.4 31.8 2.88 1.38 1.50 1.36 1.45 1968 46.4 126.9 61.5 65.4 28.2 40.0 2.73 1.33 1.41 1.42 1.41 1969 64.6 172.0 82.7 89.4 38.3 51.6 2.66 1.28 1.38 1.35 1.37 1970 81.1 196.6 98.9 97.7 51.0 59.8 2.43 1.22 1.21 1.17 1.19 1971 100.9 237.4 120.7 116.6 68.4 75.1 2.35 1.20 1.16 1.10 1.13 1972 126.5 291.8 148.2 143.6 91.7 98.6 2.31 1.17 1.14 1.08 1.11 1973 159.3 364.9 184.4 180.5 111.5 120.2 2.29 1.16 1.13 1.08 1.11 1974 190.7 428.7 216.6 212.1 142.0 152.2 2.25 1.14 1.11 1.07 1.09 1975 219.4 490.2 247.4 242.9 167.0 176.9 2.23 1.13 1.11 1.06 1.09 1976 272.7 601.1 303.0 298.1 197.2 207.2 2.20 1.11 1.09
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr03-1.pdf
- estimated on a state-by-state basis using data from FCC Form 477, and mobile wireless using data from FCC Form 502. Table 1.15 shows intrastate carrier's carrier, end-user and total telecommunication revenues by category for ILECs' local exchange service, CLECs, wireless, access, ILEC toll, and non-ILEC toll.22 Components of interstate carrier's carrier, end-user and total telecommunications revenues are presented in Table 1.16. These components include ILECs, CLECs, wireless, SLCs, access, and toll.23 Data from the 2001/2002 Statistics of Communications Common Carriers are adjusted prior to allocating nationwide revenues to the states. Data compiled in the Statistics of Communications Common Carriers include those incumbent local exchange carriers (ILECs) with annual operating revenues over $117 million for 2000. The Statistics of Communications Common Carriers
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr03-2.pdf
- 1.75 1.31 7.28 9.50 8.86 7.28 13.00 11.48 Arkansas 7.02 7.75 7.25 0.00 3.50 0.00 0.00 1.75 0.46 7.02 9.50 7.71 7.02 13.00 7.71 California 5.25 7.75 6.55 2.16 3.50 2.43 1.08 1.75 1.22 6.33 9.50 7.76 8.49 13.00 10.20 Colorado 7.75 7.75 7.75 0.00 3.50 3.49 0.00 1.75 1.75 7.75 9.50 9.50 7.75 13.00 12.99 Connecticut 6.10 7.53 7.53 1.16 1.16 1.16 0.58 0.58 0.58 6.68 8.11 8.11 7.84 9.27 9.27 Delaware 7.75 7.75 7.75 2.30 2.30 2.30 1.15 1.15 1.15 8.90 8.90 8.90 11.20 11.20 11.20 District of Columbia 5.61 5.61 5.61 3.50 3.50 3.50 1.75 1.75 1.75 7.36 7.36 7.36 10.86 10.86 10.86 Florida 7.75 7.75 7.75 3.04 3.50 3.50 1.52 1.75 1.75 9.27 9.50 9.50 12.31 13.00
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr03-3.pdf
- 10.32 -2.67 13.34 -26.18 Michigan 0.18 -5.08 5.54 -9.16 Minnesota 2.96 -2.08 5.15 6.50 Mississippi 9.19 -0.70 9.96 54.13 Missouri 10.18 -1.78 12.18 9.37 Montana 0.83 -1.08 1.93 -3.45 Nebraska 2.88 -5.82 9.24 24.10 Nevada 3.90 0.94 2.93 1.73 New Hampshire -0.14 -0.60 0.47 -11.14 New Jersey 1.99 -0.06 2.05 0.00 New Mexico 0.09 -0.60 0.70 -11.58 New York -10.56 -1.16 -9.51 -13.64 North Carolina 2.91 -2.04 5.06 -22.46 North Dakota -0.14 -1.25 1.12 22.66 Northern Mariana Islands -20.15 2.53 -22.12 -66.58 Ohio 1.31 0.74 0.57 13.01 Oklahoma 7.77 -3.57 11.76 16.93 Oregon 5.18 -1.61 6.89 4.53 Pennsylvania -0.73 -1.00 0.28 35.77 Puerto Rico -0.72 0.14 -0.86 88.87 Rhode Island 0.62 -2.83 3.55 0.00 South Carolina 5.78 -0.89 6.73 11.29 South
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr03-6.pdf
- 94.3% 97.4% 8.4% * 3.1% Arizona 1987 2.45 73.6% 82.4% 86.8% 8.9% 4.4% 90.0% 90.3% 95.3% 0.3% 5.0%* Arkansas 1986 0.63 78.3% 78.8% 85.9% 0.5% 7.1%* 87.2% 88.7% 92.2% 1.5% 3.5% California 1985 2.35 82.9% 87.7% 94.3% 4.7% * 6.6%* 92.6% 94.0% 97.4% 1.4% 3.4%* Colorado 1986 3.50 86.9% 88.0% 94.6% 1.2% 6.5%* 94.6% 96.5% 96.9% 1.9% 0.4% Connecticut 1993 1.16 80.5% 85.9% 90.1% 5.4% 4.3% 94.7% 95.6% 97.3% 1.0% 1.7% Delaware 1998 2.30 87.3% 94.4% 92.8% 7.1% -1.6% 95.5% 95.2% 97.3% -0.3% 2.0% District of Columbia 1987 3.50 92.5% 81.1% 87.0% -11.4% * 5.9% 95.9% 91.4% 94.0% -4.5% * 2.6% Florida 1994 3.50 80.2% 84.4% 89.7% 4.1% 5.3%* 89.9% 92.1% 94.7% 2.2% 2.6%* Georgia 1991 3.44 69.1% 81.6% 87.3% 12.5%
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr03-7.pdf
- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr03-intro.pdf
- Household - United States ........................................................... Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service .......................................... Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ............................................. Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................ Table 1.13 Telecommunications Revenues - 2001................................... ................... Table 1.14 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Fund Factors ................................. Table 1.10 Universal Service Support - Distribution of Disbursements ........................... Chart 1.1 Universal Service Support Mechanisms ................................................... Table 1.11 Universal Service Support Mechanisms
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr04-1.pdf
- state-by-state basis using data from FCC Form 477, and mobile wireless revenues are estimated using data from FCC Form 502. Table 1.15 shows intrastate carrier's carrier, end-user and total telecommunication revenues by category for ILECs' local exchange service, CLECs, wireless, access, ILEC toll, and non-ILEC toll.23 Components of interstate carrier's carrier, end-user and total telecommunications revenues are presented in Table 1.16. These components include ILECs, CLECs, wireless, SLCs, access, and toll.24 Data from the 2002/2003 Statistics of Communications Common Carriers are adjusted prior to allocating nationwide revenues to the states. Data compiled in the Statistics of Communications Common Carriers include those ILECs with annual operating revenues over $119 million for 2001 and revenues over $121 million in 2002. The Statistics of
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr04-11.pdf
- - Illinois IL 6,826 4,899 79,265 11.61 SBC - Ameritech - Illinois Bell IL (474,917) (487,519) 209,480 (0.44) Verizon - North - Contel/Indiana IN 3,167 2,374 8,658 2.73 Verizon - North - Indiana IN 9,958 6,954 68,373 6.87 SBC - Ameritech - Indiana Bell IN (613,433) (620,824) 64,963 (0.11) Sprint - United Tel Company of Indiana IN 7,134 5,623 8,290 1.16 Iowa Telecom - Iowa IA 8,378 6,467 866 0.10 Iowa Telecom - Iowa North IA 12,140 9,252 1,244 0.10 Iowa Telecom - Iowa System IA 6,572 5,006 806 0.12 Qwest - Iowa IA (40,619) (45,341) 8,332 (0.21) SBC - Southwestern Bell - Kansas KS 35,736 32,248 (6,104) (0.17) Cincinnati Bell Telephone Company - Kentucky KY 2,189 1,639 503 0.23 BellSouth
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr04-2.pdf
- 9.83 13.08 13.50 13.33 North Dakota 5.25 8.25 8.00 0.00 3.50 1.93 0.00 1.75 0.96 5.25 10.00 8.96 5.25 13.50 10.89 N. Marianna Islands 8.25 8.25 8.25 0.00 0.00 0.00 0.00 0.00 0.00 8.25 8.25 8.25 8.25 8.25 8.25 Ohio 7.09 8.25 7.40 0.00 3.50 2.42 0.00 1.75 1.21 7.09 10.00 8.61 7.09 13.50 11.03 Oklahoma 7.02 8.25 7.26 0.00 1.16 0.43 0.00 0.58 0.21 7.02 8.83 7.47 7.02 9.99 7.90 Oregon 8.25 8.25 8.25 3.50 3.50 3.50 1.75 1.75 1.75 10.00 10.00 10.00 13.50 13.50 13.50 Pennsylvania 5.94 8.25 7.85 0.00 2.50 1.07 0.00 1.25 0.53 5.94 9.50 8.38 5.94 12.00 9.45 Puerto Rico 6.75 8.25 8.25 3.34 3.50 3.34 1.67 1.75 1.67 8.42 10.00 9.92 11.76 13.50 13.26 Rhode
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr04-3.pdf
- 13,606,378 1.274 Industry 46,214,446,101180,110,858 256.591,068,410,573100.000 Source: National Exchange Carrier Association. 3 - 29 Table 3.17 High-Cost Loop Support Percentage Changes from 2001 to 2002 by State or Jurisdiction State or Jurisdiction Alabama 2.84 -3.18 6.22 -5.63 Alaska 9.28 -2.44 12.01 9.80 American Samoa 3.52 0.00 3.52 0.00 Arizona 0.67 -5.32 6.32 11.43 Arkansas -10.13 -3.67 -6.70 -0.13 California -4.13 -3.00 -1.16 7.62 Colorado 0.54 -4.74 5.55 6.27 Connecticut -2.51 -3.49 1.01 0.00 Delaware 0.35 -1.60 1.98 0.00 District of Columbia -0.91 -2.44 1.57 0.00 Florida -4.19 -2.36 -1.87 -15.68 Georgia 0.29 -3.79 4.23 -11.62 Guam -11.11 -2.02 -9.27 -100.00 Hawaii 0.95 -2.10 3.12 53.42 Idaho 0.73 -2.72 3.55 2.96 Illinois -5.08 -0.30 -4.80 -3.32 Indiana 0.96 -2.07 3.10 14.05 Iowa 0.56
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr04-6.pdf
- 94.3% 97.0% 8.4% * 2.7% Arizona 1987 2.62 73.6% 82.4% 87.8% 8.9% 5.4% 90.0% 90.3% 95.5% 0.3% 5.2%* Arkansas 1986 0.92 78.3% 78.8% 82.7% 0.5% 3.9% 87.2% 88.7% 92.1% 1.5% 3.4% California 1985 2.43 82.9% 87.7% 93.1% 4.7% * 5.4%* 92.6% 94.0% 97.1% 1.4% 3.1%* Colorado 1986 3.49 86.9% 88.0% 92.6% 1.2% 4.5% 94.6% 96.5% 96.9% 1.9% 0.4% Connecticut 1993 1.16 80.5% 85.9% 92.5% 5.4% 6.6%* 94.7% 95.6% 97.5% 1.0% 1.9% Delaware 1998 2.30 87.3% 94.4% 91.2% 7.1% -3.2% 95.5% 95.2% 96.7% -0.3% 1.4% District of Columbia 1987 3.50 92.5% 81.1% 89.4% -11.4% # 8.3% 95.9% 91.4% 95.0% -4.5% 3.7% Florida 1994 3.50 80.2% 84.4% 89.8% 4.1% * 5.4%* 89.9% 92.1% 95.1% 2.2% * 2.9%* Georgia 1991 3.43 69.1% 81.6% 86.0%
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr04-7.pdf
- 4.33 3.10 11.49 01/01/88 11/30/88 0.00 4.14 3.10 10.56 12/01/88 02/14/89 0.00 3.39 3.00 9.60 02/15/89 03/31/89 0.00 3.25 3.00 9.46 04/01/89 12/31/89 1.00 1.83 3.00 9.11 01/01/90 06/30/90 1.00 1.53 2.50 7.78 07/01/90 12/31/90 1.00 1.23 2.50 7.48 01/01/91 06/30/91 1.00 1.14 2.40 7.18 07/01/91 06/30/92 0.88 1.06 2.40 6.97 07/01/92 06/30/93 0.79 0.95 2.40 6.76 07/01/93 06/30/94 0.88 1.16 2.20 6.66 07/01/94 06/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/95 06/30/96 0.74 0.89 1.96 0.21 6.16 07/01/96 06/30/97 0.72 0.89 1.95 0.17 6.04 07/01/97 12/31/97 0.64 0.84 1.63 0.14 5.18 01/01/98 06/30/98 0.68 0.23 1.29 0.21 4.04 07/01/98 12/31/98 0.91 0.20 0.99 0.30 3.82 01/01/99 06/30/99 0.82 0.16 0.98 0.32 3.71 07/01/99 12/31/99 0.37 0.10 0.86 0.28 2.82 01/01/00 06/30/00
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr04-intro.pdf
- Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 5 Index of Tables and Charts Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service ............................................. Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ..............................................Table 1.3 Telecommunications Revenues - Interstate ........................................................ Table 1.16 Telecommunications Revenues - Intrastate ........................................................ Table 1.15 Telecommunications Revenues - Total - by State ................................................. Table 1.13 Telecommunications Revenues - 2002................................... ................... Table 1.14 Telephone Calls and Billed Access Minutes of Large ILECs ...........................Table 8.3 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Contribution Factors ..................... Table 1.10 Universal Service Support - Distribution of Universal Service Payments ............
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr97-5.pdf
- 4.33 3.10 14.00 01/01/8706/30/87 1.55 4.33 3.10 12.41 07/01/8712/31/87 0.69 4.33 3.10 11.49 01/01/8811/30/88 0.00 4.14 3.10 10.56 12/01/8802/14/89 0.00 3.39 3.00 9.60 02/15/8903/31/89 0.00 3.25 3.00 9.46 04/01/8912/31/89 1.00 1.83 3.00 9.11 01/01/9006/30/90 1.00 1.53 2.50 7.78 07/01/9012/31/90 1.00 1.23 2.50 7.48 01/01/9106/30/91 1.00 1.14 2.40 7.18 07/01/9106/30/92 0.88 1.06 2.40 6.97 07/01/9206/30/93 0.79 0.95 2.40 6.76 07/01/9306/30/94 0.88 1.16 2.20 6.66 07/01/9406/30/95 0.84 1.08 2.10 0.28 6.89 07/01/9506/30/96 0.74 0.89 1.96 0.21 6.16 07/01/9606/30/97 0.72 0.89 1.95 0.17 6.04 *The weighted average national charges are calculated from the charges of price cap companies and companies in the National Exchange Carrier Association (NECA) pool and excludes companies filing under rate of return or optional incentive rules. The carriers covered comprise
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mr98-7.pdf
- Evening 1.62 0.80 -50.6 1.62 1.82 12.2 Night & Weekend 1.08 0.65 -39.8 1.08 1.82 68.3 3001 - 4250Day 2.80 $1.40 -50.0 2.80 1.82 -35.1 Evening 1.68 0.80 -52.4 1.68 1.82 8.2 Night & Weekend 1.12 0.65 -42.0 1.12 1.82 62.3 4251 - 5750Day 2.91 $1.40 -51.9 2.91 1.82 -37.5 Evening 1.74 0.80 -54.0 1.74 1.82 4.5 Night & Weekend 1.16 0.65 -44.0 1.16 1.82 56.7 SOURCE: AT&T TARIFFS AND INDUSTRY ANALYSIS DIVISION, REFERENCE BOOK OF RATES, PRICE INDICES, AND HOUSEHOLD EXPENDITURES FOR TELEPHONE SERVICE. * AT&T initiated a new rate structure for residential customers on November 8, 1997. The new rate structure eliminates mileage bands and implements weekday peak and off-peak time bands and a weekend band. The new rates
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mrd99-7.pdf
- Evening 1.62 0.80 -50.6 1.62 1.82 12.2 Night & Weekend 1.08 0.65 -39.8 1.08 1.82 68.3 3001 - 4250Day 2.80 $1.40 -50.0 2.80 1.82 -35.1 Evening 1.68 0.80 -52.4 1.68 1.82 8.2 Night & Weekend 1.12 0.65 -42.0 1.12 1.82 62.3 4251 - 5750Day 2.91 $1.40 -51.9 2.91 1.82 -37.5 Evening 1.74 0.80 -54.0 1.74 1.82 4.5 Night & Weekend 1.16 0.65 -44.0 1.16 1.82 56.7 Source: AT&T tariffs and Industry Analysis Division, Reference Book of Rates, Price Indices, and Household Expenditures for Telephone Service. * AT&T initiated a new rate structure for residential customers on November 8, 1997. The new rate structure eliminates mileage bands and implements weekday peak and off-peak time bands and a weekend band. The new rates
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mrj99-7.pdf
- 4.33 3.10 14.00 01/01/8706/30/87 1.55 4.33 3.10 12.41 07/01/8712/31/87 0.69 4.33 3.10 11.49 01/01/8811/30/88 0.00 4.14 3.10 10.56 12/01/8802/14/89 0.00 3.39 3.00 9.60 02/15/8903/31/89 0.00 3.25 3.00 9.46 04/01/8912/31/89 1.00 1.83 3.00 9.11 01/01/9006/30/90 1.00 1.53 2.50 7.78 07/01/9012/31/90 1.00 1.23 2.50 7.48 01/01/9106/30/91 1.00 1.14 2.40 7.18 07/01/9106/30/92 0.88 1.06 2.40 6.97 07/01/9206/30/93 0.79 0.95 2.40 6.76 07/01/9306/30/94 0.88 1.16 2.20 6.66 07/01/9406/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/9506/30/96 0.74 0.89 1.96 0.21 6.16 07/01/9606/30/97 0.72 0.89 1.95 0.17 6.04 07/01/9712/31/97 0.64 0.84 1.63 0.14 5.18 01/01/9806/30/98 0.68 0.23 1.29 0.21 4.04 07/01/9812/31/98 0.91 0.20 0.99 0.30 3.82 01/01/9906/30/99 0.82 0.16 0.98 0.32 3.71 SOURCE: INDUSTRY ANALYSIS DIVISION, TRENDS IN TELEPHONE SERVICE AND ACCESS TARIFF FILINGS. * This table shows
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mrs00-0.pdf
- 4.33 3.10 14.00 01/01/8706/30/87 1.55 4.33 3.10 12.41 07/01/8712/31/87 0.69 4.33 3.10 11.49 01/01/8811/30/88 0.00 4.14 3.10 10.56 12/01/8802/14/89 0.00 3.39 3.00 9.60 02/15/8903/31/89 0.00 3.25 3.00 9.46 04/01/8912/31/89 1.00 1.83 3.00 9.11 01/01/9006/30/90 1.00 1.53 2.50 7.78 07/01/9012/31/90 1.00 1.23 2.50 7.48 01/01/9106/30/91 1.00 1.14 2.40 7.18 07/01/9106/30/92 0.88 1.06 2.40 6.97 07/01/9206/30/93 0.79 0.95 2.40 6.76 07/01/9306/30/94 0.88 1.16 2.20 6.66 07/01/9406/30/95 0.84 1.08 2.10 0.28¢ 6.89 07/01/9506/30/96 0.74 0.89 1.96 0.21 6.16 07/01/9606/30/97 0.72 0.89 1.95 0.17 6.04 07/01/9712/31/97 0.64 0.84 1.63 0.14 5.18 01/01/9806/30/98 0.68 0.23 1.29 0.21 4.04 07/01/9812/31/98 0.91 0.20 0.99 0.30 3.82 01/01/9906/30/99 0.82 0.16 0.98 0.32 3.71 07/01/9912/31/99 0.37 0.10 0.86 0.28 2.82 01/01/0006/30/00 0.32 0.10 0.86 0.31 2.85 08/11/0012/31/00 0.23 0.07 0.52
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mrs01-0.pdf
- 5,518 1.00 $65,722 11.94 American Samoa 591 4.69 0 0.00 591 4.69 Arizona 35,414 0.99 45,121 1.27 -9,707 -0.27 Arkansas 72,887 4.05 18,486 1.03 54,401 3.02 California 65,692 0.24 207,379 0.76 -141,687 -0.52 Colorado 52,369 1.52 45,422 1.32 6,947 0.20 Connecticut 886 0.03 35,817 1.23 -34,932 -1.20 Delaware 195 0.03 9,069 1.30 -8,874 -1.27 District of Columbia 0 0.00 12,867 1.16 -12,867 -1.16 Florida 50,466 0.37 151,631 1.12 -101,164 -0.75 Georgia 79,527 1.27 72,363 1.16 7,165 0.11 Guam 3,266 3.51 672 0.72 2,594 2.79 Hawaii 2,055 0.24 8,618 0.99 -6,564 -0.76 Idaho 35,850 4.07 11,256 1.28 24,595 2.79 Illinois 31,393 0.31 98,842 0.99 -67,450 -0.67 Indiana 30,731 0.70 40,996 0.93 -10,264 -0.23 Iowa 30,431 1.51 21,750 1.08 8,681 0.43 Kansas 67,243
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/Monitor/mrs02-0.pdf
- 8.13 Subscribership - United States ................................................................................ Table 6.1 Switch Downtime and Trunk Blocking ................................................................... Table 9.2 Switch Downtime Causes ....................................................................................... Table 9.3 Switching Systems .................................................................................................. Table 10.1 Taxes ................................................................................................................ Table 11.11 Telecommunications Industry Revenues by Service .......................................... Table 1.2 Telecommunications Industry Revenues - Total ...................................................Table 1.1 Telecommunications Revenues by Type of Carrier ............................................. Table 1.3 Telecommunications Revenues Interstate ........................................................Table 1.16 Telecommunications Revenues Intrastate ........................................................Table 1.15 Telecommunications Revenues Total by State ................................................ Table 1.13 Telecommunications Revenues Used to Allocate Revenues by State ................... Table 1.14 Transmission Systems ............................................................................................. Table 10.2 Universal Service Program Requirements and Fund Factors ................................. Table 1.10 Universal Service Support - Distribution of Disbursements ........................... Chart 1.1 Universal Service Support Mechanisms ................................................... Table 1.11 Universal
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/00socc.pdf
- 181.4 20.2 161.2 66.7 40.9 53.6 161.2 NH New Jersey 1,429.8 20.39 1,409.4 280.5 1,128.8 558.3 159.2 410.0 1,127.5 1.364 NJ New Mexico 208.1 6.43 201.7 48.9 152.8 71.4 31.2 48.8 151.3 1.449NM New York 2,468.2 41.32 2,426.9 359.6 2,067.3 980.9 370.5 715.9 2,067.3 NY North Carolina 1,104.0 12.85 1,091.1 332.8 758.3 398.2 139.7 215.2 753.1 5.221NC North Dakota 72.4 1.16 71.3 16.8 54.4 20.6 12.1 21.3 54.0 0.408ND Ohio 1,392.1 3.54 1,388.6 343.4 1,045.2 492.3 174.8 377.6 1,044.8 0.404OH Oklahoma 306.0 306.0 33.9 272.1 123.7 50.9 97.5 272.1 OK Oregon 503.5 8.72 494.7 104.4 390.4 185.4 71.0 131.6 388.1 2.303OR Pennsylvania 1,688.3 20.49 1,667.8 458.1 1,209.8 571.1 173.4 406.0 1,150.4 59.347PA Rhode Island 111.7 2.23 109.5 5.4 104.1 52.4 22.7
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/01socc.pdf
- Leone 1.50 1.50 1.50 1.50 1.50 1.50 1.50 1.50 1.50 1.50 0.76 0.77 0.56 Singapore 1.20 0.97 0.85 0.86 0.92 0.92 0.90 0.85 0.52 0.30 0.30 0.30 0.30 South Africa 2.00 1.80 1.80 1.50 1.20 1.20 1.00 1.00 0.80 0.70 0.60 0.38 0.38 Spain 10/ 2.28 2.15 2.06 1.80 1.78 1.44 0.64 0.48 0.26 0.27 0.25 0.26 0.25 Switzerland 1.59 1.16 1.11 0.84 0.91 0.52 0.51 0.34 0.28 0.27 0.25 0.26 0.25 Taiwan 1.80 1.60 1.40 1.20 1.20 1.20 1.20 1.14 0.45 0.30 0.30 0.30 0.30 Thailand 2.30 2.00 1.75 1.60 1.60 1.55 1.50 1.20 0.90 0.60 0.48 0.38 0.38 Turkey 2.00 2.00 1.93 1.66 1.78 1.63 1.16 0.82 0.76 0.66 0.41 0.38 0.38 United Kingdom 10/ 1.06 0.97 0.74 0.61
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/02socc.pdf
- 1.50 1.50 1.50 1.50 1.50 1.50 1.50 1.50 0.77 0.76 0.56 0.56 Singapore 9/ 0.97 0.85 0.86 0.92 0.92 0.90 0.85 0.52 0.30 0.30 0.30 0.30 0.30 South Africa 9/ 1.80 1.80 1.50 1.20 1.20 1.00 1.00 0.80 0.70 0.60 0.38 0.38 0.38 Spain 9/ 2.15 2.06 1.80 1.78 1.44 0.64 0.48 0.26 0.27 0.26 0.25 0.26 0.27 Switzerland 9/ 1.16 1.11 0.84 0.91 0.52 0.51 0.34 0.28 0.27 0.26 0.25 0.26 0.27 Taiwan 9/ 1.60 1.40 1.20 1.20 1.20 1.20 1.14 0.45 0.30 0.30 0.30 0.30 0.30 Thailand 9/ 2.00 1.75 1.60 1.60 1.55 1.50 1.20 0.90 0.60 0.48 0.38 0.38 0.38 Turkey 9/ 2.00 1.93 1.66 1.78 1.63 1.16 0.82 0.76 0.66 0.41 0.38 0.38 0.38 United Kingdom 8/
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/03socc.pdf
- Singapore 0.85 0.86 0.92 0.92 0.90 0.85 0.52 South Africa 1.80 1.50 1.20 1.20 1.00 1.00 0.80 0.70 0.60 Spain 2.06 1.80 1.78 1.44 0.64 0.48 0.26 Switzerland 1.11 0.84 0.91 0.52 0.51 0.34 Taiwan 1.40 1.20 1.20 1.20 1.20 1.14 0.45 0.30 0.30 0.30 Thailand 1.75 1.60 1.60 1.55 1.50 1.20 0.90 0.60 0.48 Turkey 1.93 1.66 1.78 1.63 1.16 0.82 0.76 0.66 0.41 0.38 United Kingdom 0.74 0.61 Viet Nam 2.30 2.30 2.30 2.30 2.30 2.30 2.30 1.58 1.27 1.28 See notes at the end of this table. December 31 159 Statistics of Communications Common Carriers Notes for Tables 3.7 through 3.12 Note: Some previously published data have been revised. "*" signifies an amount greater than 0 but less
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/95socc.pdf
- TELECOMMUNICATIONS SERVICE UNITED STATES-OVERSEAS--CONTINUED COUNTRY CLASSES OF SERVICE INITIAL MINUTE EACH ADDITIONAL MINUTE ALL DAYS STANDARD DISCOUNT ECONOMY STANDARD DISCOUNT ECONOMY 5PM-11PM 8AM-5PM 11PM-8AM 5PM-11PM 8AM-5PM 11PM-8AM PANAMA, REPUBLIC OF INTERNATIONAL DIAL 1.97 1.39 1.23 1.63 1.23 1.11 ALL OTHER* 2.65 2.12 1.73 1.65 1.25 1.13 4PM-MIDN 7AM-4PM MIDN-7AM 4PM-MIDN 7AM-4PM MIDN-7AM PERU INTERNATIONAL DIAL 2.18 1.57 1.30 1.94 1.39 1.16 ALL OTHER* 2.80 2.61 2.14 1.90 1.39 1.25 5PM-2AM 2AM-11AM 11AM-5PM 5PM-2AM 2AM-11AM 11AM-5PM PHILIPPINES INTERNATIONAL DIAL 2.37 1.56 1.35 2.10 1.39 1.20 ALL OTHER* 3.86 3.27 2.73 2.13 1.41 1.23 7AM-1PM 1PM-MIDN MIDN-7AM 7AM-1PM 1PM-MIDN MIDN-7AM POLAND, PEOPLE'S REPUBLIC OF INTERNATIONAL DIAL 1.76 1.28 1.16 1.57 1.16 1.05 ALL OTHER* 2.92 2.10 1.91 1.60 1.18 1.07 1PM-8PM 7AM-1PM 8PM-7AM
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/96socc.pdf
- (3.40) 0.64 0.58 (2.18) 25.4 IL INDIANA 224.9 161.9 63.1 47.1 16.0 1.59 0.79 0.82 3.21 12.8 IN IOWA 19.3 28.8 (9.6) (8.2) (1.4) (2.92) (1.99) (1.87) (6.78) 5.4 IA KANSAS 68.5 57.4 11.1 5.7 5.4 0.01 0.09 0.14 0.24 5.2 KS KENTUCKY 98.3 42.1 56.2 49.2 7.0 1.04 0.17 0.25 1.45 5.5 KY LOUISIANA 129.7 39.8 89.9 85.9 4.0 (1.16) 0.00 (0.17) (1.32) 5.3 LA MAINE 31.3 4.1 27.2 22.8 4.3 0.50 (0.08) 0.04 0.46 3.9 ME MARYLAND 324.8 239.1 85.7 60.0 25.7 5.25 2.31 2.82 10.38 15.3 MD MASSACHUSETTS 292.1 54.6 237.5 205.7 31.8 2.86 2.73 1.97 7.56 24.3 MA MICHIGAN 253.6 177.8 75.8 60.9 14.9 (2.34) 0.07 0.28 (1.99) 16.9 MI MINNESOTA 30.5 35.4 (4.9) (7.7) 2.8 (2.97)
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/97socc.pdf
- 0.21 4.6 RI SOUTH CAROLINA 43.6 0.7 21.8 18.9 2.9 (1.43) (0.73) (0.28) (2.44) 5.3 SC SOUTH DAKOTA (2.5) (0.0) (3.7) (2.9) (0.7) (0.97) (0.61) (0.62) (2.19) 1.5 SD TENNESSEE 66.2 0.0 50.0 33.8 16.2 (0.63) 0.23 0.16 (0.24) 16.4 TN TEXAS 284.0 65.7 138.6 99.3 39.3 0.34 0.13 1.79 2.26 37.0 TX UTAH 33.4 (0.0) 26.7 17.9 8.8 1.45 1.16 1.05 3.66 5.1 UT VERMONT 13.0 0.1 9.5 6.9 2.6 0.36 0.08 0.08 0.51 2.1 VT VIRGINIA 147.3 1.4 134.1 101.8 32.3 4.89 0.96 1.86 7.71 24.6 VA WASHINGTON 95.4 (1.4) 72.1 59.1 13.0 (2.10) (0.80) (0.16) (3.06) 16.1WA WEST VIRGINIA 21.6 (0.1) 17.4 12.3 5.1 0.77 0.13 0.22 1.12 4.0WV WISCONSIN 62.8 0.0 34.0 24.0 10.0 0.38 (0.10) 0.08
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/98SOCC.PDF
- 3.67 1.25 2.39 0.77 1.47 1982 17/ 2.70 5.15 1.62 3.09 1.08 2.06 2.34 4.49 1.40 2.69 0.94 1.80 2.05 3.90 1.23 2.34 0.82 1.56 1983 2.70 5.15 1.62 3.09 1.08 2.06 2.34 4.49 1.40 2.69 0.94 1.80 2.05 3.90 1.23 2.34 0.82 1.56 1984 18/ 2.53 4.83 1.52 2.90 1.01 1.93 2.18 4.18 1.31 2.51 0.87 1.67 1.94 3.69 1.16 2.21 0.78 1.48 1985 19/ 2.33 4.43 1.40 2.66 0.93 1.77 2.07 3.97 1.24 2.38 0.83 1.59 1.83 3.48 1.10 2.09 0.73 1.39 1986 20/ 1.99 3.79 1.19 2.27 0.88 1.67 1.79 3.44 1.07 2.06 0.79 1.51 1.55 2.95 0.93 1.77 0.68 1.30 1987 21/ 1.58 3.08 0.98 1.91 0.74 1.45 1.50 2.95 0.93 1.83 0.71 1.39 1.23 2.38 0.76
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/99socc.pdf
- 382.6 MN Mississippi 247.0 8.13 238.9 28.7 210.2 107.4 59.1 43.3 209.8 0.354MS Missouri 832.8 11.19 821.6 256.7 564.9 273.2 122.3 169.3 564.9 MO Montana 97.2 1.82 95.4 23.3 72.1 32.0 20.9 19.2 72.1 MT Nebraska 236.0 2.65 233.4 66.3 167.1 72.2 43.5 51.3 167.1 NE Nevada 206.3 (0.45) 206.7 23.4 183.3 82.4 55.5 45.5 183.3 NV New Hampshire 186.0 1.16 184.9 18.9 165.9 68.2 55.7 42.0 165.9 NH New Jersey 1,351.0 12.04 1,338.9 291.5 1,047.4 552.3 169.5 324.3 1,046.1 1.317 NJ New Mexico 239.4 7.05 232.4 61.8 170.5 86.9 41.7 41.9 170.5 NM New York 2,513.6 29.67 2,484.0 352.4 2,131.6 1,044.8 515.9 570.9 2,131.6 NY North Carolina 1,061.6 4.75 1,056.9 330.9 726.0 407.4 157.5 160.4 725.3 0.718NC North Dakota 68.5
- http://www.fcc.gov/Bureaus/Common_Carrier/Reports/FCC-State_Link/SOCC/prelim02socc.pdf
- 1.50 1.50 1.50 1.50 1.50 1.50 1.50 1.50 0.77 0.76 0.56 0.56 Singapore 10/ 0.97 0.85 0.86 0.92 0.92 0.90 0.85 0.52 0.30 0.30 0.30 0.30 0.30 South Africa 10/ 1.80 1.80 1.50 1.20 1.20 1.00 1.00 0.80 0.70 0.60 0.38 0.38 0.38 Spain 10/ 2.15 2.06 1.80 1.78 1.44 0.64 0.48 0.26 0.27 0.26 0.25 0.26 0.27 Switzerland 10/ 1.16 1.11 0.84 0.91 0.52 0.51 0.34 0.28 0.27 0.26 0.25 0.26 0.27 Taiwan 10/ 1.60 1.40 1.20 1.20 1.20 1.20 1.14 0.45 0.30 0.30 0.30 0.30 0.30 Thailand 10/ 2.00 1.75 1.60 1.60 1.55 1.50 1.20 0.90 0.60 0.48 0.38 0.38 0.38 Turkey 10/ 2.00 1.93 1.66 1.78 1.63 1.16 0.82 0.76 0.66 0.41 0.38 0.38 0.38 United Kingdom 8/
- http://www.fcc.gov/Bureaus/International/Orders/2000/fcc00302.doc
- assignments, to encourage the pursuit of attainable feeder links and discourage de facto milestone delays. 47 C.F.R. § 25.143(e)(1), as amended herein. See Appendix D. See also Section III.C.4, infra. 47 C.F.R. § 25.143(e)(3), as amended herein. See Appendix D. IUSG Comments at 40 & Reply at 39; ICO Comments at 17. Globalstar Comments at 37-39. See 47 C.F.R. § 1.16. IUSG Comments at 39. Constellation Comments at 25. 47 U.S.C. § 319(d). Under this statutory authority, the Commission has eliminated the requirement that applicants be granted construction permits for space stations and earth stations under Part 25, Sections 25.113(f), (b). Streamlining the Commission's Rules and Regulations for Satellite Application and Licensing Procedures, IB Docket No. 95-117, Report and Order, 11
- http://www.fcc.gov/Bureaus/International/Public_Notices/2000/da000014.doc
- has approved the release of additional proposals for WRC-2000 which were developed by NTIA's Radio Conference Subcommittee (RCS). Included are: 1) a draft proposal for conference Agenda Item 1.15.1 (new allocations to the Radionavigation-Satellite Service (RNSS)) that proposes no change to the existing allocations in the 5000-5150 MHz band, 2) proposed changes to an existing draft proposal for Agenda Item 1.16 that improves the allocation status for the Fixed-Satellite Service (FSS) in the 231.5-241 GHz band while affording greater protection for the Radio Astronomy Service in adjacent bands, 3) a draft proposal for the modification Recommendation 66 based on the progress of work in the ITU-R, and 4) a draft proposal for the suppression of Resolutions 60 and 63 since work
- http://www.fcc.gov/Bureaus/Mass_Media/Notices/2001/fcc01329.pdf http://www.fcc.gov/Bureaus/Mass_Media/Notices/2001/fcc01329.txt
- FM Classical Rockford, IL 150 Rockford IL Northern Illinois University 1991 0 0 0 B WYHY FM Oldies Rockford, IL 150Winnebago IL RadioWorks Inc 1971 May-99 2100 8.8 0.83 A WNTA AM Nws/Tlk/Old Rockford, IL 150 Rockford IL RadioWorks Inc 1953 Aug-99 500 4 0.53 B WXRX FM Clsc Rock Rockford, IL 150Belvidere IL RadioWorks Inc 1971 Aug-99 2600 9.4 1.16 A WGFB FM AC Rockford, IL 150 Rockton IL RadioWorks Inc 1963 Oct-99 1825 4.6 1.15 A Out of Market Stations (Home Market Listed) WLS AM News/Talk Chicago, IL 3 Chicago IL ABC Radio Incorporated 1924 Feb-96 18300 1.9 A WMVP AM Sports Chicago, IL 3 Chicago IL ABC Radio Incorporated 1926 Apr-99 8600 0 A WKIE FM CHR/Rhymc Chicago,
- http://www.fcc.gov/Bureaus/OMD/News_Releases/2001/nrmd0106.pdf http://www.fcc.gov/Bureaus/OMD/News_Releases/2001/nrmd0106.txt
- overnight delivery service other than U.S. Postal Service Express and Priority Mail to the Commission's headquarters; by 9:00 PM EST if filed by hand delivery at the Capitol Heights, Maryland location; or by 12:00 midnight EST if resubmitted electronically. All refilings pursuant to this paragraph shall be accompanied by a signed affidavit or a declaration pursuant to Commission rule section 1.16 stating that the previously filed pleading was timely filed in accordance with Commission rules, the date the pleading was originally sent to the Commission, and by what means. Covered Pleadings submitted up to 7 calendar days following the effective date of this order in a manner not consistent with its terms must be refiled in the same manner as Covered
- http://www.fcc.gov/Bureaus/OMD/Orders/fcc01345.pdf http://www.fcc.gov/Bureaus/OMD/Orders/fcc01345.txt
- Postal Service Express and Priority Mail to the Commission's headquarters, prior to 5:30 PM Eastern Time on the seventh calendar day following the effective date of this order. Three exceptions to these requirements are specified in paragraph 4 below. All refilings pursuant to this paragraph shall be accompanied by a signed affidavit or a declaration pursuant to Commission rule section 1.16 stating that the previously filed pleading was timely filed in accordance with Commission rules, the date the pleading was originally sent to the Commission, and by what means. Covered Pleadings submitted up to 7 calendar days following the effective date of this order in a manner not consistent with its terms must be refiled in the same manner as Covered
- http://www.fcc.gov/Bureaus/Wireless/Orders/2000/fcc00055.doc
- of proof is on Veracon to prove that Quatron had discontinued operations and it has failed to meet its burden. 16. Veracon emphasizes that its evidence was submitted in affidavit form or otherwise under the penalty of perjury and is thus entitled to greater weight than that of Quatron, which was not submitted in such form. Veracon argues that Section 1.16 of the Commission's Rules mandates that filings to the Commission be made under penalty of perjury. In doing so, it argues that because Quatron failed to submit evidence under the same conditions, that evidence is insufficient to overcome Veracon's arguments. 17. The Commission has established numerous procedural safeguards to assure the validity of information presented by parties. First, the signature
- http://www.fcc.gov/Bureaus/Wireline_Competition/Orders/2002/fcc02118.pdf
- MR-1-02- 2000 Status Trouble 4.7 3.24 5.01 1.45 5.56 0.45 5.57 0.45 5.43 0.39 MR-1-03- 2000 Modify Trouble 5.86 6 6.02 8.03 5.9 8.62 5.67 0.46 6.24 NA a,b,c,d MR-1-04- 2000 Request Cancellation of Trouble 7 8.13 7.17 7.97 7.14 6.02 6.76 2.42 7.43 2.22 d MR-1-05- 2000 Trouble Report History (by TN/Circuit) 0.55 2.59 0.39 1.75 0.33 1.01 0.32 1.16 0.52 0.99 MR-1-06- 2000 Test Trouble (POTS Only)-RETAIL only 62.41 47.15 62.6 45.25 56.04 44.96 56.18 44 56.88 46.33 BILLING BI-1 - Timeliness of Daily Usage Feed BI-1-02-2030 % DUF in 4 Business Days 99.88 99.54 99.87 99.75 99.91 a,b BI-2 Timeliness of Carrier Bill BI-2-01-2030 Timeliness of Carrier Bill 98.46 98.78 99.09 99.32 95.54 BI-3 - Billing Accuracy
- http://www.fcc.gov/Reports/fcc2003budget.html?page=5
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2003budget.html?page=5&contrast=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2003budget.html?page=5&contrast=highContrast
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2003budget.html?page=5&fontsize=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2003budget.html?page=5&fontsize=largeFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2003budget.html?page=5&fontsize=mediumFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2004budget.html?page=5
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2004budget.html?page=5&contrast=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2004budget.html?page=5&contrast=highContrast
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2004budget.html?page=5&fontsize=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2004budget.html?page=5&fontsize=largeFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2004budget.html?page=5&fontsize=mediumFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2005budget.html?page=5
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2005budget.html?page=5&contrast=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2005budget.html?page=5&contrast=highContrast
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2005budget.html?page=5&fontsize=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2005budget.html?page=5&fontsize=largeFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2005budget.html?page=5&fontsize=mediumFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2006budget.html?page=5
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2006budget.html?page=5&contrast=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2006budget.html?page=5&contrast=highContrast
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2006budget.html?page=5&fontsize=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2006budget.html?page=5&fontsize=largeFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2006budget.html?page=5&fontsize=mediumFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2007budget.html?page=5
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2007budget.html?page=5&contrast=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2007budget.html?page=5&contrast=highContrast
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2007budget.html?page=5&fontsize=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2007budget.html?page=5&fontsize=largeFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2008budget.html?page=5&contrast=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/fcc2008budget.html?page=5&contrast=highContrast
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/imp_rpt.html?page=5&contrast=
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/imp_rpt.html?page=5&contrast=highContrast
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
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- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/tfr_rel.html?page=5&fontsize=largeFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/Reports/tfr_rel.html?page=5&fontsize=mediumFont
- in... * [86]Numbering Resource Utilization in the U.S. (As of 06/30/08) 03.13.2009 This is the Federal Communications Commissions report on numbering resource utilization in ... * [87]Commercial Mobile Radio Services (CMRS) Competition Report (13th Annual) 02.16.2009 Mobile wireless competition reports contain data and information that the FCC uses to analyze... * [88]High Speed Services for Internet Access (As of 12/31/07) 01.16.2009 We summarize here information from the seventeenth semi-annual data collection, thereby presenting... * [89] * [90] * * [91]2 * [92]3 * [93]4 * [94]5 * 6 * [95]7 * [96]8 * [97]9 * [98]10 * * [99] * [100] Connect * [101]Facebook * [102]Twitter * [103]YouTube * [104]Flickr Share this page * Reddit * Digg * Facebook * Twitter
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-250390A1.html
- of this Notice of Apparent Liability. This information will be used for tracking purposes only. Your response or failure to respond to this question will have no effect on your rights and responsibilities pursuant to Section 503(b) of the Communications Act. If you have questions regarding any of the information contained in Attachment A, please contact OCBO at (202) 418-0990. 1.16. IT IS FURTHER ORDERED that this Notice of Apparent Liability for Forfeiture shall be sent, by Certified Mail, Return Receipt Requested, and regular mail, to Farmworker Educational Network, Inc., 4600 Ashe Road, Suite 313, Bakersfield, California 93313. Additionally, a copy of this Notice of Apparent Liability for Forfeiture shall be sent by regular mail to Farmworker Educational Network, Inc., 6313
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-256485A1.html
- financial status. Any claim of inability to pay must specifically identify the basis for the claim by reference to the financial documentation submitted. 1.15. Requests for payment of the full amount of this Notice of Apparent Liability for Forfeiture under an installment plan should be sent to: Chief, Revenue and Receivable Operation Group, 445 12th Street, S.W., Washington, D.C. 20554.16 1.16. IT IS FURTHER ORDERED that this Notice of Apparent Liability for Forfeiture shall be sent, by Certified Mail, Return Receipt Requested, and regular mail, to Lazer Broadcasting Corporation, 2627 W. Florida Avenue, Suite 109, Hemet, CA 92545. FEDERAL COMMUNICATIONS COMMISSION William R. Zears Jr. District Director San Diego District Office Western Region Enforcement Bureau _________________________ 147 C.F.R. 11.35. 247 U.S.C.
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-260117A1.html
- petitioner submits: (1) federal tax returns for the most recent three-year period; (2) financial statements prepared according to generally accepted accounting practices (``GAAP''); or (3) some other reliable and objective documentation that accurately reflects the petitioner's current financial status. Any claim of inability to pay must specifically identify the basis for the claim by reference to the financial documentation submitted. 1.16. Requests for payment of the full amount of this Notice of Apparent Liability for Forfeiture under an installment plan should be sent to: Chief, Revenue and Receivable Operation Group, 445 12th Street, S.W., Washington, D.C. 20554.14 1.17. IT IS FURTHER ORDERED THAT this NOTICE OF APPARENT LIABILITY shall be sent, by Certified Mail, Return Receipt Requested to Farmworkers Educational Radio
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-262295A1.html
- referenced above. Payment by check or money order may be mailed to Federal Communications Commission, P.O. Box 358340, Pittsburgh, PA 15251-8340. Payment by overnight mail may be sent to Mellon Bank /LB 358340, 500 Ross Street, Room 1540670, Pittsburgh, PA 15251. Payment by wire transfer may be made to ABA Number 043000261, receiving bank Mellon Bank, and account number 911-6106 1.16. The response, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, California 92111 and must include the NAL/Acct. No. referenced above. 17. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits: (1)
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-263779A1.html
- referenced above. Payment by check or money order may be mailed to Federal Communications Commission, P.O. Box 358340, Pittsburgh, PA 15251-8340. Payment by overnight mail may be sent to Mellon Bank /LB 358340, 500 Ross Street, Room 1540670, Pittsburgh, PA 15251. Payment by wire transfer may be made to ABA Number 043000261, receiving bank Mellon Bank, and account number 911-6106. 1.16. The response, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., Suite 660, Cerritos, California 90703 and must include the NAL/Acct. No. referenced above. 17. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits: (1) federal
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295454A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Cablevision to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cablevision with personal knowledge of the representations provided in Cablevision's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295455A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295456A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295457A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295458A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Forever Broadcasting LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Forever Broadcasting LLC with personal knowledge of the representations provided in Forever Broadcasting LLC's response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295595A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Believe & Achieve Family and Educational Center, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Believe & Achieve Family and Educational Center, Inc. with personal knowledge of the representations provided in Believe & Achieve Family and Educational
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295627A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hearst-Argyle Stations, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hearst-Argyle Stations, Inc., with personal knowledge of the representations provided in Hearst-Argyle Stations, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295629A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CAPSTAR to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CAPSTAR with personal knowledge of the representations provided in CAPSTAR's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295634A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Mount San Antonio Community College District to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Mount San Antonio Community College District with personal knowledge of the representations provided in Mount San Antonio Community College District's response, verifying the truth
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295635A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Time Warner to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Time Warner with personal knowledge of the representations provided in Time Warner's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295637A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CCR to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CCR with personal knowledge of the representations provided in CCR's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295639A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Palomar Community College District to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Palomar Community College District with personal knowledge of the representations provided in Palomar Community College District 's response, verifying the truth and accuracy of the information
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295640A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct SDCCD to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of SDCCD with personal knowledge of the representations provided in SDCCD's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295830A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Weber to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Weber with personal knowledge of the representations provided in Weber's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295831A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Beacon to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Beacon with personal knowledge of the representations provided in Beacon's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295833A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Mountain Broadcasting LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Mountain Broadcasting LLC with personal knowledge of the representations provided in Mountain Broadcasting LLC's response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295906A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Union Free to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Union Free with personal knowledge of the representations provided in Union Free's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295908A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct L-COM, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Farm & Home Broadcasting Company with personal knowledge of the representations provided in L-COM, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295909A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct L-Com Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of L-Com Inc. with personal knowledge of the representations provided in L-Com Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-295911A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Stone/Collins Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Stone/Collins Communications, Inc. with personal knowledge of the representations provided in Stone/Collins Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-296413A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Kickin' Country Broadcasting, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Stone/Collins Communications, Inc. with personal knowledge of the representations provided in Stone/Collins Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-296418A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Radio Disney Group, LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Radio Disney Group, LLC, with personal knowledge of the representations provided in Radio Disney Group, LLC response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-296419A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Cactus Radio, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cactus Radio, Inc., with personal knowledge of the representations provided in Cactus Radio, Inc. response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-296581A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct New Millenium to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of New Millenium with personal knowledge of the representations provided in New Millenium's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-296712A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Clarion County Broadcasting Corp to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Clarion County Broadcasting Corp with personal knowledge of the representations provided in Clarion County Broadcasting Corp's response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-296842A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Universal Broadcasting of New York, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Universal Broadcasting of New York, Inc. with personal knowledge of the representations provided in Universal Broadcasting of New York, Inc.'s response, verifying the truth
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-296847A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct San Luis Obispo Broadcasting to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of San Luis Obispo Broadcasting with personal knowledge of the representations provided in San Luis Obispo Broadcasting response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-297322A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hispanic Target Media, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hispanic Target Media, Inc., with personal knowledge of the representations provided in Hispanic Target Media, Inc., response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-298186A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct The Allen Broadcasting Corp., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of The Allen Broadcasting Corp., with personal knowledge of the representations provided in The Allen Broadcasting Corp.'s response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-298343A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct WLFM,LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of WLFM,LLC with personal knowledge of the representations provided in WLFM,LLC's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-298527A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Seton Hall University to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Seton Hall University with personal knowledge of the representations provided in Seton Hall University's response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-298637A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct RK Media Group, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RK Media Group, with personal knowledge of the representations provided in RK Media Group's response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-298638A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Broadcasting Corporation of America, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Broadcasting Corporation of America, with personal knowledge of the representations provided in Broadcasting Corporation of America's response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-299106A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CBS Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CBS Radio, with personal knowledge of the representations provided in CBS Radio Stations, Inc. response, verifying the truth and accuracy of the information therein, and confirming that all
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-299107A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CBS Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CBS Radio, with personal knowledge of the representations provided in CBS Radio Stations, Inc. response, verifying the truth and accuracy of the information therein, and confirming that all
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-299108A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hi-Favor, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hi-Favor, with personal knowledge of the representations provided in Hi-Favor's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-299110A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Burbach of DE, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Burbach of DE, LLC with personal knowledge of the representations provided in Burbach of DE, LLC response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-299114A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct New York University to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of New York University with personal knowledge of the representations provided in New York University's response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-299115A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct 6 Johnson Road Licenses, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of 6 Johnson Road Licenses, Inc. with personal knowledge of the representations provided in 6 Johnson Road Licenses, Inc.'s response, verifying the truth and accuracy of
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-299874A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Ondas, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ondas, with personal knowledge of the representations provided in Ondas De Vida Network, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that all of
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-300854A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct One Love Outreach, Inc, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of One Love Outreach, Inc, with personal knowledge of the representations provided in One Love Outreach, Inc's response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-300922A1.html
- facts and circumstances, (ii) must fully explain each violation, including action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Word Power, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Word Power, Inc. with personal knowledge of the representations provided in Word Power, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-301056A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices.4 4. In accordance with Section 1.16 of the Commission's Rules, we direct MPS Media of Tennessee, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of MPS Media of Tennessee, LLC with personal knowledge of the representations provided in MPS Media of Tennessee, LLC response, verifying the truth and accuracy of
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-301057A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct New Age Media of Tennessee License, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of New Age Media of Tennessee License, LLC with personal knowledge of the representations provided in New Age Media of Tennessee License, LLC response,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-301059A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct SMCCD to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of SMCCD with personal knowledge of the representations provided in SMCCD's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-301925A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hi-Favor, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Payson Classical, with personal knowledge of the representations provided in Payson Classical's response, verifying the truth and accuracy of the information therein, and confirming that all of the information
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-301926A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Cable One, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cable One, with personal knowledge of the representations provided in Cable One response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-301927A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Circle S, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Circle S, with personal knowledge of the representations provided in Circle S response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-302029A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Ho'ona'auao Community TV, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ho'ona'auao Community TV, Inc., with personal knowledge of the representations provided in Ho'ona'auao Community TV, Inc.'s response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-302030A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Premier Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Premier Radio, with personal knowledge of the representations provided in Premier Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-302530A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Holiday to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Holiday with personal knowledge of the representations provided in Holiday's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-302531A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct KSOP to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KSOP with personal knowledge of the representations provided in KSOP response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-302946A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hero to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hero with personal knowledge of the representations provided in Hero's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-303042A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Iron River TV to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Iron River TV with personal knowledge of the representations provided in Iron River TV response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-303222A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Heartland to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Heartland with personal knowledge of the representations provided in Heartland's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-303695A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Oasis to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Oasis with personal knowledge of the representations provided in Oasis' response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-303811A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CFCD to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CFCD with personal knowledge of the representations provided in CFCD's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-303812A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Davidson Media Station WTMT licensee, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Davidson Media Station WTMT Licensee, LLC with personal knowledge of the representations provided in Davidson Media Station WTMT Licensee, LLC's response, verifying the truth
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-303813A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Davidson Media Station to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Davidson Media Station with personal knowledge of the representations provided in Davidson Media Station's response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-303989A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bird to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bird with personal knowledge of the representations provided in Bird's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-304202A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Erie Christian Broadcasting, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Erie Christian Broadcasting, Inc. with personal knowledge of the representations provided in Erie Christian Broadcasting, Inc.'s response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-304628A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Radio Hawaii, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Radio Hawaii, Inc., with personal knowledge of the representations provided in Radio Hawaii, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-305116A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Clarion to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Clarion with personal knowledge of the representations provided in Clarion's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-305159A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Vanguard Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Vanguard Radio, with personal knowledge of the representations provided in Vanguard Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-305160A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Vanguard Radio, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Vanguard Radio, with personal knowledge of the representations provided in Vanguard Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-305410A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Enrico S. Brancadora to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of AM Station WIBG with personal knowledge of the representations provided in Enrico S. Brancadora's response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-306449A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Langer Broadcasting Outdoors, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of AM Station WFYL with personal knowledge of the representations provided in Langer Broadcasting Outdoors, Inc.'s response, verifying the truth and accuracy of the information therein, and
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-306474A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hearst Stations Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hearst Stations Inc., with personal knowledge of the representations provided in Hearst Stations Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-306901A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Louisville TV Licenses, LLC to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Louisville TV Licenses, LLC with personal knowledge of the representations provided in Louisville TV Licenses, LLC response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-307477A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct ICS to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of ICS with personal knowledge of the representations provided in ICS response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-307999A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Charles R. Meeker, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the licensee, with personal knowledge of the representations provided in Charles R. Meeker's response, verifying the truth and accuracy of the information therein, and confirming that all
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308322A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308323A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308324A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308325A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308326A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Bicoastal Media to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Bicoastal Media with personal knowledge of the representations provided in Bicoastal Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308421A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus' response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308425A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus' response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308426A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus'response, verifying the truth and accuracy of the information therein, and confirming that all of the information
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308427A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct the Opus to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Opus with personal knowledge of the representations provided in the Opus'response, verifying the truth and accuracy of the information therein, and confirming that all of the information
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308940A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Clear Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of FM Station WVLT with personal knowledge of the representations provided in Clear Communication Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-308942A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Lesea Broadcasting of Hawaii, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Lesea Broadcasting of Hawaii, Inc., with personal knowledge of the representations provided in Lesea Broadcasting of Hawaii, Inc.'s response, verifying the truth and accuracy of
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309208A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Eastern Utah Broadcasting Company to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Eastern Utah Broadcasting Company with personal knowledge of the representations provided in Eastern Utah Broadcasting Company response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309310A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Verizon to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Verizon with personal knowledge of the representations provided in Verizon's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309449A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Valley Christian Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Valley Christian Radio Corp. with personal knowledge of the representations provided in Valley Christian Radio Corp.'s response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309786A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Knology f the Plains, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Knology with personal knowledge of the representations provided in Knology's response, verifying the truth and accuracy of the information therein, and confirming that all of
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309787A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Polynesian Broadcasting, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Polynesian Broadcasting, Inc., with personal knowledge of the representations provided in Polynesian Broadcasting, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309788A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309789A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309790A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309791A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Pacific Empire Radio Corp. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Pacific Empire Radio Corp. with personal knowledge of the representations provided in Pacific Empire Radio Corp's response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309794A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct UNM, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of UNM, with personal knowledge of the representations provided in UNM's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309795A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Vanguard Media, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Vanguard Media, with personal knowledge of the representations provided in Vanguard Media's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309796A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Lifetalk, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Lifetalk, with personal knowledge of the representations provided in Lifetalk's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309797A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct El Camino, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of El Camino, with personal knowledge of the representations provided in El Camino's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309798A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct SFCC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of SFCC, with personal knowledge of the representations provided in SFCC's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309799A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct La Voz, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of La Voz, with personal knowledge of the representations provided in La Voz's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309803A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct JMK Communications, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of JMK Communications, Inc., with personal knowledge of the representations provided in JMK Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-309811A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Comcast to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Comcast, with personal knowledge of the representations provided in Comcast's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310098A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Agpal to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Agpal Broadcasting Inc. with personal knowledge of the representations provided in Agpal's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310099A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Agpal to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Agpal Broadcasting Inc. with personal knowledge of the representations provided in Agpal's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310100A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Eureka to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Eureka Broadcasting Co., Inc. with personal knowledge of the representations provided in the Eureka's response, verifying the truth and accuracy of the information therein, and confirming that all
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310101A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Eureka to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of the Eureka Broadcasting Co., Inc. with personal knowledge of the representations provided in the Eureka's response, verifying the truth and accuracy of the information therein, and confirming that all
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310311A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Ohana Broadcast Company LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ohana Broadcast Company LLC, with personal knowledge of the representations provided in Ohana Broadcast Company LLC's response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310312A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Capstar TX LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Capstar TX LLC, with personal knowledge of the representations provided in Capstar TX LLC's response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310313A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Ohana Broadcast Company LLC, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Ohana Broadcast Company LLC, with personal knowledge of the representations provided in Ohana Broadcast Company LLC's response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310620A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Mediacom, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Mediacom with personal knowledge of the representations provided in Mediacom's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310731A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Lake Michigan Broadcasting, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Lake Michigan Broadcasting, Inc. with personal knowledge of the representations provided in Lake Michigan Broadcasting, Inc.'s response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310868A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct HTM, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of HTM, with personal knowledge of the representations provided in HTM's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310869A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Media Enterprises, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Media Enterprises, Inc. with personal knowledge of the representations provided in Media Enterprises, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310870A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Oasis to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Oasis with personal knowledge of the representations provided in Oasis's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-310970A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with section 1.16 of the Commission's Rules, we direct Crystal Coast Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Crystal Coast Communications, Inc. with personal knowledge of the representations provided in Crystal Coast Communications, Inc.'s response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311568A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Keyhole to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Keyhole with personal knowledge of the representations provided in Keyhole response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311569A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Keyhole to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Keyhole with personal knowledge of the representations provided in Keyhole response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311695A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's rules, we direct Cantroair to support its response to this Notice with a statement under penalty of perjury, signed and dated by an authorized officer of Cantroair with personal knowledge of the representations provided in Cantroair's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by this Notice
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311702A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Telefutura to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Telefutura with personal knowledge of the representations provided in Telefutura's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311703A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct KMEX to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KMEX with personal knowledge of the representations provided in KMEX's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311710A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 5. In accordance with Section 1.16 of the Commission's Rules, we direct Susan L. Uecker, Receiver, to support her response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by Susan L. Uecker, Receiver, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by this Notice which is in the licensee's possession,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311713A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Cequel to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Cequel with personal knowledge of the representations provided in Cequel's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311714A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct CALNEVA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of CALNEVA with personal knowledge of the representations provided in CALNEVA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-311715A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct KM Radio to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KM Radio with personal knowledge of the representations provided in KM Radio's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312032A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's rules, we direct Double O Texas Corporation to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Double O Texas Corporation with personal knowledge of the representations provided in Double O Texas Corporation response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312033A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's rules, we direct Double O Texas Corporation to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Double O Texas Corporation with personal knowledge of the representations provided in Double O Texas Corporation response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312038A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Calvary Chapel to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Calvary Chapel with personal knowledge of the representations provided in Calvary Chapel response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312039A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Calvary Chapel to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Calvary Chapel with personal knowledge of the representations provided in Calvary Chapel response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312040A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312041A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312042A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312043A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312044A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Brahmin to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Brahmin with personal knowledge of the representations provided in Brahmin's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312045A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Freisland to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Freisland with personal knowledge of the representations provided in Freisland's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312046A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Freisland to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Freisland with personal knowledge of the representations provided in Freisland's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312553A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Curran Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Curran Communications, Inc. with personal knowledge of the representations provided in Curran Communications, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312556A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's rules, we direct Wings Communications, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Wings Communications, Inc. with personal knowledge of the representations provided in Wings Communications, Inc. response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312655A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct White Park to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of White Park with personal knowledge of the representations provided in White Park's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312656A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct White Park to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of White Park with personal knowledge of the representations provided in White Park's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312657A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct White Park to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of White Park with personal knowledge of the representations provided in White Park's response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-312908A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Adelman Broadcasting, Inc. to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Adelman Broadcasting, Inc. with personal knowledge of the representations provided in Adelman Broadcasting, Inc. response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313072A1.html
- upon any change in height or change in ownership information." Although antenna structure number 1221656 was not transferred to another entity, its owner changed its legal name, and, at the time of inspection, the Antenna Structure Registration Database still listed Day Star Communications' previous name. 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Sections 1.16 and 1.89 of the Commission's rules, Day Star Communications must submit a written statement concerning this matter within twenty (20) calendar days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and should include a time line for completion of pending
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313467A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct A&J to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of A&J with personal knowledge of the representations provided in A&J's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313468A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Gulf-CA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Gulf-CA with personal knowledge of the representations provided in Gulf-CA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313584A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct RMB to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RMB with personal knowledge of the representations provided in RMB's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313585A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct RMB to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RMB with personal knowledge of the representations provided in RMB's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313586A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct RMB to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RMB with personal knowledge of the representations provided in RMB's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313587A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Gulf-CA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Gulf-CA with personal knowledge of the representations provided in Gulf-CA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313588A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Gulf-CA to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Gulf-CA with personal knowledge of the representations provided in Gulf-CA's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313996A1.html
- Any false statement made knowingly and willfully in reply to this Notice is punishable by fine or imprisonment under Title 18 of the U.S. Code. FEDERAL COMMUNICATIONS COMMISSION Ralph M. Barlow District Director Tampa District Office South Central Region Enforcement Bureau 47 C.F.R. S: 1.89. 47 U.S.C. S: 308(b). 47 C.F.R. S: 1.89. 47 C.F.R. S: 1.89(c). 47 C.F.R. S: 1.16. P.L. 93-579, 5 U.S.C. S: 552a(e)(3). 18 U.S.C. S: 1001 et seq. Federal Communications Commission 2 Federal Communications Commission References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313996A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DOC-313996A1.doc
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313997A1.html
- Registration Number must be weather-resistant and of sufficient size to be easily seen at the base of the antenna structure." At the time of inspection, there was no Antenna Structure Registration Number posted on the fence or nearby the base of antenna structure number 1030576. 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Sections 1.16 and 1.89 of the Commission's rules, In Site Towers must submit a written statement concerning this matter within twenty (20) calendar days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and should include a time line for completion of pending
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-313999A1.html
- 20 micro-volts per meter, measured at 3 meters." At the time of the inspection, agents observed the indicated signal leakage, on the frequency of 121.2625 MHz, at the following locations: 1. 4203 Matanzas Avenue ----------------------- 397.64 uV/m 2. Pole at 4804 Juanita Avenue------------------ 28.40 uV/m 3. Pursuant to Section 308(b) of the Communications Act of 1934, as amended, and Sections 1.16 and 1.89 of the Commission's rules, Comcast Cable Communications, must submit a written statement concerning this matter within twenty (20) days of release of this Notice. The response must fully explain each violation, must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and should include a time line for completion of pending corrective
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-314039A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct KHLS, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of KHLS, Inc., with personal knowledge of the representations provided in KHLS, Inc.'s response, verifying the truth and accuracy of the information therein, and confirming that all of the
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-314040A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Salem Media of Hawaii, Inc., to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Salem Media of Hawaii, Inc., with personal knowledge of the representations provided in Salem Media of Hawaii, Inc.'s response, verifying the truth and accuracy of
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-314041A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Trinity Broadcasting Network, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Trinity Broadcasting Network, with personal knowledge of the representations provided in Trinity Broadcasting Network's response, verifying the truth and accuracy of the information therein, and confirming that
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-314042A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct Hawaii Public Television Foundation, to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Hawaii Public Television Foundation, with personal knowledge of the representations provided in Hawaii Public Television Foundation's response, verifying the truth and accuracy of the information therein,
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-314315A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Rules, we direct Quinn to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Quinn with personal knowledge of the representations provided in Quinn's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by this
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-314316A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Rules, we direct Quinn to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of Quinn with personal knowledge of the representations provided in Quinn's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by this
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-314320A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 5. In accordance with Section 1.16 of the Commission's Rules, we direct LBI to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of LBI with personal knowledge of the representations provided in LBI's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/FieldNotices/2003/DOC-314686A1.html
- and circumstances, (ii) must contain a statement of the specific action(s) taken to correct each violation and preclude recurrence, and (iii) must include a time line for completion of any pending corrective action(s). The response must be complete in itself and must not be abbreviated by reference to other communications or answers to other notices. 4. In accordance with Section 1.16 of the Commission's Rules, we direct RAMH to support its response to this Notice with an affidavit or declaration under penalty of perjury, signed and dated by an authorized officer of RAMH with personal knowledge of the representations provided in RAMH's response, verifying the truth and accuracy of the information therein, and confirming that all of the information requested by
- http://www.fcc.gov/eb/Orders/2002/DOC-240879A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240880A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240913A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240923A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240929A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240934A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240937A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240950A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240953A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240954A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240957A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240958A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240973A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-240975A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241013A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241069A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241070A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241071A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241072A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241073A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241074A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241111A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241147A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241175A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
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- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241185A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241186A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241187A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241188A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241205A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241230A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241316A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/DOC-241319A1.html
- business's behalf; or b. The fax broadcaster's marketing of its fax broadcasting service. Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your business, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2002/FCC-02-132A1.html
- If confidential treatment is sought, redacted versions of the reports still must be served as required by the Consent Decree. 5 Cingular should serve the Executive Director of each organization as well as its counsel, to the extent such counsel has been identified in the record in response to Cingular's request for relief. 6 See www.fcc.gov/e911. 7 See 47 C.F.R. 1.16. As required by Section 20.18(h)(1) of the Commission's Rules, Cingular's network- based technology for delivering E911 Phase II location information must meet the following standards for location accuracy: 100 meters for 67 percent of calls, 300 meters for 95 percent of calls. Cingular will derive its network- wide location accuracy by selecting the 67 percent and 95 percent accuracy numbers
- http://www.fcc.gov/eb/Orders/2002/FCC-02-174A1.html
- AT&T Wireless as described in this Consent Decree pertains only to AT&T Wireless's TDMA and TDMA/AMPS network. 17 AT&T Wireless should serve the Executive Director of each organization as well as its counsel, to the extent such counsel has been identified in the record in response to AT&T Wireless's request for relief. 18 See e911 >. 19 See 47 C.F.R. 1.16. As required by Section 20.18(h)(1) of the Commission's Rules, AT&T Wireless's network-based technology for delivering E911 Phase II location information must meet the following standards for location accuracy: 100 meters for 67 percent of calls, 300 meters for 95 percent of calls. AT&T Wireless will derive its network-wide location accuracy by selecting the 67 percent and 95 percent accuracy numbers
- http://www.fcc.gov/eb/Orders/2002/FCC-02-283A1.html
- conditions imposed on AT&T Wireless as described in this Consent Decree pertains only to AT&T Wireless's GSM network. 13 AT&T Wireless should serve the Executive Director of each organization as well as its counsel, to the extent such counsel has been identified in the record in response to AT&T Wireless's request for relief. 14 See e911>. 15 See 47 CFR 1.16. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-02-283A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-02-283A1.doc
- http://www.fcc.gov/eb/Orders/2003/DA-03-2614A1.html
- return receipt requested, to Billy R. Autry, 145 Memphis Street, Holly Springs, Mississippi 38635. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 73.49, 73.1745. 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332620012 (Enf. Bur., New Orleans Office, released March 17, 2003). 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2614A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2614A1.doc
- http://www.fcc.gov/eb/Orders/2003/DA-03-2615A1.html
- Best Country Broadcasting, LLC, P.O. Box 280, Bogalusa, Louisiana 70429-0280. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau - Unhandled Picture - _________________________ 1 47 C.F.R. 17.4(a). 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332620009 (Enf. Bur., New Orleans Office, released February 19, 2003). 3 47 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2615A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2615A1.doc
- http://www.fcc.gov/eb/Orders/2003/DA-03-2741A1.html
- 33162 and 1000 N. Hiatus Road, Suite 110, Pembroke Pines, Florida 33026. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 1.903(a), 90.403(f) and 90.425(a). 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332600001 (Enf. Bur., Miami Office, released March 18, 2003). 3 47 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth herein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2741A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-2741A1.doc
- http://www.fcc.gov/eb/Orders/2003/DA-03-3320A1.html
- certified mail return receipt requested, to Davies Communications Inc., P.O. Box 1069, McPherson Kansas 67460. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 73.3526(a)(2). 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332560020 (Enf. Bur., Kansas City Office, released April 7, 2003). 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3320A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3320A1.doc
- http://www.fcc.gov/eb/Orders/2003/DA-03-3339A1.html
- and certified mail return receipt requested, to Chatterbox, Inc., 1348 Sunset Drive, Grenada, Mississippi 38901. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 11.61. 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332620011 (Enf. Bur., New Orleans Office, released April 18, 2003). 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3339A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3339A1.doc
- http://www.fcc.gov/eb/Orders/2003/DA-03-3410A1.html
- and certified mail return receipt requested, to Radio Centre Inc., P.O. Box 602, Centre, Alabama 35960-0602. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 73.49. 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332480021 (Enf. Bur., Atlanta Office, released April 15, 2003). 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3410A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-03-3410A1.doc
- http://www.fcc.gov/eb/Orders/2003/FCC-03-129A1.html
- by the cell sites, and the number of cell sites associated with each PSAP. For example, it could report that Phase II technology has been deployed to County A PSAP, covering 300 cell sites; Locality B PSAP, covering 600 cell sites, and Municipality C PSAP, covering 100 cell sites, for a total of 1,000 cell sites. 15 See 47 CFR 1.16. 16 City of Richardson Reconsideration Order at para. 16. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-129A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-129A1.doc
- http://www.fcc.gov/eb/Orders/2003/FCC-03-172A1.html
- by the cell sites, and the number of cell sites associated with each PSAP. For example, it could report that Phase II technology has been deployed to County A PSAP, covering 300 cell sites; Locality B PSAP, covering 600 cell sites, and Municipality C PSAP, covering 100 cell sites, for a total of 1,000 cell sites. 16 See 47 CFR 1.16. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-172A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-03-172A1.doc
- http://www.fcc.gov/eb/Orders/2004/DA-04-1016A1.html
- Kelly Avenue, Blountstown, Florida 32424 and to 612 North Jefferson Street, Perry Florida 32347. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 11.35, 73.49, 73.3526(c). 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200432700006 (Enf. Bur., Tampa Office, released December 16, 2003). 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1016A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1016A1.doc
- http://www.fcc.gov/eb/Orders/2004/DA-04-1091A1.html
- C.F.R. 90.403(a). 20 Id. 21 47 C.F.R. 90.403(b). 22 Indeed, we note that Two-Way's principal apparently prepared the application on behalf of NOCC. Thus, any finding of misrepresentation or lack of candor by NOCC might also raise questions as to Two-Way's qualifications to be a Commission licensee. 23 47 U.S.C. 308(b). 24 Such affidavit or declaration should comply with Section 1.16 of Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1091A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1091A1.doc
- http://www.fcc.gov/eb/Orders/2004/DA-04-1296A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 3-C366 Washington, DC, 20554. Include the file number, EB-04-TC-078, in any correspondence. Under the Privacy Act
- http://www.fcc.gov/eb/Orders/2004/DA-04-1333A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 3-C366 Washington, DC, 20554. Include the file number, EB-04-TC-079, in any correspondence. Under the Privacy Act
- http://www.fcc.gov/eb/Orders/2004/DA-04-1577A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 3-C366 Washington, DC, 20554 Include the file number, EB-04-TC-098, in any correspondence. Under the Privacy Act
- http://www.fcc.gov/eb/Orders/2004/DA-04-1619A1.html
- requested, to Vector Communications, Inc. d/b/a WCFI, Inc., 3621 NW 10th Street, Ocala, Florida 34475. FEDERAL COMMUNICATIONS COMMISSION David H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 17.51(a). 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200432700005 (Enf. Bur., Tampa Office, released December 16, 2003). 3 47 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 0.111, 0.311, 1.80(f)(4). 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1619A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-1619A1.doc
- http://www.fcc.gov/eb/Orders/2004/DA-04-2020A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-115, in any correspondence. Under the Privacy Act
- http://www.fcc.gov/eb/Orders/2004/DA-04-3245A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-138, in any correspondence. Under the Privacy Act
- http://www.fcc.gov/eb/Orders/2004/DA-04-3831A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-140, in any correspondence. Under the Privacy Act
- http://www.fcc.gov/eb/Orders/2004/DA-04-3832A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-137, in any correspondence. Under the Privacy Act
- http://www.fcc.gov/eb/Orders/2004/DA-04-3866A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-162, in any correspondence. Under the Privacy Act
- http://www.fcc.gov/eb/Orders/2004/DA-04-70A1.html
- Ficka, III or Companies to, the entities or individuals listed above in 2(a)-(p). Provide any relevant documents. We encourage you to furnish any additional documents or provide a statement of any other facts that you believe may be relevant to this inquiry. Finally, you are directed to provide an affidavit or declaration pursuant to 28 U.S.C. 1746 and 47 C.F.R. 1.16, signed by an authorized officer of your company, which states that all of the documents and information requested by this letter which are in your possession, custody, control, or knowledge have been produced, and which certifies that the information produced is true and correct. You should be aware that the knowing and willful making of any false statement, or the
- http://www.fcc.gov/eb/Orders/2004/DA-04-898A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445-12th Street, S.W., Rm. 3-C366 Washington, D.C. 20554 Reference EB-04-TC-052 when corresponding with the Commission. Under the Privacy Act of 1974,
- http://www.fcc.gov/eb/Orders/2004/DA-04-923A1.html
- H. Solomon Chief, Enforcement Bureau _________________________ 1 47 C.F.R. 73.1125. 2 Notice of Apparent Liability for Forfeiture, NAL/Acct. No. 200332500011 (Enf. Bur., Dallas Office, released December 19, 2003). An Erratum was released on January 9, 2004, which corrected the NAL to indicate that the NAL/Acct. No. is 200432500002. 3 U.S.C. 308(b). 4 Such affidavit or declaration should comply with Section 1.16 of the Rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. 5 47 U.S.C. 503(b). 6 47 C.F.R. 1.80. 7 47 U.S.C. 504(a). 8 See 47 C.F.R. 1.1914. References 1. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-923A1.pdf 2. http://hraunfoss.fcc.gov/edocs_public/attachmatch/DA-04-923A1.doc
- http://www.fcc.gov/eb/Orders/2005/DA-05-2228A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-05-TC-046, in any correspondence. Under the Privacy Act
- http://www.fcc.gov/eb/Orders/2005/DA-05-2679A1.html
- control or knowledge have been produced. If multiple Company employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of the Company noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. The Company should direct its response to the attention of Kurt A. Schroeder Deputy Chief Telecommunications Consumers Division Enforcement Bureau Federal Communications Commission 445 12th Street, S.W., Rm. 4-C222 Washington, DC, 20554. Include the file number, EB-04-TC-040, in any correspondence. Under the Privacy Act
- http://www.fcc.gov/eb/Orders/2005/DA-05-2785A1.html
- or knowledge have been produced. If multiple Fax Marketing employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of Fax Marketing noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. 1.16, and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. See 18 U.S.C. 1001; see also 47 C.F.R. 1.17. Failure to respond appropriately to a Bureau LOI constitutes a violation
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- cards.''7 Contrary to the directions of the LOI, however, Blackstone did not provide financial statements, tax returns, or specific identification of its alleged non-telecommunications products, services and associated revenue. In addition, the certification Blackstone supplied to support its response did not contain a statement that it was made under penalty of perjury and thus failed to conform to Commission Rule 1.16, 47 C.F.R. 1.16, as required in the LOI.8 5. As a result of Blackstone's inadequate and incomplete response, the Bureau was compelled to send a second LOI to Blackstone on June 28, 2005, requesting additional information that would permit the Bureau to examine Blackstone's claim, directing it to provide complete responses to inquiries in the original LOI, and agreeing to
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- 13, 2004 (``Carrera Response''). Carrera did not respond fully to LOI Inquiry Numbers 8, 9, 10, and 12 regarding various regulatory program payments. In addition, the affidavit Carrera supplied to support its response did not contain a statement that it was made under penalty of perjury, as specifically required in the LOI, and thus failed to conform to Commission Rule 1.16, 47 C.F.R. 1.16. Moreover, in response to LOI Inquiry Number 5, Carrera did not provide a specific response setting forth the required revenue information. 32Letters from Hillary S. DeNigro, Deputy Chief, Investigations and Hearings Division, Enforcement Bureau, to Joann P. Bennett, Carrera, dated November 5, 2004 and January 21, 2005. Carrera's receipt of the letters was confirmed by return of
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- custody, control or knowledge have been produced. If multiple Intercoast employees contribute to the response, in addition to such general affidavit or declaration of the authorized officer of Intercoast noted above, provide separate affidavits or declarations of each such individual that identify clearly to which responses the affiant or declarant is attesting. All such declarations provided should comply with section 1.16 of the Commission's rules, 47 C.F.R. S 1.16, and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. See 18 U.S.C. S 1001; see also 47 C.F.R. S 1.17. Failure to respond appropriately to a Bureau LOI
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- intended to appear responsive to a portion of the October 28, 2004 LOI. Subsequent investigation showed, however, that Unicom never actually filed this worksheet with USAC. See Letter from Hillary DeNigro, Deputy Chief, Investigations and Hearings Division, Enforcement Bureau, FCC, to Charles D. D'Ascoli, Managing Partner, Unicom Communications, L.L.C., dated June 28, 2005 ("June 28, 2005 Letter"). 47 C.F.R. S 1.16. 47 U.S.C. S 503(b)(1)(B); 47 C.F.R. S 1.80(a)(1); see also 47 U.S.C. S 503(b)(1)(D) (forfeitures for violation of 14 U.S.C. S 1464). 47 U.S.C. S 312(f)(1). H.R. Rep. No. 97-765, 97^th Cong. 2d Sess. 51 (1982). See, e.g., Application for Review of Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388, P 5 (1991) ("Southern California
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- by an authorized officer of the Company with personal knowledge of the representations therein, verifying that Covad has complied with the terms of this Consent Decree. The declaration shall be submitted to Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. 13. Within five business days after the Adopting Order becomes a Final Order, Covad agrees that it shall make a voluntary contribution to the United States Treasury in the amount of $35,000. The payment shall be made by check or similar instrument, payable
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- Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission to P.J. Moody, Controller, Communication Options, Inc. (Aug. 28, 2006). See Letter from P.J. Moody, Controller, Communication Options, Inc. to David Janas, Special Counsel, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, dated August 30, 2006, ("LOI Response"). LOI at 9 (directing COI to comply with 47 C.F.R. S: 1.16). 47 U.S.C. S: 503(b)(1)(B); 47 C.F.R. S: 1.80(a)(1); see also 47 U.S.C. S: 503(b)(1)(D) (forfeitures for violation of 14 U.S.C. S: 1464). 47 U.S.C. S: 312(f)(1). H.R. Rep. No. 97-765, 97th Cong. 2d Sess. 51 (1982). See, e.g., Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388 (1991) ("Southern California Broadcasting Co."). See, e.g., Callais Cablevision,
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- Annual Report. Twelve (12) months and twenty-four (24) months after the Effective Date, TELUS shall submit an affidavit or declaration under penalty of perjury, signed and dated by an authorized representative of TELUS with personal knowledge of the representations therein, verifying that TELUS has complied with the terms of this Consent Decree. The declaration or affidavit must comply with Section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein The declaration shall be submitted to Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. g. Termination. TELUS' obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. 15. The Commission agrees
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- and dated by an authorized officer of Verizon with personal knowledge of the representations therein, verifying that Verizon has complied with the terms of this Consent Decree. The declaration shall be submitted to Kathryn S. Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with Section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. D. Termination. The provisions of this paragraph shall remain in effect for two (2) years from the Effective Date. 13. The Commission agrees that, in the absence of new material evidence, it will not institute, on its own motion or in response to
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- Enforcement Division Enforcement Bureau Letter from Kathryn S.Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, to Mr. Anthony Gallagher, President, Digital Antenna, Inc. (November 5, 2007). Response from Anthony Gallagher, President, Digital Antenna, Inc., to Kathryn Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau , Federal Communications Commission (November 6, 2007) ("response"). Id. at 2. Id. 47 C.F.R. S: 1.16. Letter from Kathryn S. Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, to Mr. Anthony Gallagher, President, Digital Antenna, Inc. (February 4, 2008). Response from Anthony Gallagher, President, Digital Antenna, Inc., to Kathryn Berthot, Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission (February 15, 2008) ("second LOI response"). Although the second LOI response was dated February 15,
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- signed and dated by an authorized officer of USWDI with personal knowledge of the representations therein, verifying that USWDI has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. g. Termination. USWDI's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. 19. The Bureau agrees that in the absence of new material evidence, it will not use the facts developed in this Investigation through the Effective Date, or
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- David Janas, Special Counsel, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, dated August 23, 2006. Letter from Trent Harkrader, Acting Deputy Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission to P.J. Moody, Controller, Communication Options, Inc. (Aug. 28, 2006). See LOI Response, supra note 4. LOI at 9 (directing COI to comply with 47 C.F.R. S: 1.16). COI NAL, supra note 3. Id. at P: 24. 47 U.S.C. S: 503(b)(1)(B). 47 U.S.C. S: 312(f)(1). H.R. Rep. No. 97-765, 97th Cong. 2d Sess. 51 (1982). See, e.g., Application for Review of Southern California Broadcasting Co., Memorandum Opinion and Order, 6 FCC Rcd 4387, 4388, P: 5 (1991) ("Southern California Broadcasting Co."). See, e.g., Callais Cablevision, Inc., Grand Isle,
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- and dated by an authorized officer of T-Mobile with personal knowledge of the representations therein, verifying that T-Mobile has complied with the terms of this Consent Decree. The affidavit or declaration shall be submitted to the Chief, Spectrum Enforcement Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The affidavit or declaration must comply with Section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. c. Termination. The provisions of this paragraph shall remain in effect for two (2) years from the Effective Date. 11. Section 208 Complaints; Subsequent Investigations. Nothing in this Consent Decree shall prevent the Commission or its delegated authority from adjudicating any formal or
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- signed and dated by an authorized officer of Hughes with personal knowledge of the representations therein, verifying that Hughes has complied with the terms of this Consent Decree. The declaration shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The declaration or affidavit must comply with section 1.16 of the Commission's rules, 47 C.F.R. S: 1.16, and be substantially in the form set forth therein. e. Termination. Hughes's obligations under this Paragraph shall expire twenty-four (24) months after the Effective Date. 12. Voluntary Contribution. Hughes agrees that it will make a voluntary contribution to the United States Treasury in the amount of twelve thousand dollars ($12,000.00). The payment
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- IT IS FURTHER ORDERED that within thirty days of the release of this NAL that Indianapolis Community Television Inc. SHALL FILE a written statement concerning the steps that it has taken to come into compliance with the staffing requirements for its main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. 15. Payment of the forfeiture must be made by check
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- and Sections 2.803 and 15.205(a) of the Commission's Rules ("Rules"). As explained below, future violations of the Commission's rules in this regard may subject your company to monetary forfeitures. In March 2008, the Spectrum Enforcement Division of the Enforcement Bureau ("Division") received a complaint alleging that Spy Camera was marketing unauthorized wireless video transmitters that operate in the 1.08, 1.12, 1.16 and 1.2 GHz bands. We initiated an investigation and on May 13, 2008, we sent a Letter of Inquiry ("LOI") to Spy Camera. In your June 9, 2008 response to our LOI, you admit marketing wireless video transmitters beginning in early 2006 on your web site, www.spycameras.com, to end users and resellers. You admit that these wireless video transmitters all
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- with any questions regarding payment procedures. CruiseEmail will also send electronic notification to Ricardo Durham at Ricardo.Durham@fcc.gov and Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. 13.
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- was submitted; and (3) is not aware of any instances of non-compliance. If the Compliance Official is not able to so certify, he shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Commission's rules, and be substantially in the form set forth therein. (e) Self-Disclosure. QCC will report any occurrences of non-compliance with the terms and conditions of this Consent Decree, with section 276 of the Act, and with the Commission's rules and regulations regarding the obligations of telecommunications service providers to transmit payphone-specific coding digits, within 60 days after
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- with any questions regarding payment procedures. Wi-Ex will also send electronic notification on the date said payment is made to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 10. The
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- with any questions regarding payment procedures. Cellphone-Mate will also send electronic notification on the date said payment is made to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Neal McNeil at Neal.McNeil@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 10. The
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- any questions regarding payment procedures. Alpheus will also send electronic notification on the date said payment is made to Kathryn Berthot at Kathy.Berthot@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The response should also be e-mailed to Kathryn Berthot at Kathy.Berthot@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. 18.
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- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Verizon will also send electronic notification on the date said payment is made to Jennifer.Burton@fcc.gov and JoAnn.Lucanik@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Jennifer Burton at Jennifer.Burton@fcc.gov. 18. The
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- ensure compliance with the terms and conditions of this Consent Decree and with section 20.19 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Huawei, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Myers shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- ensure compliance with the terms and conditions of this Consent Decree and with section 20.19 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Qomo, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- procedures intended to ensure compliance with the terms and conditions of this Consent Decree, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) Hearst has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Hearst, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- conditions of this Consent Decree, and with Sections 2.803(a) and 87.199(f) of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that Kannad has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) that Kannad is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Kannad, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- arinquiries@fcc.gov with any questions regarding payment procedures. Oklahoma Independent RSA 5 Partnership will also send electronic notification on the date said payment is made to Kathy Berthot at Kathy.Berthot@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Kathy Berthot at Kathy.Berthot@fcc.gov. 18. The Commission will not consider reducing
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- questions regarding payment procedures. TX-10 Licensee, LLC will also send electronic notification on the date said payment is made to Kathy Berthot at Kathy.Berthot@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The response should also be emailed to Kathy Berthot at Kathy.Berthot@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. 18. The
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- regarding payment procedures. OK-5 Licensee Co., LLC will also send electronic notification on the date said payment is made to Jackie Ellington at Jackie.Ellington@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Jackie Ellington at Jackie.Ellington@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 18. The
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- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Ms. Lubin shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- of this Consent Decree and with section 301 of the Act and sections 1.903(a) and 1.949(a) of the Rules, together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the officer cannot provide the requisite certification, the officer, as an agent of and on behalf of Nex-Tech, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree, the Act, and
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- with the Sponsorship Identification Laws or this Consent Decree, what steps it has taken to resolve those difficulties, and the success of those steps in doing so. All compliance reports shall be submitted to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, Room 4-C330, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Commission's rules and be substantially in the form set forth therein. 12. Termination Date. Unless stated otherwise, the requirements of the Compliance Plan will expire three (3) years after the Effective Date. 13. Voluntary Contribution. Licensee agrees that it will make a voluntary contribution to the United States Treasury in the amount of Twenty-One Thousand Dollars ($21,000.00). The
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- the Act, Rules or FCC orders. If the Compliance Director or other equivalent Company Officer is not able to so certify, he or she shall explain fully the reason(s) therefor. All Compliance Reports shall be directed to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with Section 1.16 of the Rules, and be substantially in the form set forth therein. (b) Self-Disclosure. The Company shall report any known (following an internal review) violations of the Act, Rules or orders, within thirty (30) calendar days of discovery to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The Company shall likewise
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- or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. American Taxi Shuttle and Limo Inc. shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in
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- the Rules together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) Globalstar has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with either this Consent Decree or the Act, Rules, or Commission Orders. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Globalstar, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
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- and conditions of this Consent Decree and with Section 310 of the Act and Section 73.3540 of the Commission's Rules, together with an accompanying statement explaining the basis for the certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that LIU has taken or
- http://www.fcc.gov/eb/Orders/2010/DA-10-1862A1.html
- conditions of this Consent Decree and with Section 310 of the Act and Section 73.3540 of the Commission's Rules, together with an accompanying statement explaining the basis for the compliance certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certifications shall comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the President of Peconic cannot provide the requisite certification, he/she, as an agent of and on behalf of Peconic, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the
- http://www.fcc.gov/eb/Orders/2010/DA-10-1897A1.html
- operating procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Callaway, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://www.fcc.gov/eb/Orders/2010/DA-10-1907A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Lloyd Morris shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Boston Office, 1 Batterymarch Park, Quincy, MA 02169 and must include the NAL/Acct. No. referenced in the caption. The statement shall also be emailed to NER-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim of
- http://www.fcc.gov/eb/Orders/2010/DA-10-1908A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Robert Brown shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Boston Office, 1 Batterymarch Park, Quincy, MA 02169 and must include the NAL/Acct. No. referenced in the caption. The statement shall also be emailed to NER-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim of
- http://www.fcc.gov/eb/Orders/2010/DA-10-1961A1.html
- (i) has established operating procedures intended to ensure compliance with the terms and conditions of this Consent Decree, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of VisionTek, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://www.fcc.gov/eb/Orders/2010/DA-10-2030A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Vicot Chery shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, New York Office, 201 Varick Street, Suite 1151, New York, NY 10014, and must include the NAL/Acct. No. referenced in the caption. The statement shall also be emailed to NER-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response
- http://www.fcc.gov/eb/Orders/2010/DA-10-2040A1.html
- questions regarding payment procedures. TCM also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn.Lucanik@ fcc.gov and to Jacqui.Johnson@fcc.gov. 19. The Commission will not consider
- http://www.fcc.gov/eb/Orders/2010/DA-10-2041A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. IDT also shall send electronic notification to Sam.Peoples@fcc.gov and Ricardo.Durham@fcc.gov on the date said payment is made. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Sam Peoples at Sam.Peoples@fcc.gov. 21. The
- http://www.fcc.gov/eb/Orders/2010/DA-10-2046A1.html
- with any questions regarding payment procedures. MGA also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov. 12. The
- http://www.fcc.gov/eb/Orders/2010/DA-10-2047A1.html
- the Termination Date. Each Compliance Report will include a certification by the Compliance Officer that Delta is, and at all times since the previous Compliance Report was submitted has been, in compliance with the terms and conditions of this Consent Decree and with Section 310(d) of the Act and Section 1.948 of the Rules. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer is not able to so certify, he shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington,
- http://www.fcc.gov/eb/Orders/2010/DA-10-2049A1.html
- with any questions regarding payment procedures. Cbeyond also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov on the date said payment is made. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen Mercer at Karen.Mercer@fcc.gov. 18. The
- http://www.fcc.gov/eb/Orders/2010/DA-10-2068A2.html
- officer is not able to so certify, he or she shall explain fully the reasons therefor. (b) All Compliance Reports and other disclosures required by this Consent Decree shall be in writing and shall be directed to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554. The certification must comply with Section 1.16 of the Rules and must be substantially in the form set forth therein. 10. Voluntary Contribution. Verizon Wireless agrees to make a voluntary contribution to the U.S. Treasury in the amount of twenty-five million dollars ($25,000,000). The payment must be made by check or similar instrument, payable to the order of the Federal Communications Commission within five (5) days after
- http://www.fcc.gov/eb/Orders/2010/DA-10-2097A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Beacon Broadcasting, Inc. shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Field Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 15. The Commission will not consider reducing or canceling
- http://www.fcc.gov/eb/Orders/2010/DA-10-2120A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mapleton License of San Luis Obispo, LLC, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2010/DA-10-2139A1.html
- 301 and 310(d) of the Act, and sections 25.102, 25.119 and 25.121(e) of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) Shared Data has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that Shared Data has taken
- http://www.fcc.gov/eb/Orders/2010/DA-10-2146A1.html
- ensure compliance with the terms and conditions of this Consent Decree and with Part 52 of the Rules, together with an accompanying statement explaining the basis for the officer's compliance certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of PTI Pacifica, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://www.fcc.gov/eb/Orders/2010/DA-10-2156A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Smith shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 N.E. Colbern Rd., 2nd Floor, Lees Summit, MO 64086 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2010/DA-10-2181A1.html
- of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) Norlight has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with either the Consent Decree or Section 4.9 of the Rules. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Norlight, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://www.fcc.gov/eb/Orders/2010/DA-10-2224A1.html
- Decree together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures for the entire term of the Consent Decree; and (iii) the officer is not aware of any instances of non-compliance with this Consent Decree that have not otherwise been disclosed pursuant to subsection (C) above. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. Such certification must be mailed within fifteen (15) days of the one (1) and the two (2) year anniversary, and AT&T must mail its certification to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W.,
- http://www.fcc.gov/eb/Orders/2010/DA-10-2226A1.html
- questions regarding payment procedures. Lightyear also shall send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn.Lucanik@fcc.gov and to Jacqui.Johnson@fcc.gov. 16. The Commission will not consider reducing
- http://www.fcc.gov/eb/Orders/2010/DA-10-2248A1.html
- the Rules, together with an accompanying statement explaining the basis for the certification; (ii) Liberty-Bell has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act and the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and those specified sections of the Act and the Rules, and (ii)
- http://www.fcc.gov/eb/Orders/2010/DA-10-2250A1.html
- payment procedures. East Buchanan Telephone Cooperative must also send electronic notification on the date said payment is made to Ricardo Durham at Ricardo.Durham@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. Number referenced in the caption. The statement must also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. 19.
- http://www.fcc.gov/eb/Orders/2010/DA-10-2268A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. J.M.J. Radio, Inc. shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 14. The Commission will not consider reducing or
- http://www.fcc.gov/eb/Orders/2010/DA-10-2276A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Donald D. Coss shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Portland Resident Agent Office, P.O. Box 61469, Vancouver, Washington, 98666-1469 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2010/DA-10-2290A1.html
- Decree, and with sections 2.803(a), 2.925, and 15.204(d)(1), (2) of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that RF Linx has been utilizing those procedures since the commencement of the Compliance Plan; and (iii) that RF Linx is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of RF Linx, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://www.fcc.gov/eb/Orders/2010/DA-10-2303A1.html
- together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) that XO has been utilizing those procedures since the development of the Compliance Plan, and in any event no later than thirty (30) days after the Effective Date; and (iii) that XO is not aware of any instances of noncompliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of XO, shall provide the Commission with a detailed explanation of: (i) any instances of noncompliance with this Consent Decree or
- http://www.fcc.gov/eb/Orders/2010/DA-10-2313A1.html
- compliance with the terms and conditions of this Consent Decree, the Underwriting Laws, and the Sponsorship Identification Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
- http://www.fcc.gov/eb/Orders/2010/DA-10-2338A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Dollar shall also send electronic notification to WR-Response@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, California, 92111, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be emailed to WR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2010/DA-10-2347A1.html
- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. BASF Corporation must also send electronic notification to Ricardo.Durham@fcc.gov and to Linda.Nagel@fcc.gov on the date said payment is made. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Ricardo.Durham@fcc.gov and to Linda.Nagel@fcc.gov. 16. The Commission will not consider reducing
- http://www.fcc.gov/eb/Orders/2010/DA-10-2378A1.html
- to ensure compliance with this Consent Decree and with Section 20.19 of the Rules together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) MaxCell has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of MaxCell, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://www.fcc.gov/eb/Orders/2010/DA-10-2389A1.html
- procedures in compliance with the terms and conditions of this Consent Decree and with section 301 of the Act, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures during the term of the agreement; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Luna Park, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree,
- http://www.fcc.gov/eb/Orders/2010/DA-10-2428A1.html
- questions regarding payment procedures. Sandhill Communications must also send electronic notification on the date said payment is made to Jennifer Burton at Jennifer.Burton@fcc.gov and to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account No. referenced in the caption. The statement must also be emailed to Jennifer Burton at Jennifer.Burton@fcc.gov and to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov. 20.
- http://www.fcc.gov/eb/Orders/2010/DA-10-2435A1.html
- Telephone Company d/b/a CT Communications, Inc. also shall send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. 15.
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- regarding payment procedures. Indigo Wireless, Inc. will also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. 19.
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- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. STi Prepaid must also send electronic notification on the date said payment is made to Katherine.Power@fcc.gov and Pamera.Hairston@fcc.gov. 27. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. 28.
- http://www.fcc.gov/eb/Orders/2010/DA-10-2440A1.html
- regarding payment procedures. Epic Touch Co., Inc. must also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The
- http://www.fcc.gov/eb/Orders/2010/DA-10-287A1.html
- Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. The University of San Diego will also send electronic notification on the date said payment is made to Celia.Lewis@fcc.gov and Ricardo.Durham@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Celia Lewis at Celia.Lewis@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. 17. The
- http://www.fcc.gov/eb/Orders/2010/DA-10-390A1.html
- questions regarding payment procedures. Lubbock Aero will also send electronic notification to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Jacqueline Johnson at Jacqui.Johnson@fcc.gov on the date said payment is made. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn.Lucanik@fcc.gov and to Jacqui.Johnson@fcc.gov. 15. The Commission will not consider reducing
- http://www.fcc.gov/eb/Orders/2010/DA-10-455A1.html
- of the release of this NAL that Birach Broadcasting Corporation SHALL FILE a written statement concerning the steps that it has taken to reassert control over Station WMFN(AM) Zeeland, Michigan, and to comply with the FCC staffing requirements for Station WMFN(AM)'s main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. Birach Broadcasting Corporation shall also transmit a copy of the
- http://www.fcc.gov/eb/Orders/2010/DA-10-456A1.html
- of the release of this NAL that Birach Broadcasting Corporation SHALL FILE a written statement concerning the steps that it has taken to reassert control over Station WMJH(AM) Rockford, Michigan, and to comply with the FCC staffing requirements for Station WMJH(AM)'s main studio. Such statement must be submitted in the form of an affidavit or declaration in accordance with Section 1.16 of the Commission's rules, must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, to the attention of: Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Room 4-C330, and must include the File number and NAL/Acct. No. referenced above. Birach Broadcasting Corporation shall also transmit a copy of the
- http://www.fcc.gov/eb/Orders/2010/DA-10-669A1.html
- any questions regarding payment procedures. Phonejammer.com will also send electronic notification to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov on the date said payment is made. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to Ricardo Durham at Ricardo.Durham@fcc.gov and to Nissa Laughner at Nissa.Laughner@fcc.gov. 18.
- http://www.fcc.gov/eb/Orders/2010/DA-10-77A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. ACSW will also send electronic notification on the date said payment is made to Peter.Waltonen@fcc.gov and JoAnn.Lucanik@fcc.gov. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Peter Waltonen at Peter.Waltonen@fcc.gov. 21. The
- http://www.fcc.gov/eb/Orders/2010/DA-10-78A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Doro will also send electronic notification on the date said payment is made to Ricardo.Durham@fcc.gov and Linda.Nagel@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Linda Nagel at Linda.Nagel@fcc.gov. 15. The
- http://www.fcc.gov/eb/Orders/2010/DA-10-79A1.html
- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. East Kentucky Network will also send electronic notification on the date said payment is made to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Katherine Power at Katherine.Power@fcc.gov. 15. The
- http://www.fcc.gov/eb/Orders/2010/DA-10-80A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. ZTE will also send electronic notification on the date said payment is made to Susan.Stickley@fcc.gov and Ricardo.Durham@fcc.gov. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Ricardo Durham at Ricardo.Durham@fcc.gov and Susan Stickley at Susan.Stickley@fcc.gov. 21. The
- http://www.fcc.gov/eb/Orders/2010/DA-10-81A1.html
- payment procedures. TCT Mobile will also send electronic notification on the date said payment is made to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Kevin M. Pittman at Kevin.Pittman@fcc.gov. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80 (f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be e-mailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and to Kevin M. Pittman at Kevin.Pittman@fcc.gov.
- http://www.fcc.gov/eb/Orders/2010/DA-10-83A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Locus will also send electronic notification on the date said payment is made to Karen.Mercer@fcc.gov and JoAnn.Lucanik@fcc.gov. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Karen.Mercer@fcc.gov. 21. The Commission will not
- http://www.fcc.gov/eb/Orders/2010/DA-10-84A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Airo will also send electronic notification on the date said payment is made to Holly.Berland@fcc.gov and JoAnn.Lucanik@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, , if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to JoAnn Lucanik at JoAnn.Lucanik@fcc.gov and Ava Holly Berland at Holly.Berland@fcc.gov. 15.
- http://www.fcc.gov/eb/Orders/2010/DA-10-995A1.html
- of this Notice, Fox Television Stations, Inc. SHALL PAY the full amount of the proposed forfeiture or SHALL FILE a written statement seeking reduction or cancellation of the proposed forfeiture. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. 19. Payment of the forfeiture must be made by check or similar instrument, payable to the order of the Federal Communications Commission. The payment must include the NAL/Account Number and FRN Number referenced above. Payment by check or money order may be mailed to Federal Communications Commission, P.O. Box 979088, St. Louis, MO 63197-9000. Payment by
- http://www.fcc.gov/eb/Orders/2011/DA-11-1000A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Hays shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, New Orleans Office, 2424 Edenborn Ave. Suite 460, Metairie, LA 70001 and must include the NAL/Acct. No. referenced in the caption. Mr. Hays also shall email the written response to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-1002A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(f) hereof. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of CBW, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://www.fcc.gov/eb/Orders/2011/DA-11-101A1.html
- of this Consent Decree and with Subpart D of Part 25 of the Rules, together with an accompanying statement explaining the basis for the officer's compliance certification (ii) that NewCom has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) that NewCom is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of NewCom, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://www.fcc.gov/eb/Orders/2011/DA-11-1052A1.html
- established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of SBI, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://www.fcc.gov/eb/Orders/2011/DA-11-1058A1.html
- conditions of this Consent Decree and section 214 of the Act and section 63.18 of the Commission's rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
- http://www.fcc.gov/eb/Orders/2011/DA-11-1062A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, L. Stanley Wall will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and include the NAL/Acct. No. referenced in the caption. L. Stanley Wall also shall email the written response to NER-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a
- http://www.fcc.gov/eb/Orders/2011/DA-11-1093A1.html
- 24A (payment type code). America Movil, S.A.B. de C.V. will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov and Kathy.Berthot@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov and Kathy Berthot at Kathy.Berthot@fcc.gov. 16.
- http://www.fcc.gov/eb/Orders/2011/DA-11-109A1.html
- Rules, together with an accompanying statement explaining the basis for the certification; (ii) DRS Technologies has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act or the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and those specified sections of the Act and the Rules, and (ii)
- http://www.fcc.gov/eb/Orders/2011/DA-11-1123A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Vision Latina Broadcasting shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas, 77065 and include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability
- http://www.fcc.gov/eb/Orders/2011/DA-11-1134A1.html
- this Consent Decree and with sections 64.1300, 64.1310(a), and 64.1320 of the Rules concerning payphone compensation, together with an accompanying statement explaining the basis for the certification; (ii) Compass Global has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) Compass Global is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she must provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that Compass Global has taken
- http://www.fcc.gov/eb/Orders/2011/DA-11-1144A1.html
- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Licensee-Conducted Contest Rule, together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the officer cannot provide the requisite certification, the officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://www.fcc.gov/eb/Orders/2011/DA-11-1145A1.html
- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Licensee-Conducted Contest Rule, together with an accompanying statement explaining the basis for the officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the officer cannot provide the requisite certification, the officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://www.fcc.gov/eb/Orders/2011/DA-11-1183A1.html
- in block number 24A (payment type code). ATMS will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov, Pamela.Kane@fcc.gov and Robert.Krinsky@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov and Robert.Krinsky
- http://www.fcc.gov/eb/Orders/2011/DA-11-1188A1.html
- has addressed any instances of non-compliance and taken steps to remedy the cause thereof. 2. Each Compliance Report must be supported by the declaration of an officer as an agent of and on behalf of ReconRobotics with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. 3. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: a. a detailed explanation of the non-compliance; b. the steps ReconRobotics has taken to remedy the non-compliance and ensure future compliance; and c. the schedule on which
- http://www.fcc.gov/eb/Orders/2011/DA-11-1194A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Spirit Broadcasting Inc. shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Norfolk Office, 1457 Mount Pleasant Road Suite 113, Chesapeake VA 23322 and must include the NAL/Acct. No. referenced in the caption. Spirit also shall email the written response to SCR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2011/DA-11-1272A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, HK Media, Inc. will send electronic notification on the date said payment is made to WR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., Suite # 660, Los Angeles, CA 90703 and include the NAL/Acct. No. referenced in the caption. HK Media, Inc. shall also email the written response to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2011/DA-11-1311A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Rapidwave, LLC, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 23. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region Office, 215 S. Wadsworth Blvd., Suite 303, Lakewood, CO 80226, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to WR-Response@fcc.gov. 24. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-1312A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Sling shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 21. The Commission will not consider reducing or canceling a forfeiture in response to a claim
- http://www.fcc.gov/eb/Orders/2011/DA-11-1313A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Ayustar shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 20. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, US Federal Building, Room 762, San Juan, PR, 00918-1731 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 21. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2011/DA-11-1314A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Insight Consulting Group of Kansas City, LLC will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, 520 NE Colbern Rd., Second Floor, Lees Summit, MO 64086 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 18. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-1324A1.html
- forth herein, Mr. Alcime agrees, upon the Effective Date, to authorize the Fort Myers Police Department to release Mr. Alcime's radio transmitting equipment currently in police custody to the Bureau for destruction. Mr. Alcime shall also submit within thirty (30) calendar days after the Effective Date a certification signed by Mr. Alcime, under penalty of perjury and consistent with section 1.16 of the Rules, that he is not operating and will not in the future operate an unlicensed radio station anywhere in the United States. This certification is required by this Consent Decree and shall be submitted to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607 and an electronic
- http://www.fcc.gov/eb/Orders/2011/DA-11-1326A1.html
- and (3) are not aware of any instances of non-compliance. If the Compliance Officer is not able to so certify, he or she shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Rules, and be substantially in the form set forth therein. g. Self-Disclosure. Within thirty (30) calendar days of the Compliance Officer or senior executive management becoming aware of the matter (whether from a report from an employee or otherwise), the Companies will report any occurrences of noncompliance with the terms and conditions of this Consent Decree; with section
- http://www.fcc.gov/eb/Orders/2011/DA-11-1362A1.html
- the basis for the officer's compliance certification; (ii) has been utilizing those procedures since establishing and implementing the Compliance Plan; and (iii) is not aware of any instances of noncompliance, other than those set forth in paragraph 8(e) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Alpheus, shall provide the Commission with a detailed explanation of: (i) any instances of noncompliance with this Consent Decree, the
- http://www.fcc.gov/eb/Orders/2011/DA-11-1426A2.html
- and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) STi and Progress have been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance with the Consent Decree, the Act or the Rules. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that STi and Progress have
- http://www.fcc.gov/eb/Orders/2011/DA-11-1468A1.html
- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Marshall Amplification PLC will also send electronic notification to Nissa.Laughner@fcc.gov and Neal.McNeil@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability
- http://www.fcc.gov/eb/Orders/2011/DA-11-1475A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Estevan J. Gutierrez shall send electronic notification on the date said payment is made to WR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, CA 92111 and include the NAL/Acct. No. referenced in the caption. Estevan J. Gutierrez shall also email the written response to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-1482A1.html
- and (3) are not aware of any instances of non-compliance. If the Compliance Officer is not able to so certify, he or she shall explain fully the reason(s) therefore. All Compliance Reports shall be directed to the Chief, Investigations & Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554. The certification must comply with section 1.16 of the Rules, and be substantially in the form set forth therein. f. Reporting Non-Compliance. NUI will report to the Bureau any non-compliance with this Consent Decree or sections of the Act, Rules, or Commission Orders that relate to the purchase, sale, acquisition, assignment or transfer of control of NUI or NUI assets, within 15 days after the discovery of
- http://www.fcc.gov/eb/Orders/2011/DA-11-1491A1.html
- or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Northeast Utilities Service Company must also send electronic notification to Neal.McNeil@fcc.gov and Karen.Mercer@fcc.gov on the date said payment is made. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Neal.McNeil@fcc.gov and to Karen.Mercer@fcc.gov. The Commission will not consider reducing or
- http://www.fcc.gov/eb/Orders/2011/DA-11-1503A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Power Ministries shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd. Suite 425, Tampa, Florida 33607 and include the NAL/Acct. No. referenced in the caption. Power Ministries also shall email the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response
- http://www.fcc.gov/eb/Orders/2011/DA-11-1529A1.html
- in block number 24A (payment type code). FTTH will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov, Pamela.Kane@fcc.gov, and Robert.Krinsky@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's Rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Robert.Krinsky
- http://www.fcc.gov/eb/Orders/2011/DA-11-1536A1.html
- in block number 24A (payment type code). VTel will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov, Gary.Schonman@fcc.gov and Pam.Slipakoff@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Gary Schonman at Gary.Schonman@fcc.gov and Pam
- http://www.fcc.gov/eb/Orders/2011/DA-11-1538A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. SCI shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 NE Colbern Road, 2nd Floor, Lee's Summit, Missouri, 64086 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-1539A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. SCI shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 NE Colbern Road, 2nd Floor, Lee's Summit, Missouri, 64086 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-1540A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. SCI shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 NE Colbern Road, 2nd Floor, Lee's Summit, Missouri, 64086 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-1578A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Eleuterio Lebron shall also send an email notification to SCR-Response@fcc.gov on the date said payment is made. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, shall be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, San Juan Office, Room 762, Federal Building, Hato Rey, Puerto Rico, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 10. The Commission will not consider reducing or canceling a
- http://www.fcc.gov/eb/Orders/2011/DA-11-157A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Scottsdale Lexus will also send electronic notification to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov.on the date said payment is made. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. 16. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-1586A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Airadigm, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
- http://www.fcc.gov/eb/Orders/2011/DA-11-1641A1.html
- with any questions regarding payment procedures. Pace must also send electronic notification on the date said payment is made to Pamera Hairston at Pamera.Hairston@fcc.gov and Katherine Power at Katherine.Power@fcc.gov. 4. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and Katherine Power at Katherine.Power@fcc.gov 5. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-1651A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. St. George shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The statements should also be emailed to SCR-Response@fcc.gov. 18. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-1676A2.html
- Consent Decree and section 214 of the Act and sections 63.03, 63.04, 63.18, and 63.24 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://www.fcc.gov/eb/Orders/2011/DA-11-1704A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Meade County Communications, Inc. will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Chicago Office, 1550 North Northwest Highway, Room 306, Park Ridge, IL 60068 and include the NAL/Acct. No. referenced in the caption. Meade County Communications, Inc. also shall email the written response to NER-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2011/DA-11-1721A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Upper Peninsula shall also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Detroit Office, 24897 Hathaway Street, Farmington Hills, Michigan, 48335 and include the NAL/Acct. No. referenced in the caption. Upper Peninsula also shall email the written response to NER-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to a claim of
- http://www.fcc.gov/eb/Orders/2011/DA-11-1722A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Neal Davis shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, Florida 33152, and include the NAL/Acct. No. referenced in the caption. In addition, Neal Davis shall email the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-1745A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. P&Y Broadcasting Corporation shall send electronic notification on the date said payment is made to WR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., Suite 660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. P&Y Broadcasting Corporation shall also email the written response to WR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-1750A1.html
- Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, John E. Criteser, Jr. will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, Florida 33152 and include the NAL/Acct. No. referenced in the caption. In addition, John E. Criteser, Jr., shall email the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2011/DA-11-1755A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, R.J.'s Late Night Entertainment Corporation will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Detroit Office, 24897 Hathaway Street, Farmington Hills, Michigan, 48335-1552 and include the NAL/Acct. No. referenced in the caption. In addition, R.J.'s Late Night Entertainment Corporation shall email the written response to NER-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-1775A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Willis Cernogg, Jr. shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, Florida 33152 and include the NAL/Account number referenced in the caption. In addition, Willis Cernogg, Jr. shall email the written response to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response
- http://www.fcc.gov/eb/Orders/2011/DA-11-1779A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email:. If payment is made, Aleluya Christian Broadcasting Inc. will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas, 77065 and include the NAL/Acct. No. referenced in the caption. Aleluya Christian Broadcasting, Inc. also shall email the written response to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-178A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Bold Gold shall also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 12. The Commission will not consider reducing or
- http://www.fcc.gov/eb/Orders/2011/DA-11-1802A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Equity shall also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and include the NAL/Acct. No. referenced in the caption. Equity Communications LP also shall email the written response to NER-Response@fcc.gov 16. The Commission will not consider reducing or canceling a
- http://www.fcc.gov/eb/Orders/2011/DA-11-1807A1.html
- other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that CRNI is apparently liable for a $4,000 forfeiture for failure to operate its station pursuant to the authorized power limits. We further order CRNI to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of CRNI within thirty (30) days of the release date of this NAL that Station KPIO is now in compliance with section 73.1745(a) of the Rules. IV. ORDERING CLAUSES 7. Accordingly, IT IS ORDERED that, pursuant to section 503(b) of the Communications Act of 1934, as amended,
- http://www.fcc.gov/eb/Orders/2011/DA-11-1809A1.html
- Keystone Wireless, LLC d.b.a. Immix Wireless must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau-Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The Commission will
- http://www.fcc.gov/eb/Orders/2011/DA-11-180A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. South Bay Aviation shall send electronic notification to WR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Road, Suite 660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-1812A1.html
- any questions regarding payment procedures. Chariton Valley must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov and Paul Noone at Paul.Noone@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and Paul Noone at Paul.Noone@fcc.gov. 19. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-1834A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Perry shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607 and must include the NAL/Acct. No. referenced in the caption. Mr. Perry also shall email the written response to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a
- http://www.fcc.gov/eb/Orders/2011/DA-11-1844A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of OTZ, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
- http://www.fcc.gov/eb/Orders/2011/DA-11-184A1.html
- regarding payment procedures. Cricket Communications, Inc. must also send electronic notification on the date said payment is made to Kathy Harvey at Kathy.Harvey@fcc.gov and to Ricardo Durham at Ricardo.Durham@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Kathy Harvey at Kathy.Harvey@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. 17. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-1911A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Custom Interface Technologies, a Division of Thornstar Corporation, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles District Office, 18000 Studebaker Rd., Suite 660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. Custom Interface Technologies, a Division of Thornstar Corporation, also shall email the written response to WR-Response@fcc.gov. 12. The Commission will not consider reducing or
- http://www.fcc.gov/eb/Orders/2011/DA-11-1914A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Timothy J. Mullen will send electronic notification on the date said payment is made to WR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and include the NAL/Acct. No. referenced in the caption. Timothy J. Mullen shall also email the written response to WR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2011/DA-11-1941A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. i. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. ii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Sprint, shall provide the Commission with a detailed explanation of: (A) each instance of non-compliance; (B) the steps that
- http://www.fcc.gov/eb/Orders/2011/DA-11-1969A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. o. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. p. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Carrier Coach, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each
- http://www.fcc.gov/eb/Orders/2011/DA-11-1973A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Cross Wireless, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each
- http://www.fcc.gov/eb/Orders/2011/DA-11-1977A1.html
- pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that MMG is apparently liable for a forfeiture of $8,000 for its violation of section 11.35 of the Rules. We further order MMG to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of MMG within thirty (30) days of the release date of this NAL that Station KRDD(AM) is now in compliance with section 11.35 of the Rules. IV. ORDERING CLAUSES 8. Accordingly, IT IS ORDERED that, pursuant to section 503(b) of the Communications Act of 1934, as amended,
- http://www.fcc.gov/eb/Orders/2011/DA-11-2004A2.html
- and sections 1.903, 1.948 and 1.949(a) of the Commission's Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since commencement of the Compliance Plan or the previous Compliance Report was submitted, as applicable; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he or she, as an agent of and on behalf of Rio Tinto or Alcan, respectively, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance
- http://www.fcc.gov/eb/Orders/2011/DA-11-2012A1.html
- also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and David Janas at David.Janas@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and David
- http://www.fcc.gov/eb/Orders/2011/DA-11-2034A1.html
- d/b/a i wireless must also send electronic notification to Jennifer Burton at Jennifer.Burton@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau -Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Jennifer Burton at Jennifer.Burton@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 17. The Commission
- http://www.fcc.gov/eb/Orders/2011/DA-11-2035A1.html
- payment procedures. Affordable Phone Services, Inc. must also send electronic notification to Samantha Peoples at Sam.Peoples@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Samantha Peoples at Sam.Peoples@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-2042A1.html
- dba Airfire Wireless must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov, Kathy Harvey at Kathy.Harvey@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Kathy Harvey at Kathy.Harvey@fcc.gov. 10.
- http://www.fcc.gov/eb/Orders/2011/DA-11-2060A1.html
- Cellular Limited Partnership must also send electronic notification to Celia Lewis at Celia.Lewis@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Celia Lewis at Celia.Lewis@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 16. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-2061A1.html
- Big Sky Mobile must also send electronic notification to Paul Noone at Paul.Noone@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Paul Noone at Paul.Noone@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 17. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-2075A1.html
- Communication, Inc. also must send electronic notification to Nissa Laughner at Nissa Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov. 17.
- http://www.fcc.gov/eb/Orders/2011/DA-11-2076A1.html
- Centennial Communications Corporation must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 20. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-2077A1.html
- Company d.b.a. MetTel must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must also be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and to Pamera Hairston at Pamera.Hairston@fcc.gov.
- http://www.fcc.gov/eb/Orders/2011/DA-11-2078A1.html
- Locus Telecommunications, Inc. must also send electronic notification to Nissa Laughner at Nissa.Laughner@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Nissa Laughner at Nissa.Laughner@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 20. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-2079A1.html
- NEP Cellcorp, Inc. must also send electronic notification to Linda Nagel at Linda.Nagel@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Linda Nagel at Linda.Nagel@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 17. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-2080A1.html
- Communications Cellular, LLC must also send electronic notification to Jennifer Burton at Jennifer.Burton@fcc.gov, Pamera Hairston at Pamera.Hairston@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. This statement also must be emailed to Jennifer Burton at Jennifer.Burton@fcc.gov and Pamera Hairston at Pamera.Hairston@fcc.gov. 19. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-213A1.html
- 1.948 of the Commission's Rules, together with an accompanying statement explaining the basis for the certification; (ii) Turner has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) Turner is not aware of any instances of non-compliance with the Consent Decree or those specified sections of the Act and Rules. The certification must comply with section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the FCC Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Act or Rules, and (ii) the steps that
- http://www.fcc.gov/eb/Orders/2011/DA-11-216A1.html
- 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Community Television of Southern California shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2011/DA-11-229A1.html
- questions, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. CBC shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, New Orleans Office, 2424 Edenborn Avenue, Suite 460, Metairie, LA 70001, and must include the NAL/Acct. No. referenced in the caption. 15. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless
- http://www.fcc.gov/eb/Orders/2011/DA-11-231A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Media East shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Norfolk Office 1457 Mount Pleasant Rd, Suite 113, Chesapeake, Virginia 23322 and must include the NAL/Acct. No. referenced in the caption. 13. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless
- http://www.fcc.gov/eb/Orders/2011/DA-11-232A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Aversa shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa Florida, 33607, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2011/DA-11-242A1.html
- and with section 310(d) of the Act and sections 73.3526, 73.3540, 73.3613, and 73.3615 of the Commission's Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://www.fcc.gov/eb/Orders/2011/DA-11-257A1.html
- explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; (iii) has filed the required annual Hearing Aid Compatibility Report and updated its public website in a timely manner consistent with the Rules; and (iv) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Pantech, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://www.fcc.gov/eb/Orders/2011/DA-11-258A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Bernabe Moreno shall send electronic notification on the date said payment is made to NER-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, New York Office, 201 Varick Street, Suite 1151, New York, NY 10014, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-273A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Utah Broadband shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 24. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region Office, 215 S. Wadsworth Blvd., Suite 303, Lakewood, CO 80226, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to WR-Response@fcc.gov. 25. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-292A1.html
- any questions regarding payment procedures. Spanish Broadcasting System Holding Company, Inc. will also send electronic notification on the date said payment is made to Hillary.DeNigro@fcc.gov, Ben.Bartolome@fcc.gov, Kenneth.Scheibel@fcc.gov, and Guy.Benson@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement shall be mailed to Hillary S. DeNigro, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Hillary.DeNigro@fcc.gov, Ben.Bartolome@fcc.gov, Kenneth.Scheibel@fcc.gov, and Guy.Benson@fcc.gov. 13. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-306A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, AT&T will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, US Federal Building, Room 762, San Juan, PR, 00918-1731 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 19. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2011/DA-11-352A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Cumulus Licensing, LLC shall send electronic notification on the date said payment is made to NER-Response@fcc.gov, 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 10. The Commission will not consider reducing or
- http://www.fcc.gov/eb/Orders/2011/DA-11-373A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Pacific Spanish Network, Inc. shall send electronic notification on the date said payment is made to WR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, California, 92111, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be emailed to WR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2011/DA-11-394A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. KFW Communications LLC shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 NE Colbern Road, 2nd Floor, Lee's Summit, MO, 64081, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-402A1.html
- outage reports and taken steps to remedy the cause of the late filings. ii. Each Compliance Report must be supported by the declaration of the Compliance Officer as an agent of and on behalf of AT&T with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. iii. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: 1. a detailed explanation of the non-compliance; 2. the steps AT&T has taken to remedy the non-compliance and ensure future compliance; and 3. the schedule on which
- http://www.fcc.gov/eb/Orders/2011/DA-11-410A1.html
- procedures intended to ensure compliance with the terms and conditions of this Consent Decree and the Underwriting Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Commission's Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent
- http://www.fcc.gov/eb/Orders/2011/DA-11-431A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Whisler Fleurinor shall also send an email notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152, and must include the NAL/Acct. No. referenced in the caption. The written shall also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-443A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Ace of Hearts Disc Jockey Service, Inc., will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. Ace of Hearts Disc Jockey Service, Inc. shall also email the response to SCR-Response@fcc.gov. 16. The Commission will not consider
- http://www.fcc.gov/eb/Orders/2011/DA-11-457A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Ira Jones shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Francisco Office, 5653 Stoneridge Drive, Pleasanton, California, 94588-8543, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be emailed to WR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2011/DA-11-472A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Gabriel A. Garcia shall also send electronic notification to WR-Response@fcc.gov on the date said payment is made. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Francisco Office, 5653 Stoneridge Drive, Suite 105, Pleasanton, CA 94588-8543 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to WR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response
- http://www.fcc.gov/eb/Orders/2011/DA-11-479A1.html
- or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Shubat Transportation Company must also send electronic notification to Ricardo.Durham@fcc.gov and to Celia.Lewis@fcc.gov on the date said payment is made. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, DC 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Account Number referenced in the caption. The statement must also be emailed to Ricardo.Durham@fcc.gov and to Celia.Lewis@fcc.gov. The Commission will not consider reducing or
- http://www.fcc.gov/eb/Orders/2011/DA-11-48A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. North County Broadcasting Corporation shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov 4. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street, Suite 370, San Diego, California, 92111, and must include the NAL/Acct. No. referenced in the caption. The statement shall also be emailed to WR-Response@fcc.gov. 5. The Commission will not consider reducing or canceling a forfeiture in response
- http://www.fcc.gov/eb/Orders/2011/DA-11-521A1.html
- ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Fox Television Stations, Inc. must also send electronic notification on the date said payment is made to Terry.Cavanaugh@fcc.gov, Melanie.Godschall@fcc.gov, Anjali.Singh@fcc.gov and Kenneth.Scheibel@fcc.gov. 23. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement shall be mailed to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Terry.Cavanaugh@fcc.gov, Melanie.Godschall@fcc.gov, Anjali.Singh@fcc.gov, and Kenneth.Scheibel@fcc.gov. 24. The Commission
- http://www.fcc.gov/eb/Orders/2011/DA-11-523A1.html
- any questions regarding payment procedures. Access.1 New Jersey License Company, LLC must also send electronic notification on the date said payment is made to Terry.Cavanaugh@fcc.gov, Melanie.Godschall@fcc.gov, Anjali.Singh@fcc.gov, and Kenneth.Scheibel@fcc.gov. 19. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement shall be mailed to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Terry.Cavanaugh@fcc.gov, Melanie.Godschall@fcc.gov, Anjali.Singh@fcc.gov, and Kenneth.Scheibel@fcc.gov. 20. The Commission
- http://www.fcc.gov/eb/Orders/2011/DA-11-567A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Also, Marckenson Bazile shall send an email notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152 and must include the NAL/Acct. No. referenced in the caption. The statement shall also be emailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-60A1.html
- the Cable Landing License Act of 1921, and sections 1.65, 1.767, 1.948, 25.119 and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) AST has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) AST is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that AST has taken or
- http://www.fcc.gov/eb/Orders/2011/DA-11-629A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Andrews Tower Rental, Inc. shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Dallas Office, 9330 LBJ Freeway, Suite 1170, Dallas, Texas, 75243 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-630A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Miller will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Atlanta Office, 3575 Koger Blvd; Ste 320, Duluth, GA 30096, along with the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability
- http://www.fcc.gov/eb/Orders/2011/DA-11-633A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Harrah's Atlantic City Operating Company LLC shall send electronic notification on the date said payment is made to NER-Response@fcc.gov, 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to NER-Response@fcc.gov. 13. The Commission will not consider reducing
- http://www.fcc.gov/eb/Orders/2011/DA-11-65A1.html
- questions, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. RAMCO shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas, 77065 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2011/DA-11-666A1.html
- has addressed any instances of non-compliance and taken steps to remedy the cause thereof. ii. Each Compliance Report must be supported by the declaration of an officer as an agent of and on behalf of Allegiance with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration must comply with section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. iii. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: 1. a detailed explanation of the non-compliance; 2. the steps Allegiance has taken to remedy the non-compliance and ensure future compliance; and 3. the schedule on which
- http://www.fcc.gov/eb/Orders/2011/DA-11-6A1.html
- with an accompanying statement explaining the basis for the officer's certification; (ii) the Company has been utilizing those procedures for the entire term of the Consent Decree; and (iii) the officer is not aware of any instances of non-compliance with this Consent Decree that have not otherwise been disclosed pursuant to subsection (B) above. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. Such certification must be mailed within fifteen (15) days of the one (1) and the two (2) year anniversary of the Effective Date, and Comcast must mail its certification to the Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission,
- http://www.fcc.gov/eb/Orders/2011/DA-11-724A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. A Radio shall also send electronic notification to SCR-Response@fcc.gov on the date said payment is made. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, San Juan, Room 762, Hato Rey, PR, 00918 and must include the NAL/Acct. No. referenced in the caption. A Radio shall also email an electronic copy to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-734A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. CBS Communications Services, Inc. shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Los Angeles Office, 18000 Studebaker Rd., #660, Cerritos, CA 90703 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to WR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-754A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. (ii) The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. i. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of PreSonus, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://www.fcc.gov/eb/Orders/2011/DA-11-809A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Pilot Media, LLC will also send electronic notification to NER-Response@fcc.gov on the date said payment is made. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northwest Region, Chicago Field Office, 1550 N. Northwest Highway, Room 306, Park Ridge, Illinois 60068 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to NER-Response@fcc.gov . 11. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-810A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Mattoon Broadcasting Company will also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Chicago District Office, 1550 North Northwest Highway, Room 306, Park Ridge, IL 60068 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to NER-Response@fcc.gov. 15. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2011/DA-11-816A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Frandsen Media Company, LLC, shall also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, Denver District Office, 215 South Wadsworth Boulevard, Suite 303, Lakewood, Colorado, 80226, and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be emailed to WR-Response@fcc.gov. The Commission will not consider reducing or canceling a forfeiture in response
- http://www.fcc.gov/eb/Orders/2011/DA-11-829A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Also, Mr. Alcime shall send an email notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement. shall be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-830A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Patrick Michael Ford shall also send an email notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, shall be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling
- http://www.fcc.gov/eb/Orders/2011/DA-11-831A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Mr. Morey shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, should be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, along with the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a
- http://www.fcc.gov/eb/Orders/2011/DA-11-832A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Also, Mr. Rhodd shall send an email notification to SCR-Response@fcc.gov on the date said payment is made. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152,and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-833A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Antonio Robinson shall also send an email notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement shall be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and must include the NAL/Acct. No. referenced in the caption. Antonio Robinson shall also email the response to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2011/DA-11-836A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Gabriel A. Garcia shall also send electronic notification to WR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Francisco Office, 5653 Stoneridge Drive, Suite 105, Pleasanton, CA 94588-8543 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall also be sent to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response
- http://www.fcc.gov/eb/Orders/2011/DA-11-843A2.html
- Plan for the entire term of the Consent Decree; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree that have not been disclosed as required by Paragraph 11(d) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Sprint, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://www.fcc.gov/eb/Orders/2011/DA-11-860A1.html
- Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Recardo Millwood shall also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, New York Office, 201 Varick Street, Suite 1151, New York, NY 10014, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-861A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Fritzner Lindor shall also send an email notification to SCR-Response@fcc.gov on the date said payment is made. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, shall be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling
- http://www.fcc.gov/eb/Orders/2011/DA-11-862A1.html
- conditions of this Consent Decree, the Unauthorized Transfer of Control Laws, the Underwriting Laws, and the Origination Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree,
- http://www.fcc.gov/eb/Orders/2011/DA-11-870A1.html
- Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Consolidated Radio will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas, 77065 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2011/DA-11-871A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Also, Judith V. Smith shall send an email notification to SCR-Response@fcc.gov on the date said payment is made. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, PO Box 520617, Miami, FL 33152 and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2011/DA-11-876A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Patrick H. Sickafus shall send electronic notification on the date said payment is made to NER-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia District Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway Langhorne, Pennsylvania 19047 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 11. The Commission will not consider reducing
- http://www.fcc.gov/eb/Orders/2011/DA-11-880A1.html
- the Act, and sections 63.01, 63.03, 63.04, 63.12, 63.18 and 63.24 of the Rules, together with an accompanying statement explaining the basis for the certification; (ii) PCS and Surry have been utilizing those procedures since the previous Compliance Report was submitted; and (iii) the Compliance Officer is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, he/she shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and the Rules, and (ii) the steps that PCS and Surry have
- http://www.fcc.gov/eb/Orders/2011/DA-11-881A1.html
- Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Mr. Warmath will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Atlanta Office, 3575 Koger Blvd., Suite 320, Duluth, GA 30096 and must include the NAL/Acct. No. referenced in the caption. The statement should also be mailed to SCR-Response@fcc.gov. 15. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2011/DA-11-885A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 8(d) hereof. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Luxul, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://www.fcc.gov/eb/Orders/2011/DA-11-886A1.html
- Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Lazer Licenses, LLC, will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner Street - Suite 370, San Diego, CA 92111 and must include the NAL/Acct. No. referenced in the caption. An electronic copy shall be sent to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2011/DA-11-888A1.html
- to ensure compliance with the terms and conditions of this Consent Decree and with the Sponsorship Identification Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Station, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://www.fcc.gov/eb/Orders/2011/DA-11-898A1.html
- ensure compliance with the terms and conditions of this Consent Decree and with section 73.1206 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Station, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://www.fcc.gov/eb/Orders/2011/DA-11-8A1.html
- at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Call Mobile must also send electronic notification to Katherine.Power@fcc.gov and Ricardo.Durham@fcc.gov on the date said payment is made. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement must also be emailed to Katherine Power at Katherine.Power@fcc.gov and Ricardo Durham at Ricardo.Durham@fcc.gov. 17. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-900A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Entertainment Media Trust will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 18. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Kansas City Office, 520 N.E. Colbern Rd., 2nd Floor, Lees Summit, Missouri, 64086, along with the NAL/Acct. No. referenced in the caption. Also, email the response to SCR-Response@fcc.gov. 19. The Commission will not consider reducing or canceling a forfeiture in response to a claim
- http://www.fcc.gov/eb/Orders/2011/DA-11-902A1.html
- Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Entertainment Media Trust shall send electronic notification on the date said payment is made to NER-Response@fcc.gov. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Chicago Office, 1550 North Northwest Highway, Room 306, Park Ridge, Illinois 60068 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to NER-Response@fcc.gov. 10. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-926A1.html
- payment procedures, contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Durrant Clarke shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2011/DA-11-940A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Stephen R. Peters shall also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Columbia Office, 9200 Farm House Lane, Columbia, MD, 21046, and must include the NAL/Acct. No. referenced in the caption. 10. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits:
- http://www.fcc.gov/eb/Orders/2011/DA-11-941A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Della Jane Woofter shall also send electronic notification on the date said payment is made to NER-Response@fcc.gov. 9. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Columbia Office, 9200 Farm House Lane, Columbia, MD, 21046 and must include the NAL/Acct. No. referenced in the caption. 10. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to pay unless the petitioner submits:
- http://www.fcc.gov/eb/Orders/2011/DA-11-954A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Blue Skies Broadcasting Corporation, shall send electronic notification on the date said payment is made to WR-Response@fcc.gov, 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Western Region, San Diego Office, 4542 Ruffner St., Room 370, San Diego, CA 92111 and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to WR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2011/DA-11-976A1.html
- questions regarding payment procedures. SmartLabs, Inc. will also send electronic notification on the date said payment is made to Kathy Harvey at Kathy.Harvey@fcc.gov and to Neal McNeil at Neal.McNeil@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to Kathy Harvey at Kathy.Harvey@fcc.gov and Neal McNeil at Neal.McNeil@fcc.gov. 15. The
- http://www.fcc.gov/eb/Orders/2011/DA-11-978A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, CRS will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Norfolk Office; 1457 Mount Pleasant Road Suite 113; Chesapeake VA 23322 and include the NAL/Acct. No. referenced in the caption. CRS also shall email the written response to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2011/DA-11-982A1.html
- the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Comcast will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Comcast shall mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Atlanta Office, 3575 Koger Blvd, Suite 320, Duluth, GA, 30096 and include the NAL/Acct. No. referenced in the caption. Comcast also shall email the written response to SCR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2012/DA-12-1038A1.html
- pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Mr. Ragan is apparently liable for a forfeiture in the amount of seventeen thousand dollars ($17,000). 8. We further order Mr. Ragan to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by Mr. Ragan, stating that he is in full compliance with Section 301and is no longer engaged in the unauthorized operation on frequency 104.9 MHz or any other frequency for which he has no license, and will make his authorized amateur station available for inspection as required by the Rules. This statement
- http://www.fcc.gov/eb/Orders/2012/DA-12-107A1.html
- contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Mercius Dorvilus will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, Florida 33152, and include the NAL/Acct. number referenced in the caption. In addition, Mercius Dorvilus, shall email the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2012/DA-12-109A1.html
- and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Casarez is apparently liable for a forfeiture of $8,000 for his violation of Section 11.35 of the Rules. 8. We further order Casarez to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by Casarez stating that Station KCRX(AM) is now in compliance with Section 11.35 of the Rules. This statement must be provided to the San Diego Office at the address listed in paragraph 11 within thirty (30) calendar days of the release of this NAL. IV. ORDERING CLAUSES 9. Accordingly, IT IS ORDERED
- http://www.fcc.gov/eb/Orders/2012/DA-12-111A1.html
- regarding payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Whisler Fleurinor shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, Florida 33152, and include the NAL/Acct. number referenced in the caption. In addition, Whisler Fleurinor shall email the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to
- http://www.fcc.gov/eb/Orders/2012/DA-12-112A1.html
- payment procedures, contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Robens Cheriza shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to a
- http://www.fcc.gov/eb/Orders/2012/DA-12-136A1.html
- of culpability, any history of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that L&R is apparently liable for a forfeiture of $10,000. 7. We direct L&R to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of L&R, stating that Station KPIR is maintaining and making available a complete public inspection file. This statement must be provided to the Dallas Office at the address listed in paragraph 12 within thirty (30) calendar days of the release date of this NAL. IV. ORDERING CLAUSES
- http://www.fcc.gov/eb/Orders/2012/DA-12-157A1.html
- (including gross revenue figures), and after applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that KM Radio is apparently liable for a $10,000 forfeiture. 13. In addition to the proposed forfeiture, we direct KM Radio to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of KM Radio, stating that the Licensee has repaired its EAS equipment and tower lighting, it is operating its stations within authorized power limits, and it is maintaining two separate and complete public inspection files for Stations KQMG and KQMG-FM. This statement must be provided to the Kansas City Office at the
- http://www.fcc.gov/eb/Orders/2012/DA-12-194A1.html
- evidence before us, we find that an upward adjustment of $2,000 is warranted. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Richards TV is apparently liable for a total forfeiture in the amount of $10,000. 7. We direct Richards TV to submit a statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Richards TV stating that its cable system serving Jerusalem, Ohio is now in compliance with Section 11.35 of the Rules. The statement should also state whether Richards TV's cable systems serving Bealsville, Ohio and New Athens, Ohio are in compliance with Section 11.35 of the Rules.
- http://www.fcc.gov/eb/Orders/2012/DA-12-197A1.html
- Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Taylor Broadcasting will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if any, must be mailed to Federal Communications Commission, Enforcement Bureau, Northeast Region, Detroit Office, 24897 Hathaway Street, Farmington Hills, Michigan 48335-1552 and must include the NAL/Acct. No. referenced in the caption. Taylor Broadcasting also shall email the written response to NER-Response@fcc.gov. 15. The Commission will not consider reducing or canceling a forfeiture in
- http://www.fcc.gov/eb/Orders/2012/DA-12-198A1.html
- Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Curran Communications, Inc. shall send electronic notification on the date said payment is made to NER-Response@fcc.gov . 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission. , Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and include the NAL/Acct. No. referenced in the caption. Curran Communications, Inc. also shall email the written response to NER-Response@fcc.gov. 12. The Commission will not consider reducing or canceling
- http://www.fcc.gov/eb/Orders/2012/DA-12-211A1.html
- also send electronic notification within forty-eight (48) hours of the date said payment is made to Theresa Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Mindy Littell at Mindy.Littell@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The written statement should also be emailed to Theresa Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Mindy Littell
- http://www.fcc.gov/eb/Orders/2012/DA-12-267A1.html
- terms and conditions of this Consent Decree, the Federal Regulatory Reporting and Contribution Rules, and the CPNI Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of BSCI, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree and
- http://www.fcc.gov/eb/Orders/2012/DA-12-270A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of AMS, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
- http://www.fcc.gov/eb/Orders/2012/DA-12-276A1.html
- offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that JHT Ventures is apparently liable for a forfeiture in the amount of $4,000. 6. We further order JHT Ventures to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of JHT Ventures, stating that it is operating Station KULF only during daytime hours and consistent with its license authorization. This statement must be provided to the Houston Office at the address listed in paragraph 11, below, within thirty (30) calendar days of the release date of
- http://www.fcc.gov/eb/Orders/2012/DA-12-277A1.html
- pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Super W is apparently liable for a total forfeiture of $4,000. 7. We also direct Super W to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of Super W, stating the measures it has taken to come into full compliance with Section 73.1350(a) of the Rules. This statement must be provided to the Tampa Office at the address listed in paragraph 12, below, within thirty (30) calendar days of the release date of this NAL. IV. ORDERING CLAUSES
- http://www.fcc.gov/eb/Orders/2012/DA-12-279A1.html
- a sufficient deterrent. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Argos is apparently liable for a forfeiture of $25,000 for violations of Section 301 of the Act and Section 15.1(b) of the Rules. 13. Finally, we order Argos to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Argos stating that Argos is now operating all of its U-NII devices in compliance with their equipment authorizations and the Rules. This statement must be provided to the San Juan Office at the address listed in paragraph 19 within thirty (30) calendar days of the release
- http://www.fcc.gov/eb/Orders/2012/DA-12-281A1.html
- notify the structure owner promptly in the event of a lighting failure or other malfunction. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Hacienda is apparently liable for a forfeiture in the amount of $4,500. 6. We direct Hacienda to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Hacienda stating that it has submitted an FCC Form 854 to the Commission to update the ownership information for the Antenna Structure. This statement must be provided to the San Juan Office at the address listed in paragraph 11 within thirty (30) calendar days of the
- http://www.fcc.gov/eb/Orders/2012/DA-12-285A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 11 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Epic Touch, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each
- http://www.fcc.gov/eb/Orders/2012/DA-12-339A1.html
- questions about payment procedures, contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. Jeffrey Darius shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be emailed to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response
- http://www.fcc.gov/eb/Orders/2012/DA-12-341A1.html
- conclude that Mr. Czura is apparently liable for a total forfeiture of $25,000, consisting of the following: $7,000 for failure to maintain an effective locked fence, $8,000 for failure to install EAS equipment, and $10,000 for failure to maintain and make available a complete public inspection file. 14. We direct Mr. Czura to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury that the licensee has: (1) repaired the locked fence around the base of the antenna tower; (2) placed all of the required contents in Station WNFO's public inspection file; and (3) properly installed Station WNFO's EAS equipment. This statement must be provided to the Atlanta Office at the address listed in paragraph
- http://www.fcc.gov/eb/Orders/2012/DA-12-350A1.html
- egregious behavior warranting an upward adjustment of $4,000. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Hoosier is apparently liable for a total forfeiture in the amount of $8,000. 9. We also direct Hoosier to submit a written statement signed under penalty of perjury, pursuant to Section 1.16 of the Rules, by an officer or director of Hoosier, reporting on the status of the Station's operations (i.e., whether it is currently broadcasting; if not, an explanation as to why, and when, it has stopped broadcasting) and the location of its transmitter. This statement must be provided to the Chicago Office at the address listed in paragraph 14, below,
- http://www.fcc.gov/eb/Orders/2012/DA-12-357A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Uniradio, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
- http://www.fcc.gov/eb/Orders/2012/DA-12-360A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of ETI, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
- http://www.fcc.gov/eb/Orders/2012/DA-12-391A1.html
- established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that
- http://www.fcc.gov/eb/Orders/2012/DA-12-392A1.html
- established and implemented the Compliance Plan; (B) has utilized the Operating Procedures since the implementation of the Compliance Plan; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree. ii. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon Wireless, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps
- http://www.fcc.gov/eb/Orders/2012/DA-12-42A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 9 hereof. b. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification, and must comply with section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Hawking, shall provide the Commission with a detailed explanation of (i) each instance of non-compliance; (ii) the steps that
- http://www.fcc.gov/eb/Orders/2012/DA-12-450A1.html
- payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. VPNet shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 16. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region; San Juan Office at FCC, US Federal Building Room 762, San Juan, PR 00918-1731and must include the NAL/Acct. No. referenced in the caption. The statement should also be emailed to SCR-Response@fcc.gov. 17. The Commission will not consider reducing or canceling a forfeiture
- http://www.fcc.gov/eb/Orders/2012/DA-12-475A1.html
- Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. If payment is made, Arthur Lee Young shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 11. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Atlanta Office, 3575 Koger Blvd, Suite 320, Duluth, GA 30096 and include the NAL/Acct. No. referenced in the caption. Arthur Lee Young also shall e-mail the written response to SCR-Response@fcc.gov. 12. The Commission will not consider reducing or canceling a forfeiture in response to
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- the Consent Decree; and (C) is not aware of any instances of non-compliance with the terms and conditions of this Consent Decree that have not been disclosed as required by paragraph 13(I) above. The certification shall be accompanied by a statement explaining the basis for the Compliance Officer's certification and must be substantially in the form set forth in Section 1.16 of the Rules. iii. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Reduced Rate Long Distance, shall provide the Commission with a detailed explanation of (A) each instance of non-compliance; (B) the steps that Reduced Rate Long Distance has taken or will take to remedy such non-compliance, including
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- Atlanta Office renders its actions egregious and deserving of an upward adjustment of $5,000. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Telava is apparently liable for a total forfeiture in the amount of $15,000. 7. We direct Telava to submit a written statement, pursuant to Section 1.16 of the Rules, in addition to any statement it might submit pursuant to paragraph 12, signed under penalty of perjury by an officer or director of Telava stating that it is currently monitoring the Antenna Structure's lights on a daily basis and that the lights on the Antenna Structure have been restored. If the lights on the Antenna Structure have
- http://www.fcc.gov/eb/Orders/2012/DA-12-535A1.html
- years demonstrates a deliberate disregard for the Commission's rules and warrants an upward adjustment of $5,000. Applying the Forfeiture Policy Statement, Section 1.80, and the statutory factors to the instant case, we conclude that Telava is apparently liable for a total forfeiture in the amount of $17,000. 13. We also direct Telava to submit a written statement, pursuant to Section 1.16 of the Rules, in addition to any statement it might submit pursuant to paragraph 18, signed under penalty of perjury by an officer or director of Telava stating that it is currently monitoring the Antenna Structure's lights on a daily basis and that the lights on the Antenna Structure have been restored. If the lights on the Antenna Structure have
- http://www.fcc.gov/eb/Orders/2012/DA-12-546A1.html
- offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that ERJ Media is apparently liable for a forfeiture in the amount of $4,000. 6. We further order ERJ Media to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of ERJ Media, stating that it is operating Station WOIR at its authorized power levels. This statement must be provided to the Miami Office at the address listed in paragraph 11, below, within thirty (30) calendar days of the release date of this Notice of Apparent Liability
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- prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Classic Cable is apparently liable for a forfeiture in the amount of $10,000. 6. We direct Classic Cable to submit a written statement, pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Classic Cable, stating that the Antenna Structure has been repainted to maintain good visibility. If the Antenna Structure has not yet been cleaned and repainted, we direct Classic Cable to provide a timetable for when the work will be completed. We also direct Classic Cable to
- http://www.fcc.gov/eb/Orders/2012/DA-12-55A1.html
- prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that James Cable is apparently liable for a forfeiture in the amount of $10,000. 6. We direct James Cable to submit a written statement pursuant to section 1.16 of the Rules signed under penalty of perjury by an officer or director of James Cable stating that the Antenna Structure has been painted to maintain good visibility. If the Antenna Structure has not yet been repainted, we direct James Cable to provide a timetable for when the work will be completed. We also direct James Cable to describe the
- http://www.fcc.gov/eb/Orders/2012/DA-12-568A1.html
- Laws, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance in the Market with this Consent Decree, the Unauthorized Transfer of Control Laws, and the Underwriting Laws. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Licensee, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance in the Market with
- http://www.fcc.gov/eb/Orders/2012/DA-12-56A1.html
- other such matters as justice may require. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Mobile Phone of Texas, Inc. is apparently liable for a forfeiture in the amount of $10,000. 6. We direct Mobile Phone of Texas, Inc., to submit a written statement, pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Mobile Phone of Texas, Inc., stating that the Antenna Structure and the coaxial cables have been repainted to maintain good visibility of the structure. If the Antenna Structure has not yet been cleaned and repainted, we direct Mobile Phone of Texas, Inc., to provide a timetable
- http://www.fcc.gov/eb/Orders/2012/DA-12-592A1.html
- SW, Room 1- A625, Washington, DC 20554. Please contact the Financial Operations Group Help Desk at 1-877-480-320 1 or e-mail ARINQUIRIES@fcc.gov with any questions regarding payment procedures. 57. The written statement seeking reduction or cancellation of the proposed forfeit ure, if any, must include a detailed factual statement supported by appropriate documentatio n and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commissions rules. 177 The written stat ement must be mailed both to Marlene H. Dortch, Secretary, Federal Communications Commission, 445 12th St reet, SW, Washington, DC 20554, ATTN: Enforcement Bureau Investigations and Hearings Di vision; and to Theresa Z. Cavanaugh, Division Chief, Investigations and Hearings Division, Enf orcement Bureau, Federal Communications Commission, 445 12th Street, SW, Room 4-C330,
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- of $2,000 for the public file violation and $1,000 for the unauthorized operation violation are warranted. Applying the Forfeiture Policy Statement, section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Nassau Broadcasting is apparently liable for a $17,000 forfeiture. 10. We also direct Nassau Broadcasting to submit a written statement pursuant to section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Nassau Broadcasting, stating that it is currently maintaining a public inspection file that is in full compliance with the requirements under section 73.3526 of the Rules, and that it is either operating consistent with its station authorization or has a valid STA. This statement must be
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- entire record and the factors listed above, we find that a forfeiture in the amount of $10,000 is warranted. We also note that Mapleton has not indicated whether the public inspection file for Station KXDZ(FM) has come into compliance with the requirements of Section 73.3526 of the Rules. We therefore order Mapleton to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Mapleton within thirty (30) calendar days of the release date of this Forfeiture Order that Station KXDZ(FM) is now in compliance with Section 73.3526 of the Rules. IV. ORDERING CLAUSES 10. ACCORDINGLY, IT IS ORDERED that, pursuant to Section 503(b) of the Communications Act of 1934,
- http://www.fcc.gov/eb/Orders/2012/DA-12-60A1.html
- Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. If payment is made, Robenson Thermitus will send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152, and include the NAL/Acct. number referenced in the caption. Robenson Thermitus also shall email the written response to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response to a claim of
- http://www.fcc.gov/eb/Orders/2012/DA-12-612A1.html
- established and implemented the Compliance Plan and (ii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 15 of this Consent Decree. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth in Section 1.16. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Telrite, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i)
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- overall record and circumstances of this case does not convince us that a reduction of the forfeiture is warranted; further, we note that the original forfeiture of $13,000 in the NAL has now been reduced to $11,000, thereby reducing the financial penalty imposed against Ace. F. Reporting Requirement 10. We direct Ace to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Ace that it is currently operating its Station with authorized transmitter output power. This statement must be provided to the Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd., Suite 425, Tampa, Florida 33607, within thirty (30) calendar days of
- http://www.fcc.gov/eb/Orders/2012/DA-12-628A1.html
- measures to achieve full compliance with the CPNI Rules; and (iv) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 14 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Ztar, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
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- the amount of $1,400 is appropriate. Applying the Forfeiture Policy Statement, Section 1.80, and the statutory factors to the instant case, we conclude that US Jetting is apparently liable for a $8,400 forfeiture for marketing one model of an unauthorized radio frequency device in the United States. 8. We order US Jetting to submit a written statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of the company stating that it is no longer marketing the unauthorized wireless handheld controller and describing the disposition of the remaining inventory of the device. This statement must be provided to the Enforcement Bureau at the address listed in paragraph 13 within thirty (30) calendar days
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- of this Consent Decree and Section 214 of the Act and Sections 63.03 and 63.04 of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
- http://www.fcc.gov/eb/Orders/2012/DA-12-65A1.html
- hours of the date said payment is made to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Edward Smith at Edward.Smith@fcc.gov. 19. The response to this Notice of Apparent Liability for Forfeiture seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. The response must be mailed to Theresa Z. Cavanaugh, Acting Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Acct. No. referenced above. The response should also be emailed to Terry Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela Kane at Pamela.Kane@fcc.gov, and Edward Smith at
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- fill. Send an e-mail to fcc504@fcc.gov or call the Consumer & Governmental Affairs Bureau: For sign language interpreters, CART, and other reasonable accommodations: 202-418-0530 (voice), 202-418-0432 (tty); For accessible format materials (braille, large print, electronic files, and audio format): 202-418-0531 (voice), 202-418-7365 (tty). VI. REPORTING REQUIREMENT 12. Pursuant to Sections 4(i), 4(j), and 403 of the Communications Act and Section 1.16 of the Rules, we also direct North Chapel to submit within thirty (30) calendar days after the release date of this Citation a statement signed under penalty of perjury stating that it has updated the ownership information in the ASR database for the Antenna Structures, repainted all of the Antenna Structures and repaired any lighting outages on the Antenna Structures.
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- the statutory factors to the instant case, we conclude that Mr. Davis is apparently liable for a total forfeiture of $13,000, consisting of the following: $10,000 for violations of Sections 17.48(a), 17.50, and 17.51(a) of the Rules and $3,000 for violation of Section 17.57 of the Rules. 10. We direct Mr. Davis to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by Mr. Davis, stating that he has updated the ownership information for the Antenna Structure in the ASR database and that he has complied with the Commission's antenna structure painting and lighting requirements. The statement should specify any steps taken to come into compliance, including the timeframe for the repair or replacement
- http://www.fcc.gov/eb/Orders/2012/DA-12-773A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 11 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Fisher, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each instance
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- ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Nassau Broadcasting III, LLC will also send electronic notification on the date said payment is made to Terry.Cavanaugh@fcc.gov, Jeffrey.Gee@fcc.gov, Kenneth.Scheibel@fcc.gov, and Jennifer.Lewis@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement shall be mailed to Terry Cavanaugh, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Terry.Cavanaugh@fcc.gov, Jeffrey.Gee@fcc.gov, Kenneth.Scheibel@fcc.gov, and Jennifer.Lewis@fcc.gov. 14. The Commission
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- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Mt. Rushmore Broadcasting, Inc., will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Denver Office, 215 S. Wadsworth Blvd., # 303, Lakewood, Colorado 80226, and include the NAL/Acct. No. referenced in the caption. Mt. Rushmore Broadcasting, Inc., also shall email the written response to WR-Response@fcc.gov. 16. The Commission will not consider reducing or canceling a forfeiture
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- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Pacific Empire Radio Corporation will also send electronic notification on the date said payment is made to WR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Western Region, Portland Resident Agent Office, P.O. Box 61469,Vancouver, Washington 98666-1469, and include the NAL/Acct. No. referenced in the caption. Pacific Empire Radio Corporation shall also email the written response to WR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response
- http://www.fcc.gov/eb/Orders/2012/DA-12-800A1.html
- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov. WOYK Inc. will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047 and include the NAL/Acct. No. referenced in the caption. WOYK Inc. also shall email the written response to NER-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture
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- Forfeiture Policy Statement, Section 1.80 of the rules, and the statutory factors to the instant case, we conclude that Quinn is apparently liable for a total forfeiture of $16,000, consisting of $10,000 for violation of the public file rule and $6,000 for failing to file required forms and information. 9. We direct Quinn to submit a statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Quinn stating that: (1) the Radio issues/program lists are being compiled, and (2) the Radio issues/program lists are being placed in the Stations' public inspection files by the tenth day of the succeeding calendar quarter. This statement must be provided to the Philadelphia Office at the
- http://www.fcc.gov/eb/Orders/2012/DA-12-841A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 14 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Verizon Wireless, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each
- http://www.fcc.gov/eb/Orders/2012/DA-12-846A1.html
- of prior offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Birach is apparently liable for a total forfeiture in the amount of $17,000. 10. We further direct Birach to submit a statement pursuant to Section 1.16 of the Rules signed under penalty of perjury by an officer or director of Birach stating that (1) an effective locked fence has been installed around the Antenna Structure, (2) the radio issues/program lists have been compiled, and (3) the issues/program lists have been and are continuing to be placed in the public inspection file by the tenth day of
- http://www.fcc.gov/eb/Orders/2012/DA-12-867A1.html
- Operating Procedures since the implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance with the terms and conditions of this Consent Decree, including the reporting obligations set forth in paragraph 10 hereof. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Horvath, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully (i) each instance
- http://www.fcc.gov/eb/Orders/2012/DA-12-872A1.html
- questions regarding payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Townsquare will send electronic notification on the date said payment is made to NER-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and .80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Detroit Office, 24897 Hathaway Street, Farmington Hills, Michigan, 48335, and include the NAL/Acct. No. referenced in the caption. Townsquare also shall e-mail the written response to NER-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in response to a claim
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- offenses, ability to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Martin Broadcasting is apparently liable for a total forfeiture in the amount of $10,000. 8. We direct Martin Broadcasting to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Martin Broadcasting, stating that the lights on the Antenna Structure have been restored, including the date of restoration, or setting forth the timeframe for when the lights on the Antenna Structure will be repaired or replaced. In addition, an officer or director of Martin Broadcasting shall
- http://www.fcc.gov/eb/Orders/2012/DA-12-875A1.html
- questions regarding payment procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Aramark shall send electronic notification on the date said payment is made to NER-Response@fcc.gov. 14. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, Northeast Region, Philadelphia Office, One Oxford Valley Building, Suite 404, 2300 East Lincoln Highway, Langhorne, Pennsylvania 19047. Aramark also shall e-mail the written response to NER-Response@fcc.gov. 15. The Commission will not consider reducing or canceling a forfeiture in response to a claim of inability to
- http://www.fcc.gov/eb/Orders/2012/DA-12-876A1.html
- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Luis Ernesto Rivas, Jr. will also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 13. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and include the NAL/Acct. No. referenced in the caption. Luis Ernesto Rivas, Jr. also shall e-mail the written response to SCR-Response@fcc.gov. 14. The Commission will not consider reducing or canceling a forfeiture in response
- http://www.fcc.gov/eb/Orders/2012/DA-12-888A1.html
- payment procedures, contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Albert R. Knighten, Jr. shall send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. The written statement must be mailed to Federal Communications Commission, Enforcement Bureau, South Central Region, Tampa Office, 4010 W. Boy Scout Blvd. Suite 425, Tampa, Florida 33607, and must include the NAL/Acct. No. referenced in the caption. The written statement shall also be e-mailed to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling
- http://www.fcc.gov/eb/Orders/2012/DA-12-8A1.html
- Decree and Sections 214 and 225 of the Act and Sections 63.18, 64.604(c)(5)(iii)(A), and 64.1195(a) of the Rules, together with an accompanying statement explaining the basis for the Compliance Officer's certification; (ii) has been utilizing those procedures since the previous Compliance Report was submitted; and (iii) is not aware of any instances of non-compliance. The certification must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of the Company, shall provide the Commission with a detailed explanation of: (i) any instances of non-compliance with this Consent Decree
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- reports and taken steps to remedy the cause of the late filings. i. Each Compliance Report will be supported by the declaration of the Compliance Officer as an agent of and on behalf of Level 3 with personal knowledge of the representations provided in the report, verifying the truth and accuracy of the information. The declaration will comply with Section 1.16 and be subscribed to as true under penalty of perjury in substantially the same form set forth therein. ii. Any instance of non-compliance with the Compliance Plan disclosed in the report shall provide: 1. a detailed explanation of the non-compliance; 2. the steps Level 3 has taken to remedy the non-compliance and ensure future compliance; and 3. the schedule on
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- to pay, and other such matters as justice may require. Applying the Forfeiture Policy Statement, Section 1.80 of the Rules, and the statutory factors to the instant case, we conclude that Birach is apparently liable for a total forfeiture in the amount of four thousand dollars ($4,000). 9. We further order Birach to submit a written statement, pursuant to Section 1.16 of the Rules, signed under penalty of perjury by an officer or director of Birach stating that it is operating Station WOAP in compliance with Section 73.1745(a) of the Rules. This statement must be provided to the Detroit Office at the address listed in paragraph 14, below, within thirty (30) calendar days of the release date of this NAL. IV.
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- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Vision Latina Broadcasting, Inc. will also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas 77065, and include the NAL/Acct. No. referenced in the caption. Vision Latina Broadcasting, Inc. also shall e-mail the written response to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in
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- please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Vision Latina Broadcasting, Inc. shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 10. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Houston Office, 9597 Jones Road #362, Houston, Texas 77065, and include the NAL/Acct. No. referenced in the caption. Vision Latina Broadcasting, Inc. also shall e-mail the written response to SCR-Response@fcc.gov. 11. The Commission will not consider reducing or canceling a forfeiture in
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- procedures, please contact the Financial Operations Group Help Desk at 1-877-480-3201 or E-mail: ARINQUIRIES@fcc.gov. Pierre Nixon Jean shall also send electronic notification on the date said payment is made to SCR-Response@fcc.gov. 12. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.16 and 1.80(f)(3) of the Rules. Mail the written statement to Federal Communications Commission, Enforcement Bureau, South Central Region, Miami Office, P.O. Box 520617, Miami, FL 33152-0617, and include the NAL/Acct. No. referenced in the caption. Pierre Nixon Jean also shall e-mail the written response to SCR-Response@fcc.gov. 13. The Commission will not consider reducing or canceling a forfeiture in response to
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- set forth in Paragraph 18 hereof. Comcast shall maintain for a period of twelve (12) months following the submission of each Compliance Report the material documents and materials relating to the representations made in each such Compliance Report. b. The Compliance Officer's certification shall be accompanied by a statement explaining the basis for such certification and must comply with Section 1.16 of the Rules and be subscribed to as true under penalty of perjury in substantially the form set forth therein. c. If the Compliance Officer cannot provide the requisite certification, the Compliance Officer, as an agent of and on behalf of Comcast, shall provide the Commission with a detailed explanation of the reason(s) why and describe fully: (i) each instance
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- ARINQUIRIES@fcc.gov with any questions regarding payment procedures. Radio License Holding XI, LLC must also send electronic notification on the date said payment is made to Terry.Cavanaugh@fcc.gov, Anjali.Singh@fcc.gov, and Melissa.Marshall@fcc.gov. 15. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement shall be mailed to the Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554, and MUST INCLUDE the NAL/Account Number referenced above. To the extent practicable, any response should also be sent by e-mail to Terry.Cavanaugh@fcc.gov, Anjali.Singh@fcc.gov, and Melissa.Marshall@fcc.gov. 16. The Commission will
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- Operations, 445 12th Street, SW, Room 1-A625, Washington, D.C. 20554. Please contact the Financial Operations Group Help Desk at 1-877-480-3201 or Email: ARINQUIRIES@fcc.gov with any questions regarding payment procedures. 17. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to sections 1.80(f)(3) and 1.16 of the Rules. Any response must be mailed both to: Marlene H. Dortch, Secretary, Federal Communications Commission, 445 12th Street, SW, Washington, DC 20554, ATTN: Enforcement Bureau - Telecommunications Consumers Division; and to Richard A. Hindman, Chief, Telecommunications Consumers Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, SW, Washington, DC 20554, and must include the NAL/Acct. No. referenced in
- http://www.fcc.gov/eb/Orders/2012/FCC-12-39A1.html
- T-Mobile USA, Inc. must also send electronic notification to Pamera Hairston at Pamera.Hairston@fcc.gov, Linda Nagel at Linda.Nagel@fcc.gov, and Samantha Peoples at Sam.Peoples@fcc.gov on the date said payment is made. 8. The written statement seeking reduction or cancellation of the proposed forfeiture, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Rules. The written statement must be mailed to the Office of the Secretary, Federal Communications Commission, 445 12th Street, S.W., Washington, D.C. 20554, ATTN: Enforcement Bureau - Spectrum Enforcement Division, and must include the NAL/Acct. No. referenced in the caption. The statement also should be emailed to Pamera Hairston at Pamera.Hairston@fcc.gov and to Linda Nagel at Linda.Nagel@fcc.gov. 9.
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- "FORF" in block number 24A (payment type code). Telseven will also send electronic notification within forty-eight (48) hours of the date said payment is made to Terry.Cavanaugh@fcc.gov and Robert.Krinsky@fcc.gov. 37. The written statement seeking reduction or cancellation of the proposed forfeitures, if any, must include a detailed factual statement supported by appropriate documentation and affidavits pursuant to Sections 1.80(f)(3) and 1.16 of the Commission's rules. The written statement must be mailed to Theresa Z. Cavanaugh, Chief, Investigations and Hearings Division, Enforcement Bureau, Federal Communications Commission, 445 12th Street, S.W., Room 4-C330, Washington, D.C. 20554 and must include the NAL/Account number referenced above. The written statement should also be e-mailed to Theresa Z. Cavanaugh at Terry.Cavanaugh@fcc.gov, Pamela S. Kane at Pamela.Kane@fcc.gov, and
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- Time to oppose, filed by ICS on September 15, 2004; and (3) Opposition to Petition to Deny filed by ICS on October 1, 2004 (``Opposition''). Mr. Cusak did not respond to the Opposition. This Declaration also serves as a sworn affidavit because it was made before a person legally authorized to administer an oath or affirmation. See 47 C.R.R. § 1.16. See File No. BALED-20030828ASB. Cusak claims that ICS Sub was an alternate, fictitious trade name for ICS that was never registered with the Ohio Secretary of State's office. See Cusak Declaration at 1. 47 U.S.C. § 309(d). Id. at § 309(d)(1). See Tabback Broadcasting Company, 15 FCC Rcd 11899, 11900 n. 3 (2000), and Chet-5 Broadcasting, L.P., 14 FCC Rcd
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- Opinion and Order, 4 FCC Rcd 2339, 2339 n.5 (WTB 1989) (adopting definition of ``affidavit'' as a ``written or printed declaration or statement of facts, made voluntarily, and confirmed: by oath or affirmation of the party making it, taken before a person having authority to administer such oath or affirmation.''). See 47 U.S.C. § 309(d)(1). See also 47 C.F.R. § 1.16 (allowing unsworn declaration under penalty of perjury in lieu of a sworn affidavit in certain circumstances). See also Newsystems of Pennsylvania, Inc., Memorandum Opinion and Order, 2 FCC Rcd 73, 74 (1987) (affidavit based only upon the affiant's best knowledge, information, and belief is insufficient for purposes of Section 309(d)(1) of the Act; also, affidavits that are neither sworn nor
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- first unnumbered page. 47 U.S.C. § 309(d)(1) (``The petitioner shall serve a copy of such petition on the applicant.'') 47 C.F.R. § 0.459. 47 U.S.C. § 309(d)(1) (``Such allegations of fact shall, except for those of which official notice may be taken, be supported by affidavit of a person or persons with personal knowledge thereof.'') See also 47 C.F.R. § 1.16 (allowing unsworn declaration under penalty of perjury in lieu of a sworn affidavit in certain circumstances). 47 C.F.R. § 73.3587. Because we may consider Myers's pleading as an informal objection, we will deny Lout's Motion to Strike the Objection. 47 U.S.C. § 309(d); 47 C.F.R. § 73.5006(b). Citizens for Jazz on WRVR v. F.C.C., 775 F.2d 392, 395 (D.C. Cir.
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- Commission at the time, contained a modified version of the Response. 47 U.S.C. § 312(g). FCC Form 351A (file no. BNPED-19990928AAV). Application on FCC Form 302-FM (file no. BLED-20080707AAD). LOI at 5 and Ex. A. The LOI directed GLCB and GLBA to respond with affidavits or declarations under penalty of perjury in accordance with the requirements of 47 C.F.R. § 1.16. Id. at 9. The LOI warned that knowingly and willfully making any false statement or concealing any material fact in reply to the LOI is punishable by fine or imprisonment pursuant to 18 U.S.C. § 1001. Id. Response at 2. Id. No extension request or tolling request was ever submitted to the Commission. We also note that Dr. McCluskey, as
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- rebutted the claim). Joint Opposition at 2. We decline Lawyers Guild's request that we dismiss the Applicants' declarations because they were not sworn (Objector's Response at 3). The Applicants' declarations, filed in response to the informal objections, are not required by law, rule or other regulation to be supported by an affidavit or an unsworn declaration, as provided in Section 1.16 of the Rules (47 C.F.R. § 1.16). While Section 73.3584(b) of the Rules requires allegations of fact or denials thereof in oppositions to petitions to deny to be supported by affidavit of a person or persons with personal knowledge thereof, there is no such legal or regulatory requirement for responses to informal objections (See 47 C.F.R. §§ 73.3584(b) and 73.3587
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- officer (or any other affiant or declarant) is relying on the personal knowledge of any other individual, rather than his or her own knowledge, provide separate affidavits or declarations of each such individual with personal knowledge that identify clearly to which responses the affiant or declarant with such personal knowledge is attesting. All such declarations provided must comply with Section 1.16 of the Rules, and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. Failure to respond appropriately to this Media Bureau letter of inquiry may constitute a violation of the Act and our Rules, and failure to
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- officer (or any other affiant or declarant) is relying on the personal knowledge of any other individual, rather than his or her own knowledge, provide separate affidavits or declarations of each such individual with personal knowledge that identify clearly to which responses the affiant or declarant with such personal knowledge is attesting. All such declarations provided must comply with Section 1.16 of the Rules, and be substantially in the form set forth therein. To knowingly and willfully make any false statement or conceal any material fact in reply to this inquiry is punishable by fine or imprisonment. Failure to respond appropriately to this Media Bureau letter of inquiry may constitute a violation of the Communications Act and the Commission's Rules. The
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- FM stations in market 0.009 (0.31) 0.006 (0.20) 0.009 (0.31) Number of FM stations in contour -0.000 (0.01) -0.001 (0.02) 0.002 (0.05) Number of commercial TV stations 0.027 (0.30) 0.030 (0.33) 0.033 (0.36) Number of digital radio stations in market 0.015 (1.11) 0.020 (1.46) 0.016 (1.18) Number of newspapers in market -0.232 (2.25)* -0.249 (2.40)* -0.228 (2.22)* Population 18+ -0.000 (1.16) -0.000 (0.97) -0.000 (0.90) Retail expenditures in market -0.000 (0.51) 0.000 (0.08) -0.000 (0.23) Per capita income in market -0.000 (1.70) -0.000 (2.24)* -0.000 (2.14)* 2007-2009 time effect -0.301 (3.64)** -0.304 (3.64)** -0.299 (3.64)** Constant -0.058 (0.86) -0.059 (0.87) -0.051 (0.76) * - estimated regression coefficient is different from zero at the 95 percent level of confidence. ** - estimated
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- 6,570 31,841 42,929 0.22 0.11 0.09 0.24 7 18 15 15 15Taiwan 2,201 27,413 1 29,615 14,811 0.08 0.06 0.12 0.29 1 19 14 11 8France 13,738 5,778 7,561 27,077 6,581 1.03 0.38 0.29 0.51 7 20 19 26 20India 3,529 23,029 0 26,558 3,121 0.15 0.18 0.40 0.46 7 21 20 20 19Philippines 10,642 8,814 634 20,090 10,754 1.13 1.16 1.11 1.59 6 22 23 21 24Colombia 4,008 6,851 5,220 16,079 2,911 0.33 0.32 0.31 0.58 6 23 22 23 21Venezuela 3,086 5,886 3,717 12,689 20,365 0.32 0.22 0.38 0.70 8 24 21 22 n.a.New Zealand 2,630 3,912 4,095 10,637 2,136 0.33 0.19 0.13 1.63 4 25 n.a. n.a. 27Dominican Republic 3,266 1,643 4,032 8,941 5,846 0.58 2.14 2.15 2.94
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- Points 90.6% 95.4% 99.2% 93.9% 95.7% Regional Total Western Europe 87,857 276,164 20,796 384,817 105,885 0.30 0.47 0.85 0.93 Africa 2,756 4,519 0 7,275 947 0.61 1.79 3.55 5.82 Middle East 2,970 8,824 270 12,064 1,109 0.33 0.86 2.21 3.13 Caribbean 8,828 3,296 0 12,124 4,295 2.68 4.55 5.52 5.00 North and Central America 164,749 156,844 10,646 332,239 164,466 0.98 1.16 1.38 1.64 South America 8,720 22,654 314 31,688 7,872 0.38 0.86 1.06 1.89 Asia 24,745 67,451 2,239 94,435 51,845 0.36 0.71 0.88 1.15 Oceania 4,433 17,139 406 21,978 6,978 0.25 0.75 1.04 1.08 Eastern Europe 5,343 4,416 40 9,799 1,298 1.20 2.84 2.71 6.36 Other Regions 0 479 0 479 0 0.00 0.00 0.00 0.00 Total for all International Points
- http://www.fcc.gov/ib/sand/mniab/traffic/files/ITRND01.pdf
- 1.63 1.59 1.61 1967 39.7 114.2 54.6 59.6 23.4 31.8 2.88 1.38 1.50 1.36 1.45 1968 46.4 126.9 61.5 65.4 28.2 40.0 2.73 1.33 1.41 1.42 1.41 1969 64.6 172.0 82.7 89.4 38.3 51.6 2.66 1.28 1.38 1.35 1.37 1970 81.1 196.6 98.9 97.7 51.0 59.8 2.43 1.22 1.21 1.17 1.19 1971 100.9 237.4 120.7 116.6 68.4 75.1 2.35 1.20 1.16 1.10 1.13 1972 126.5 291.8 148.2 143.6 91.7 98.6 2.31 1.17 1.14 1.08 1.11 1973 159.3 364.9 184.4 180.5 111.5 120.2 2.29 1.16 1.13 1.08 1.11 1974 190.7 428.7 216.6 212.1 142.0 152.2 2.25 1.14 1.11 1.07 1.09 1975 219.4 490.2 247.4 242.9 167.0 176.9 2.23 1.13 1.11 1.06 1.09 1976 272.7 601.1 303.0 298.1 197.2 207.2 2.20 1.11 1.09
- http://www.fcc.gov/ib/wrc-03/files/docs/meeting/iwg/iwg_2/wrc03_iwg_2_Minutes_1.pdf
- meeting, were provisionally approved. Draft Preliminary Views: Individuals were identified to prepare draft preliminary views for the WRC-03 agenda items associated with IWG-2, and set forth in the terms of reference: 1. Agenda item 1.4 - D. Weinreich, Globalstar 2. Agenda item 1.6 D. Weinreich, Globalstar 3. Agenda item 1.15 D. Jansky, JBTI, S.Baruch, LS&L 4. Agenda items 1.16 & 1.20 E. Miller, LEO-1, A.Renshaw, FAI 5. Agenda item 1.31 K. Keane, AFTRAC 6. Agenda item 1.8 A. Renshaw (Part) Future Meeting: It was established that the next meeting would be held at the same time and place on March 14, 2001, and the subsequent meeting on April 11, 2001, at the same location but beginning
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- Agenda Item 1.4 - Proposal by RCS approved by IWG 2. Agenda Item 1.6 The work on this agenda item appears to be mature and complete. People are satisfied with the package. 3. Agenda Item 1.15 There have been two proposals made on 2 of the 3 issues. No proposal is anticipated on Resolution 604. 4. Agenda Item 1.16 Expect a proposal on this agenda item. RCS is concerned that the preliminary view is outdated. RCS would welcome an update. 5. Agenda Item 1.20 An attempt will be made to contact Leo 1 to determine if any more work will be done. 6. Agenda Item 1.31 IWG-2 developed a proposal on Resolution 226 and commented on
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- IWG-2 as set forth in the terms of reference were presented for discussion. Remaining new and revised items were requested to be circulated among the group for review by 11 April to be considered at the next meeting on 17 April. Approved Preliminary Views from the next meeting would be forwarded to the WRC-03 Advisory Committee. 1. IWG-2/04, Agenda item 1.16, A. Renshaw: comments included adding information to the format, and more definition to the proposed allocations. 2. IWG-2/05, Agenda item 1.20, A. Renshaw for E. Miller. Comments were made to add information on completed studies and add details on the desired frequency bands being proposed for allocation. 3. IWG-2/06, Agenda item 1.15, S. Baruch: minor edits. 4. IWG-2/07 RCS Draft
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- Doc. IWG-2/009, Agenda Item 1.4, 5 GHz Feeder Links and MLS, (D. Weinreich) Approved with minor edits. b. Doc. IWG-2/010, Agenda Item 1.6, Protection of 5 GHz Feeder Links from RLANS, (D. Weinreich), Approved with revisions and edits. c. Doc. IWG-2/006, Agenda Item 1.15, RNSS at 1164-1300 MHz, (S. Baruch), Approved with one editorial modification. d. Doc. IWG-2/004, Agenda Item 1.16, NVNG MSS Feeder Links at 1.4 GHz, (A. Renshaw), Approved pending addition of paragraph describing domestic situation in band 1390- 1450 MHz. Assigned to Drafting Group - A. Renshaw, J. Lyon, E. Miller, P. Mahoney and D. Jansky. e. Doc IWG-2/005, Agenda Item 1.20, Additional NVNG MSS Allocations, (A. Renshaw), Approved pending modifications that reflect studies called for in Res.
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- measures under consideration in the U.S. to protect non-GSO MSS feeder links from unacceptable interference emanating from unlicensed applications in the Fixed and Mobile services. As modified, IWG-2/013 was agreed. D. Weinreich will forward the revised PV to the IWG-2 members, and it will be presented by P. Mahoney to the WAC at its May 24th meeting. b. WAC/019 (AI 1.16). It was agreed in principle that a modified PV in WAC/019 would be coordinated by P. Mahoney and interested representatives from the FCC and industry. If an agreed modified version can be developed, it too will be presented to the WAC on May 24th. Discussion of IWG-2 Preliminary Views on which comments were received in response to the FCC 30
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- there was no Preliminary View, submitted by the USA to the CITEL meeting, on WRC-03 Agenda Item 1.5. This Agenda Item has been discussed in IWG-5. The FCC did not agree with the proposed RCS Preliminary View on this agenda item and, therefore, nothing was submitted to CITEL. The FCC, also, did not approve the Preliminary View on Agenda Item 1.16, for submission to the CITEL meeting, since an NPRM on bands around 1.4 GHz must first be concluded. Baruch indicated that the CITEL Preliminary Views were approved by WRC- 03 Working Group within PCC III but not by the PCC III Plenary. He indicated that the Preliminary Views would be distributed by e-mail. He further stated that these Preliminary Views
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- New or Revised IWG-2 Draft Preliminary Views: There were no new or revised Draft Preliminary Views introduced or presented. D. Jansky indicated he may have a modified or enhanced Draft Preliminary view for WRC-03 Agenda Item 1.15 (Radionavigation-Satellite Service) in time for the November CITEL meeting in Guatemala. It was also noted that the Draft Preliminary View for Agenda Item 1.16 (Feeder links in the region of 1.4 GHz) is held pending the release of the FCC's Report and Order dealing with this issue. Once that R&O is released, this document should be reassessed for consistency and resubmitted to the FCC. Also, it was noted that there is a need for a Preliminary View on the requirement for pfd limits for
- http://www.fcc.gov/ib/wrc-03/files/docs/meeting/iwg/iwg_2/wrc03_iwg_2_listdoc.pdf
- text/plain Content-Transfer-Encoding: 8bit WRC-03 Advisory Committee IWG-2 Mobile-Satellite Service Including GPS Documents (Updated 12/03/01) Number Date Author Title Status IWG-2/001 03/14/01 S. Baruch Agenda for Second Meeting of IWG-2 Approved IWG-2/002 03/14/01 S. Baruch Terms of Reference Approved IWG-2/003 (Rev.1) 03/14/01 D. Jansky Minutes of First Meeting of IWG-2 Approved IWG-2/004 04/18/01 A. Renshaw Draft Preliminary View on Agenda Item 1.16 Approved IWG-2/005 04/18/01 A. Renshaw Draft Preliminary View on Agenda Item 1.20 Approved IWG-2/006 04/16/01 S. Baruch Draft Preliminary Views on Agenda Item 1.15 Approved IWG-2/007 03/14/01 RCS RCS Draft Preliminary Views on IWG-2 Issues Information IWG-2/008 (Rev.1) 04/17/01 A. Renshaw Minutes of Second Meeting of IWG-2 Approved IWG-2/009 04/17/01 D. Weinreich Draft Preliminary View on Agenda Item 1.4 Approved
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- (4) the consideration of allocations on a worldwide basis for feeder links in bands around 1.4 GHz to the non-GSO MSS with service links operating below 1 GHz, taking into account the results of ITU-R studies conducted in response to Resolution 127 (Rev.WRC-2000), provided that due recognition is given to the passive services, taking into account No. S5.340 (Agenda Item 1.16); (5) the consideration of additional allocations on a worldwide basis for the non-GSO MSS with service links operating below 1 GHz, in accordance with Resolution 214 (Rev.WRC-2000) (Agenda Item 1.20); (6) the consideration of additional allocations to the mobile-satellite service in the 1-3 GHz band, in accordance with Resolutions 226 (WRC-2000) and 227 (WRC-2000) (Agenda Item 1.31); (7) the consideration
- http://www.fcc.gov/mb/databases/cdbs/index.html
- [45]FTP | [46]HTTP ] (0.01 MB) dtv_allotment.zip [ [47]FTP | [48]HTTP ] (0.04 MB) dtv_channel_assignments.zip [ [49]FTP | [50]HTTP ] (0.06 MB) dtv_facility.zip [ [51]FTP | [52]HTTP ] (0.01 MB) dtv_transition.zip [ [53]FTP | [54]HTTP ] (0.20 MB) elevation_ant_make.zip [ [55]FTP | [56]HTTP ] (0.00 MB) elevation_pattern.zip [ [57]FTP | [58]HTTP ] (0.51 MB) elevation_pattern_addl.zip [ [59]FTP | [60]HTTP ] (1.16 MB) fac_party.zip [ [61]FTP | [62]HTTP ] (0.49 MB) facility.zip [ [63]FTP | [64]HTTP ] (2.79 MB) fm_app_indicators.zip [ [65]FTP | [66]HTTP ] (0.47 MB) fm_eng_data.zip [ [67]FTP | [68]HTTP ] (8.81 MB) fmcmnts.zip [ [69]FTP | [70]HTTP ] (0.17 MB) frn_history.zip [ [71]FTP | [72]HTTP ] (1.07 MB) gen_app_indicators.zip [ [73]FTP | [74]HTTP ] (0.89 MB) if_notification.zip [ [75]FTP
- http://www.fcc.gov/mb/peer_review/prlpfm_rpt_economic_study.pdf
- FM stations in market 0.009 (0.31) 0.006 (0.20) 0.009 (0.31) Number of FM stations in contour -0.000 (0.01) -0.001 (0.02) 0.002 (0.05) Number of commercial TV stations 0.027 (0.30) 0.030 (0.33) 0.033 (0.36) Number of digital radio stations in market 0.015 (1.11) 0.020 (1.46) 0.016 (1.18) Number of newspapers in market -0.232 (2.25)* -0.249 (2.40)* -0.228 (2.22)* Population 18+ -0.000 (1.16) -0.000 (0.97) -0.000 (0.90) Retail expenditures in market -0.000 (0.51) 0.000 (0.08) -0.000 (0.23) Per capita income in market -0.000 (1.70) -0.000 (2.24)* -0.000 (2.14)* 2007-2009 time effect -0.301 (3.64)** -0.304 (3.64)** -0.299 (3.64)** Constant -0.058 (0.86) -0.059 (0.87) -0.051 (0.76) * -estimated regression coefficient is different from zero at the 95 percent level of confidence. ** -estimated regression coefficient
- http://www.fcc.gov/mb/peer_review/prrespstudy4.pdf
- *** 78.39 28.97 28.77 ABC 913.40 *** 54.97 32.61 *** 7.47 CBS 866.59 *** 54.80 21.93 *** 6.26 PBS 372.46 *** 42.09 130.84 * 67.38 NBC 809.12 *** 44.81 35.34 *** 8.50 FOX 322.66 *** 25.79 27.00 *** 6.17 IND 169.06 *** 31.48 64.31 *** 19.59 WB 82.41 *** 19.86 4.42 5.74 REL 23.67 26.27 27.09 26.10 UPN 13.30 21.60 1.16 5.21 UNI 502.54 *** 33.76 -7.32 14.12 PAX 119.78 *** 18.27 14.35 13.23 PUB 522.69 *** 110.99 367.73 ** 173.52 TBN 17.16 16.10 -14.02 13.98 INS 8.53 73.51 9.09 24.79 TEL 378.66 *** 27.67 8.46 11.72 AZT 328.46 *** 73.13 -21.41 27.85 TLF -39.71 24.56 -23.53 17.39 SHP -93.42 128.45 -15.65 37.96 EDU 162.17 *** 51.63 165.89 * 99.44 HSN
- http://www.fcc.gov/ogc/documents/opinions/1996/redrock.html http://www.fcc.gov/ogc/documents/opinions/1996/redrock.wp
- the FCC announced, on May 25, 1988, that it would again accept applications for that allotment. Notice of FM Broadcast Allotment "First-Come/First-Serve" Filing Status, Report No. FCFS-8. On June 1, the FCC received an application from EAR, Inc., which proposed a fully spaced transmitter site. On June 2, Red Rock Broadcasting, Inc., submitted an application for a site that fell 1.16 kilometers short of the 209 kilometers required between it and Station KGMN in Kingman, Arizona. KGMN was a class A station that had been authorized to operate as a Class C1 facility but had not upgraded its facilities to do so. Red Rock's proposal was short spaced only with respect to this unused C1 allotment. With its application, Red Rock
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-broadband-dead-zone-report.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: If this information system has been a component or a subset of another
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-ccd.pdf
- covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 10 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: The personally identifiable information that will be collected, maintained, and used by PSHSB
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-core-financial.pdf
- covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 10 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: The CFSR will be a new information system. What is the System of
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-criminal-investigative-files.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-crisis.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-dqc.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-ecfs.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-email.pdf
- covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. 11 If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-experimental-radio.pdf
- covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. 11 If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-faca.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-financial.pdf
- covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. 9 If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: It existed as a component of another SORN. A new SORN will be
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-foia.pdf
- covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. 10 If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-general-investigative-files.pdf
- covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 11 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-ils.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-investigations-hearings.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-labor-employee-relations.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-lmts.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: The Legislative Management Tracking System (LMTS) is a "stand alone" information system. It
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-pams.pdf
- covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 10 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: The Personnel Availability Management System (PAMS) information system is a "stand alone" information
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-pay-leave-garnish.pdf
- covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. 11 If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-personal-security-files.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-physical-access.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-reasonable-accommodation-requests.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-remedy.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: 10 What is the System of Records Notice (SORN) of which it is
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-rmis.pdf
- covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 10 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: This is a new system of records notice. What is the System of
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-small-business-contacts.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-telephone-call-details.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-transit.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: 11 What is the System of Records Notice (SORN) of which it is
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-uls.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pia-violators.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exist by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No 11 If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is
- http://www.fcc.gov/omd/privacyact/System_of_records/pshsb-coop-plan.pdf
- already covers this PII, please skip to Section 2.0 System of Records Notice (SORN) Update to address any changes to this SORN. If a system of records notice (SORN) does not presently cover the information about individuals in this system, then it is necessary to determine whether a new FCC system of records notice must be created for the information. 1.16 If this information system is not covered by a system of records notice (SORN), does the information system exists by itself, or does it now, or did it previously exist as a component or subset of another SORN? Yes No If yes, please explain what has occurred: What is the System of Records Notice (SORN) of which it is currently
- http://www.fcc.gov/omd/privacyact/System_of_records/pta-broadband-dead-zone-report.pdf
- information may be used to inform implementation of the National Broadband Plan, the National Broadband Map, and other proceedings related to the provisioning of broadband services. This information system has no other purposes. If the information system contains information about individuals, please answer Question 1.15; but if the information system does not contain information about individuals, please skip to Question 1.16. 1.15 What is the potential impact or "security risk" on individuals on whom the information is maintained in the information system(s) if unauthorized disclosure or misuse of information occurs? (check one) Results in little or no harm, embarrassment, inconvenience, or unfairness to the individual. Results in moderate harm, embarrassment, inconvenience, or unfairness to the individual. Results in significant harm, embarrassment,
- http://www.fcc.gov/omd/privacyact/System_of_records/pta-ccd.pdf
- Yes No Please explain your response: Any personally identifiable information (PII) that the public submits is done on a voluntary basis. PSHSB will use the comments, including PII, as part of its efforts to improve its summit, conferences, and public forums, etc., and public outreach activities. If the information system does not contain information about individuals, please skip to Question 1.16. 1.15 What is the potential impact or "security risk" on individuals on whom the information is maintained in the information system(s) if unauthorized disclosure or misuse of information occurs? (check one) Results in little or no harm, embarrassment, inconvenience, or unfairness to the individual. Results in moderate harm, embarrassment, inconvenience, or unfairness to the individual. Results in significant harm, embarrassment,
- http://www.fcc.gov/omd/privacyact/System_of_records/pta-clarity.pdf
- the FCC's purpose for using Clarity is to review project information at that aggregate level for the Commission's IT investments. Clarity is not designed or intended to make determinations about individual work performance. If the information system contains information about individuals, please answer Question 1.15; but if the information system does not contain information about individuals, please skip to Question 1.16. 1.15 What is the potential impact or "security risk" on individuals on whom the information is maintained in the information system(s) if unauthorized disclosure or misuse of information occurs? (check one) Results in little or no harm, embarrassment, inconvenience, or unfairness to the individual. Results in moderate harm, embarrassment, inconvenience, or unfairness to the individual. Results in significant harm, embarrassment,
- http://www.fcc.gov/omd/privacyact/System_of_records/pta-core-financial.pdf
- such time as the CFSR replaces the Revenue Management Information Sysetm (RMIS), the Financial Systems Operations Group (FSOG) staff in OMD-FO may decide whether the CFSR information system will have the capbility to make a determination about whether an individual has made payments to the FCC. If the information system does not contain information about individuals, please skip to Question 1.16. 1.15 What is the potential impact or "security risk" on individuals on whom the information is maintained in the information system(s) if unauthorized disclosure or misuse of information occurs? (check one) Results in little or no harm, embarrassment, inconvenience, or unfairness to the individual. Results in moderate harm, embarrassment, inconvenience, or unfairness to the individual. Results in significant harm, embarrassment,
- http://www.fcc.gov/omd/privacyact/System_of_records/pta-lmts.pdf
- the LMTS attachments have been freely submitted by those people seeking help or information from their Senator or Congressman. The information given may be used to address a specific problem posed by the correspondent, but it is not used to "make a determination about an individual". If the information system does not contain information about individuals, please skip to Question 1.16. 1.15 What is the potential impact or "security risk" on individuals on whom the information is maintained in the information system(s) if unauthorized disclosure or misuse of information occurs? (check one) Results in little or no harm, embarrassment, inconvenience, or unfairness to the individual. Results in moderate harm, embarrassment, inconvenience, or unfairness to the individual. Results in significant harm, embarrassment,
- http://www.fcc.gov/omd/privacyact/System_of_records/pta-pams.pdf
- included in the individual's records or to be used to make a determination about an individual? Yes No Please explain your response: The PAMS information system is an emergency system that is used only during a building or regional incident making the FCC Headquarters building uninhabitable., If the information system does not contain information about individuals, please skip to Question 1.16. 1.15 What is the potential impact or "security risk" on individuals on whom the information is maintained in the information system(s) if unauthorized disclosure or misuse of information occurs? (check one) Results in little or no harm, embarrassment, inconvenience, or unfairness to the individual. Results in moderate harm, embarrassment, inconvenience, or unfairness to the individual. Results in significant harm, embarrassment,
- http://www.fcc.gov/omd/privacyact/System_of_records/pta-rmis.pdf
- PII that is covered by the new system of records notice, FCC/OMD-25, "Revenue Management Information System." The FCC may use this information to determine whether to grant a license, etc. to an individual who has registered with the FCC based on records that the FCC maintains. If the information system does not contain information about individuals, please skip to Question 1.16. 11 1.15 What is the potential impact or "security risk" on individuals on whom the information is maintained in the information system(s) if unauthorized disclosure or misuse of information occurs? (check one) Results in little or no harm, embarrassment, inconvenience, or unfairness to the individual. Results in moderate harm, embarrassment, inconvenience, or unfairness to the individual. Results in significant harm,
- http://www.fcc.gov/ownership/roundtable_docs/waldfogel-b.pdf
- data. Arbitron only reports minority listening separately in markets with substantial minority Contemp., CHR/New Rock, Contemporary Hit Radio/Urban, Classical, Classic Album Oriented Rock, Classic Hits, Ethnic, Easy Listening, Full Service/Variety, Full Service/Variety/Talk, Gospel, Jazz, News, News/Talk, Oldies, Religious, Soft Adult Contemp., Spanish, Sports, Talk, Talk/Classic AOR, Talk/Full Service, Talk/Jazz. 14 populations, and these markets tend to be large. Population averages 1.16 million in the 100 markets with black listening data; black population in the same markets averages 190 thousand, and the percent black averages 18.7 percent. Population averages 1.62 million in the 51 markets with Hispanic listening data; the Hispanic population averages 334 thousand, and the percent Hispanic averages 24.5 percent. Because much radio listening takes place in cars, we have
- http://www.fcc.gov/transaction/comsat-telenor/fcc01-369.pdf
- or "Intercepted" has the meaning defined in 18 U.S.C. §2510(4). 1.15 "Lawful U.S. Process" means U.S. federal, state or local Electronic Surveillance orders or authorizations, and other orders, legal process, statutory authorizations, and certifications for interception of, access to or disclosure of Domestic Communications, Call Associated Data, Transactional Data or Subscriber Information authorized by U.S. federal, state or local law. 1.16 "MES" means a mobile earth station (i.e., a hand-held, portable or other mobile terminal capable of receiving and/or transmitting Wire Communications or Electronic Communications by satellite). 1.17 "Non U.S.-Licensed MES" means an Inmarsat MES other than a U.S.-Licensed MES. FEDERAL COMMUNICATIONS COMMISSION FCC 01-369 31 1.18 "Party" or "Parties" have the meaning given in the Preamble. 1.19 "Pro forma assignments"