2025 has begun – and everyone is speculating as to what the New Year will bring, particularly given the upcoming change in administration in the White House and at the FCC. Yesterday, we published an article looking at some of the regulatory issues that we expect the FCC will address this year. And we promised
David Oxenford
David Oxenford represents broadcasting and digital media companies in connection with regulatory, transactional and intellectual property issues. He has represented broadcasters and webcasters before the Federal Communications Commission, the Copyright Royalty Board, courts and other government agencies for over 30 years.
Looking Into the Crystal Ball – What Legal and Policy Issues are Ahead for Broadcasters in 2025?
It’s a new year, and as has been our custom at the beginning of each year, we dust off the crystal ball and take a look at what we think may be some of the significant regulatory and legislative issues that broadcasters will be facing in 2025. This year, there is an extra layer of uncertainty given a new administration, both in the White House and at the FCC. Already, it appears that a new administration will bring new priorities – some barely on the radar in past years – to the top of the list of the issues that broadcasters will need to be carefully monitoring.
One of those issues has been a possible FCC review of the meaning of the “public interest” standard under which all broadcasters are governed. As we wrote when President-Elect Trump announced his pick for the new FCC Chair starting on Inauguration Day, Chair-Designate Brendan Carr has indicated that this public interest proceeding will be a high priority. In his opinion, broadcasters, or perhaps more specifically the news media, have suffered from an erosion of trust, and it has been his expressed opinion that a reexamination of the public interest standard might help to restore public trust. We noted in our article upon his selection that this is not the first time that there has been a re-examination of that standard. It has traditionally been difficult to precisely define what the standard means. In the coming days, we will be writing more about this issue. But suffice it to say that we are hopeful that any new examination does not lead to more paperwork obligations for broadcasters, as seemingly occurred whenever any broadcast issue was addressed by the current administration. As we note below, there are several paperwork burdens that we think may disappear in the new administration, so we are not expecting more paper – but we will all need to be carefully watching what develops from any re-examination of the public interest standard.Continue Reading Looking Into the Crystal Ball – What Legal and Policy Issues are Ahead for Broadcasters in 2025?
January 2025 Regulatory Updates for Broadcasters – Quarterly Issues/Programs Lists, Children’s Television Programming Reporting, Expansion of Audio Description Requirements, Political Windows, and More
As 2024 comes to an end, 2025 is beginning to come into focus – a new year that will likely bring big changes to the Washington broadcast regulation scene with the inauguration of a new President and installation of a new FCC chair who has already promised to move forward with policies very different than those of the current administration (see our discussion here and here). But while we are waiting for the big changes that may occur, there are many more mundane dates and issues to which broadcasters need to pay attention. Let’s look at what is coming up in the next month.
Broadcasters need to remember that January 10 is the deadline for all full power and Class A TV stations, and full power AM and FM radio stations, both commercial and noncommercial, to upload to their Online Public Inspection Files their Quarterly Issues/Program lists for the fourth quarter of 2024. The lists should identify the issues of importance to the station’s community and the programs that the station aired between October 1 and December 31, 2024, that addressed those issues. These lists must be timely uploaded to your station’s OPIF, as the untimely uploads of these documents probably have resulted in more fines in the last decade than for any other FCC rule violation. As you finalize your lists, do so carefully and accurately, as they are the only official records of how your station is serving the public and addressing the needs and interests of its community. See our article here for more on the importance of the Quarterly Issues/Programs list obligation.Continue Reading January 2025 Regulatory Updates for Broadcasters – Quarterly Issues/Programs Lists, Children’s Television Programming Reporting, Expansion of Audio Description Requirements, Political Windows, and More
This Week in Regulation for Broadcasters: December 16, 2024 to December 20, 2024
- Congress failed to include the AM For Every Vehicle Act in their year-end omnibus spending legislation, meaning that the bill
This Week in Regulation for Broadcasters: December 9, 2024 to December 13, 2024
- At its December regular monthly Open Meeting, the FCC issued a Notice of Proposed Rulemaking proposing to update several broadcast
This Week in Regulation for Broadcasters: December 2, 2024 to December 6, 2024
- The FCC’s Media Bureau announced that comments and reply comments are due December 13 and 18, respectively, in response to
Giving Back to the Broadcast and Media Industries on Giving Tuesday
For the last few years at this time of the year, we’ve departed from our usual coverage of legal and policy issues to talk about something else – broadcasters giving back. With Giving Tuesday upon us, we wanted to urge our readers to consider ways to give back to our industry. I guess it is now a tradition, so we’ll do it again this year and suggest some of the many ways we can express our thanks to the industry in which we work.
Broadcasters have long been known for their service to their communities, service benefitting individuals and groups across the country. While broadcasters are always giving back to their communities and should be celebrated for that, those of us who make our living in some aspect of the industry should recognize that there are plenty of ways for us to give back as well – both to those associated with the industry who have fallen on hard times, and to those who need assistance in obtaining education and training to enter the media industry we so appreciate. We should all be thankful for jobs, friends, and good fortune. But we should also ourselves give back where possible. In the broadcast industry itself, there are many groups doing good work.Continue Reading Giving Back to the Broadcast and Media Industries on Giving Tuesday
This Week in Regulation for Broadcasters: November 25, 2024 to November 29, 2024
- The U.S. Court of Appeals for the Fifth Circuit announced that oral argument in the appeal of the FCC’s reinstatement
December 2024 Regulatory Updates for Broadcasters -Annual DTV Ancillary/Supplementary Services Report, EEO Deadlines, NCE TV Filing Window and Related Filing Freezes, Comment Deadlines, and More
Even with the holidays upon us, regulation never stops. There are several yearly deadlines in December which broadcasters need to review, particularly those in certain states with EEO requirements at the beginning of the month. There is a short freeze on TV applications while applications in a window for new noncommercial TV stations are filed. And, despite the transition to a Republican-led FCC next year (see our discussion here) and the “pencils-down” requests issued to the FCC by some Republican politicians (see our discussion here), the FCC will be voting on some changes to its broadcast rules at its December 11 open meeting. What follows are some of the upcoming deadlines that you should be watching.
December 2 is the deadline for the filing of the Annual DTV Ancillary/Supplementary Services Report for the 12-Month Period Ending on September 30, 2024, and the submission of any payments that are due. This applies to commercial and noncommercial full-power TV stations, Class A TV stations, and LPTV stations (including those operating on Channel 6) that have fee-based, non-broadcast revenues from their digital transmission capabilities. This means that if TV stations earned fees for data transmission or other non-broadcast services, they must file the report and pay the fees. If they did not, the report is not required.Continue Reading December 2024 Regulatory Updates for Broadcasters -Annual DTV Ancillary/Supplementary Services Report, EEO Deadlines, NCE TV Filing Window and Related Filing Freezes, Comment Deadlines, and More
This Week in Regulation for Broadcasters: November 18, 2024 to November 22, 2024
- President-elect Donald Trump announced that FCC Commissioner Brendan Carr will serve as the next FCC Chairman when Trump takes office
