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This Week in Regulation for Broadcasters:  March 17, 2025 to March 21, 2025

By David Oxenford & Keenan Adamchak on March 23, 2025
Posted in AM Radio, Broadcast Auctions, EEO Compliance/Diversity, Fairness Doctrine, FCC Fines, FM Translators and LPFM, General FCC, License Renewal, Multiple Ownership Rules, Noncommercial Broadcasting, Political Broadcasting, Programming Regulations, Public Interest Obligations/Localism, Television
  • FCC Commissioner Starks announced that he informed President Trump and Senator Minority Leader Schumer (D-NY) that he will resign his
…

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

By David Oxenford & Keenan Adamchak on November 26, 2024
Posted in Uncategorized

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

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Photo of David OxenfordDavid OxenfordPartner

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…

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.

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Photo of David O'ConnorDavid O'ConnorPartner

David has coordinated the purchase and sale of numerous radio and television stations, and has helped telecommunications companies, industry associations, broadcasters, educational institutions and others…

David has coordinated the purchase and sale of numerous radio and television stations, and has helped telecommunications companies, industry associations, broadcasters, educational institutions and others with FCC compliance matters and advocacy in regulatory proceedings, such as those related to new technologies, media ownership, and spectrum allocations. David also advises voice and data providers on issues related to Telecommunications Relay Services (TRS) for the deaf and hard of hearing, including Internet-based Video Relay Services (VRS) and IP Captioned Telephone Service (IP CTS), and otherwise helps clients with all of their FCC-related needs.

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David is a partner at the law firm of Wilkinson Barker Knauer LLP, practicing out of its Washington, DC office. He has represented broadcasters for over 30 years on a wide array of matters from the negotiation and structuring of station purchase and sale agreements to regulatory matters. His regulatory expertise includes all areas of broadcast law including the FCC’s multiple ownership limitations, the political broadcasting rules, EEO policy, advertising issues, and other programming matters and FCC technical rules.

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