Prometheus Files Comments on LPFM Service Proceeding Allied Organizations Sign On!
Over 15,000 comments were filed during the public comment period on the Notice of Proposed Rulemaking on LPFM radio service at the Federal Communications Commission. Over twenty five organizations signed on to Prometheus' comments, which addressed issues ranging from LPFM status in relation to translators to whether FCC regulations should permit the sale of LPFM licenses. Curious? Take a look at our list of questions drawn from the NPRM for a quick synopsis of the issues, or use it to guide your reading! Really curious? The Federal Register version of the Notice of Proposed Rulemaking for your downloading pleasure!
Read our document "14.5 Ways the FCC Can Improve LPFM" for a brief outline of where we stand on some of the NPRM issues, or peruse our comments for deeper insight, and get a feel for a part of the FCC 's regulatory process and how we participate. Following every public comment period, the FCC accepts reply comments. REC Networks successfully petitioned the FCC to extend the reply comment period for this NPRM; we just filed our reply comments, in which we take up our pen and wield it against the likes of National Public Radio and the National Association of Broadcasters. Still can't get enough? Never fear, there is tons of significant commentary to read on this proceeding!
Prometheus Files Comments on LPFM Service Proceeding Allied Organizations Sign On! Over 15,000 comments were filed during the public comment period on the Notice of Proposed Rulemaking on LPFM radio service at the Federal Communications Commission. Over twenty five organizations signed on to Prometheus' comments, which addressed issues ranging from LPFM status in relation to translators to whether FCC regulations should permit the sale of LPFM licenses. Curious? Take a look at our list of questions drawn from the NPRM for a quick synopsis of the issues, or use it to guide your reading! Really curious? The Federal Register version of the Notice of Proposed Rulemaking for your downloading pleasure! Read our document "14.5 Ways the FCC Can Improve LPFM" for a brief outline of where we stand on some of the NPRM issues, or peruse our comments for deeper insight, and get a feel for a part of the FCC 's regulatory process and how we participate. Following every public comment period, the FCC accepts reply comments. REC Networks successfully petitioned the FCC to extend the reply comment period for this NPRM; we just filed our reply comments, in which we take up our pen and wield it against the likes of National Public Radio and the National Association of Broadcasters. Still can't get enough? Never fear, there is tons of significant commentary to read on this proceeding! |