80_FR_8061 80 FR 8031 - Expansion of Online Public File Obligations to Cable and Satellite TV Operators and Broadcast and Satellite Radio Licensees

80 FR 8031 - Expansion of Online Public File Obligations to Cable and Satellite TV Operators and Broadcast and Satellite Radio Licensees

FEDERAL COMMUNICATIONS COMMISSION

Federal Register Volume 80, Issue 30 (February 13, 2015)

Page Range8031-8052
FR Document2015-02531

In this document, the Commission proposes to expand to cable operators, satellite TV providers, broadcast radio licensees, and satellite radio licensees the requirement that public inspection files be posted to the FCC's online database. In 2012, the Commission adopted online public file rules for broadcast television stations that required them to post public file documents to a central, FCC-hosted online database rather than maintaining the files locally at their main studios. Now that television broadcasters have completed their transition to the online file, the Commission believes it is appropriate to commence the process of expanding the online file to other media entities to extend the benefits of improved public access to public inspection files and, ultimately, reduce the burden of maintaining these files.

Federal Register, Volume 80 Issue 30 (Friday, February 13, 2015)
[Federal Register Volume 80, Number 30 (Friday, February 13, 2015)]
[Proposed Rules]
[Pages 8031-8052]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-02531]


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FEDERAL COMMUNICATIONS COMMISSION

47 CFR Parts 25, 73, and 76

[MB Docket No. 14-127; FCC 14-209]


Expansion of Online Public File Obligations to Cable and 
Satellite TV Operators and Broadcast and Satellite Radio Licensees

AGENCY: Federal Communications Commission.

ACTION: Proposed rule.

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SUMMARY: In this document, the Commission proposes to expand to cable 
operators, satellite TV providers, broadcast radio licensees, and 
satellite radio licensees the requirement that public inspection files 
be posted to the FCC's online database. In 2012, the Commission adopted 
online public file rules for broadcast television stations that 
required them to post public file documents to a central, FCC-hosted 
online database rather than maintaining the files locally at their main 
studios. Now that television broadcasters have completed their 
transition to the online file, the Commission believes it is 
appropriate to commence the process of expanding the online file to 
other media entities to extend the benefits of improved public access 
to public inspection files and, ultimately, reduce the burden of 
maintaining these files.

DATES: Comments may be filed on or before March 16, 2015, and reply 
comments may be filed April 14, 2015. Written comments on the proposed 
information collection requirements, subject to the Paperwork Reduction 
Act (PRA) of 1995, Pub. L. 104-13, should be submitted on or before 
April 14, 2015.

ADDRESSES: You may submit comments, identified by MB Docket No. 14-127, 
by any of the following methods:
     Federal eRulemaking Portal: http://www.regulations.gov. 
Follow the instructions for submitting comments.  Federal 
Communications Commission's Web site: http://fjallfoss.fcc.gov/ecfs2/. 
Follow the instructions for submitting comments.
     Mail: Filings can be sent by hand or messenger delivery, 
by commercial overnight courier, or by first-class or overnight U.S. 
Postal Service mail. All filings must be addressed to the Commission's 
Secretary, Office of the Secretary, Federal Communications Commission.
     People with Disabilities: Contact the FCC to request 
reasonable accommodations (accessible format documents, sign language 
interpreters, CART, etc.) by email: [email protected] or phone: (202) 418-
0530 or TTY: (202) 418-0432.
    In addition to filing comments with the Secretary, a copy of any 
comments on the Paperwork Reduction Act proposed information collection 
requirements contained herein should be submitted to the Federal 
Communications Commission via email to [email protected] and to 
[email protected] and also to Nicholas A. Fraser, Office of 
Management and Budget, via email to [email protected]. For 
detailed instructions

[[Page 8032]]

for submitting comments and additional information on the rulemaking 
process, see the supplementary information section of this document.

FOR FURTHER INFORMATION CONTACT: Kim Matthews, Media Bureau, Policy 
Division, 202-418-2154, or email at [email protected].

SUPPLEMENTARY INFORMATION: This is a summary of the Commission's Notice 
of Proposed Rulemaking (NPRM), FCC 14-209, adopted on December 17, 2014 
and released on December 18, 2014. The full text of this document is 
available for public inspection and copying during regular business 
hours in the FCC Reference Center, Federal Communications Commission, 
445 12th Street SW., Room CY-A257, Washington, DC 20554. This document 
will also be available via ECFS at http://fjallfoss.fcc.gov/ecfs/. 
Documents will be available electronically in ASCII, Microsoft Word, 
and/or Adobe Acrobat. Alternative formats are available for people with 
disabilities (Braille, large print, electronic files, audio format) by 
sending an email to [email protected] or calling the Commission's Consumer 
and Governmental Affairs Bureau at (202) 418-0530 (voice), (202) 418-
0432 (TTY).

Paperwork Reduction Act of 1995 Analysis

    This NPRM contains proposed new and modified information collection 
requirements. The Commission, as part of its continuing effort to 
reduce paperwork burdens, invites the general public and the Office of 
Management and Budget (OMB) to comment on the information collection 
requirements contained in this document, as required by the Paperwork 
Reduction Act of 1995, Public Law 104-13. Comments should address: (a) 
Whether the proposed collection of information is necessary for the 
proper performance of the functions of the Commission, including 
whether the information shall have practical utility; (b) the accuracy 
of the Commission's burden estimates; (c) ways to enhance the quality, 
utility, and clarity of the information collected; (d) ways to minimize 
the burden of the collection of information on the respondents, 
including the use of automated collection techniques or other forms of 
information technology; and (e) ways to further reduce the information 
collection burden on small business concerns with fewer than 25 
employees. In addition, pursuant to the Small Business Paperwork Relief 
Act of 2002, Public Law 107-198, see 44 U.S.C. 3506(c)(4), the 
Commission seeks specific comment on how it might further reduce the 
information collection burden for small business concerns with fewer 
than 25 employees.
    To view a copy of this information collection request (ICR) 
submitted to OMB: (1) Go to the Web page http://www.reginfo.gov/public/do/PRAMain, (2) look for the section of the Web page called ``Currently 
Under Review,'' (3) click on the downward-pointing arrow in the 
``Select Agency'' box below the ``Currently Under Review'' heading, (4) 
select ``Federal Communications Commission'' from the list of agencies 
presented in the ``Select Agency'' box, (5) click the ``Submit'' button 
to the right of the ``Select Agency'' box, (6) when the list of FCC 
ICRs currently under review appears, look for the Title of this ICR and 
then click on the ICR Reference Number. A copy of the FCC submission to 
OMB will be displayed.
    OMB Control Numbers: 3060-xxxx.
    Title: Sections 25.701, Other DBS Public Interest Obligations, and 
25.702, Other SDARS Public Interest Obligations.
    Form Number: None.
    Type of Review: New collection.
    Respondents: Business or other for profit entities.
    Number of Respondents and Responses: 3 respondents and 3 responses.
    Estimated Hours per Response: 18 hrs.
    Frequency of Response: On occasion reporting requirement, 
Recordkeeping requirement, Third party disclosure requirement.
    Total Annual Burden: 54 hours.
    Total Annual Cost: $592.
    Obligation to Respond: Required to be obtained or retained for 
benefits. The statutory authority for this information collection is 
contained in sections 154, 301, 302, 303, 307, 309, 319, 332, 605, and 
721 of the Communications Act of 1934, as amended.
    Nature and Extent of Confidentiality: There is no need for 
confidentiality with this collection of information.
    Privacy Act Assessment: The Commission prepared a system of records 
notice (SORN), FCC/MB-2, ``Broadcast Station Public Inspection Files,'' 
that covers the PII contained in the broadcast station public 
inspection files located on the Commission's Web site. The Commission 
will revise appropriate privacy requirements as necessary to include 
any entities and information added to the online public file in this 
proceeding.
    Needs and Uses: In FCC 14-209, the Commission proposes to expand 
the requirement that public inspection files be posted to the FCC-
hosted online public file database to Direct Broadcast Satellite (DBS) 
providers and Satellite Digital Audio Radio Services (SDARS) licensees, 
among other entities. The Commission's goal is to make information that 
these entities are already required to make publicly available more 
accessible, by placing this information online, while also reducing 
costs both for the government and the public sector. The public and FCC 
use the information in the public file to evaluate information about 
the DBS or SDARS entity's performance and to ensure that the entity is 
operating pursuant to the FCC's rules. In addition, maintenance of 
political files by DBS and SDARS entities enables the public to assess 
money expended and time allotted to a political candidate and to ensure 
that equal access was afforded to other legally qualified candidates 
for public office.
    OMB Control Numbers: 3060-0214.
    Title: Sections 73.3526 and 73.3527, Local Public Inspection Files; 
Sections 76.1701 and 73.1943, Political Files.
    Form Numbers: None.
    Type of Review: Revision of a currently approved collection.
    Respondents: Business or other for profit entities; Not for profit 
institutions; State, Local or Tribal government; Individuals or 
households.
    Number of Respondents/Responses: 24,961 respondents; 59,902 
responses.
    Estimated Hours per Response: 1-52 hours per response.
    Frequency of Response: On occasion reporting requirement, 
Recordkeeping requirement, Third party disclosure requirement.
    Total Annual Burden: 1,860,656 hours.
    Total Annual Cost: $3,653,372.
    Obligation to Respond: Required to obtain or retain benefits. The 
statutory authority for this information collection is contained in 
sections 154, 303, 334, 336, and 339 of the Communications Act of 1934, 
as amended.
    Nature and Extent of Confidentiality: There is no need for 
confidentiality with this collection of information.
    Privacy Act Assessment: The Commission prepared a system of records 
notice (SORN), FCC/MB-2, ``Broadcast Station Public Inspection Files,'' 
that covers the PII contained in the broadcast station public 
inspection files located on the Commission's Web site. The Commission 
will revise appropriate privacy requirements as necessary to include 
any entities and information added to the online public file in this 
proceeding.
    Needs and Uses: In FCC 14-209, the Commission proposes to expand 
the requirement that public inspection files be posted to the FCC-
hosted online public file database to commercial and

[[Page 8033]]

noncommercial broadcast radio licensees, among other entities. The 
Commission's goal is to make information that these entities are 
already required to make publicly available more accessible, by placing 
this information online, while also reducing costs both for the 
government and the public sector. Among other things, the public and 
FCC use the information in the public file to evaluate information 
about the broadcast licensee's performance and to ensure that the 
station is addressing issues concerning the community which it is 
licensed to serve. In addition, maintenance of political files by 
broadcast and cable entities enables the public to assess money 
expended and time allotted to a political candidate and to ensure that 
equal access was afforded to other legally qualified candidates for 
public office.
    OMB Control Number: 3060-0316.
    Title: 47 CFR Sections 76.1700, Records to be maintained locally by 
Cable System Operators; 76.1702, Equal Employment Opportunity; 76.1703, 
Commercial Records on Children's Programs; 76.1707, Leased Access; 
76.1711, Emergency Alert System (EAS) Tests and Activation.
    Form Number: Not applicable.
    Type of Review: Revision of a currently approved collection.
    Respondents: Business or other for profit entities.
    Number of Respondents/Responses: 3,000 respondents; 3,000 
responses.
    Estimated Hours per Response: 18 hours.
    Frequency of Response: Recordkeeping requirement.
    Total Annual Burden: 54,000 hours.
    Total Annual Cost: $591,840.
    Obligation to Respond: Required to obtain or retain benefits. The 
statutory authority for this information collection is contained in 
Sections 151, 152, 153, 154, 301, 302, 302a, 303, 303a, 307, 308, 309, 
312, 315, 317, 325, 339, 340, 341, 503, 521, 522, 531, 532, 534, 535, 
536, 537, 543, 544, 544a, 545, 548, 549, 552, 554, 556, 558, 560, 561, 
571, 572, and 573 of the Communications Act of 1934, as amended.
    Nature and Extent of Confidentiality: There is no need for 
confidentiality with this collection of information.
    Privacy Act Assessment: The Commission prepared a system of records 
notice (SORN), FCC/MB-2, ``Broadcast Station Public Inspection Files,'' 
that covers the PII contained in the broadcast station public 
inspection files located on the Commission's Web site. The Commission 
will revise appropriate privacy requirements as necessary to include 
any entities and information added to the online public file in this 
proceeding.
    Needs and Uses: In FCC 14-209, the Commission proposes to expand 
the requirement that public inspection files be posted to the FCC-
hosted online public file database to cable operators, among other 
entities. The Commission's goal is to make information that these 
entities are already required to make publicly available more 
accessible, by placing this information online, while also reducing 
costs both for the government and the public sector. Among other 
things, the public and FCC use the information in the public file to 
evaluate information about the broadcast licensee's performance and to 
ensure that the station is addressing issues concerning the community 
which it is licensed to serve. In addition, maintenance of political 
files by broadcast and cable entities enables the public to assess 
money expended and time allotted to a political candidate and to ensure 
that equal access was afforded to other legally qualified candidates 
for public office. Section 76.1700 contains the recordkeeping 
requirements applicable to cable systems, including public inspection 
file requirements. This NPRM proposes to revise Section 76.1700 to 
reflect the requirement that cable operators maintain their public 
inspection file online on the Web site hosted by the FCC. In addition, 
this NPRM proposes a reorganization of Section 76.1700 to more clearly 
address which records must be maintained in the public inspection file 
versus those that must be made available to the Commission or 
franchising authority upon request. Among other changes, the Commission 
proposes to clarify that proof-of-performance test data and signal 
leakage logs and repair data must be made available only to the 
Commission and, in the case of proof-of-performance test data, also to 
the franchisor, and not to the public. Accordingly, this information 
would not be required to be included in the public inspection file or 
in the online public inspection file.

Summary of the Notice of Proposed Rulemaking

I. Introduction

    1. In this Notice of Proposed Rulemaking (``NPRM''), we propose to 
expand to cable operators, satellite TV (also referred to as ``Direct 
Broadcast Satellite'' or ``DBS'') providers, broadcast radio licensees, 
and satellite radio (also referred to as ``Satellite Digital Audio 
Radio Services'' or ``SDARS'') licensees the requirement that public 
inspection files be posted to the FCC's online database. In 2012, we 
adopted online public file rules for broadcast television stations that 
required them to post public file documents to a central, FCC-hosted 
online database rather than maintaining the files locally at their main 
studios. Standardized and Enhanced Disclosure Requirements for 
Television Broadcast Licensee Public Interest Obligations, Second 
Report and Order, 77 FR 27631 (May 11, 2012) (``Second Report and 
Order''). Our goal was to modernize the procedures television 
broadcasters use to inform the public about how they are serving their 
communities, to make information concerning broadcast service more 
accessible to the public and, over time, to reduce the cost of 
broadcasters' compliance. We initiate this proceeding to extend our 
modernization effort to include the public file documents that cable 
operators, DBS providers, and broadcast and satellite radio licensees 
are required to maintain. While the Commission first included only 
television broadcasters in its public file database to ``ease the 
initial implementation of the online public file,'' television 
broadcasters have successfully transitioned to the online file over the 
past two years. Accordingly, we now believe it is appropriate to 
commence the process of expanding the online file to other media 
entities in order to extend the benefits of improved public access to 
public inspection files and, ultimately, reduce the burden on these 
other entities of maintaining these files.

II. Background

    2. One of a broadcaster's fundamental public interest obligations 
is to air programming responsive to the needs and interests of its 
community of license. To ensure that stations meet this obligation, the 
Commission relies on viewers and listeners as an important source of 
information about the nature of a station's programming, operations, 
and compliance with Commission rules. To provide the public with access 
to information about station operations, the Commission's rules have 
long required television and radio broadcast stations to maintain a 
physical public inspection file, including a political file, at their 
respective stations or headquarters and to place in the file records 
that provide information about station operations. The purpose of the 
public inspection file requirement is to ``make information to which 
the public already has a right more readily available, so that the 
public will be encouraged to play a more active part in dialogue with 
broadcast licensees.''

[[Page 8034]]

    3. The Commission promulgated its first political file rule in 
1938. That initial rule was essentially identical to our current 
political file regulation in its requirement that the file be available 
for public inspection and include both candidate requests for time and 
the disposition of those requests, including the ``charges made'' for 
the broadcast time. In 1965, following action by Congress to allow 
greater public participation in the broadcast licensing process, the 
Commission adopted a broader public inspection file rule to enable 
local inspection of broadcast applications, reports, and related 
documents. The Commission noted that Congress' actions ``zealously 
guarded the rights of the general public to be informed'' and that the 
Commission's goal was to make ``practically accessible to the public 
information to which it is entitled.''
    4. Cable, DBS, and SDARS entities also have public and political 
file requirements modeled, in large part, on the longstanding broadcast 
requirements. In 1974, the Commission adopted a public inspection file 
requirement for cable, noting that ``[i]f the public is to play an 
informed role in the regulation of cable television, it must have at 
least basic information about a local system's operations and 
proposals.'' The Commission also noted that ``[r]equiring cable systems 
to maintain a public file merely follows our policy for broadcast 
licensees and is necessary for similar reasons'' and that ``[t]hrough 
greater disclosure we hope to encourage a greater interaction between 
the Commission, the public, and the cable industry.'' With respect to 
DBS providers, the Commission adopted public and political inspection 
file requirements in 1998 in conjunction with the imposition of certain 
public interest obligations, including political broadcasting 
requirements, on those entities. DBS providers were required to ``abide 
by political file obligations similar to those requirements placed on 
terrestrial broadcasters and cable systems'' and were also required to 
maintain a public file with records relating to other DBS public 
interest obligations. Finally, the Commission imposed equal employment 
opportunity and political broadcast requirements on SDARS licensees in 
1997, noting that the rationale behind imposing these requirements on 
broadcasters also applies to satellite radio.
    5. In 2002, Congress adopted the Bipartisan Campaign Reform Act 
(``BCRA'') which amended the political file requirements in section 315 
of the Communications Act of 1934. 47 U.S.C. 315. The amendments apply 
to broadcast television, cable, and DBS. The BCRA essentially codified 
the Commission's existing political file obligations by requiring that 
information regarding any request to purchase advertising time made on 
behalf of a legally qualified candidate for public office be placed in 
the political file. In addition, the BCRA expanded political file 
obligations by requiring that television, cable, and DBS entities also 
place in the political file information related to any advertisements 
that discuss a ``political matter of national importance,'' including 
in the case of an issue advertisement the name of the person or entity 
purchasing the time and a list of the chief executive officers or 
members of the executive committee or of the board of directors of any 
such entity.

A. Online Public File

    6. In 2012 the Commission replaced the decades-old requirement that 
commercial and noncommercial television stations maintain public files 
at their main studios with a requirement to post most of the documents 
in those files to a central, online public file hosted by the 
Commission. See Second Report and Order, 77 FR 27631 (May 11, 2012). As 
noted above, the Commission's goals were to modernize the procedures 
television broadcasters use to inform the public about how they are 
serving their communities, make information concerning broadcast 
service more accessible to the public, and reduce broadcasters' cost of 
compliance. The television online public file rules were the 
culmination of a more than decade-long effort to make information 
regarding how a television broadcast station serves the public interest 
``easier to understand and more accessible,'' ``promote discussion 
between the licensee and its community,'' and ``lessen the need for 
government involvement in ensuring that a station is meeting its public 
interest obligation.''
    7. In June 2011, the Commission staff released ``The Information 
Needs of Communities'' Report (``INC Report''), a comprehensive report 
on the current state of the media landscape created by a working group 
including Commission staff, scholars, and consultants. See www.fcc.gov/infoneedsreport. The INC Report discussed both the need to empower 
citizens to ensure that broadcasters serve their communities in 
exchange for the use of public spectrum, and the need to remove 
unnecessary burdens on broadcasters who aim to serve their communities. 
The INC Report recommended an online system for public inspection files 
in order to ensure greater public access. The INC Report further 
suggested that governments at all levels collect and publish data in 
forms that make it easy for citizens, entrepreneurs, software 
developers, and reporters to access and analyze information to enable 
them to present the data in more useful formats, and noted that greater 
transparency by government and media companies can help reduce the cost 
of reporting, empower consumers, and foster innovation.
    8. Based upon commenter suggestions, in the Second Report and Order 
the Commission determined that each television station's entire public 
file would be hosted online by the Commission. The Commission took a 
number of steps to minimize the burden of the online file on stations. 
Broadcasters were required to upload only those items required to be in 
the public file but not otherwise filed with the Commission or 
available on the Commission's Web site. Any document or information 
required to be kept in the public file and that is required to be filed 
with the Commission electronically in the Consolidated DataBase System 
(``CDBS'') is imported to the online public file and updated by the 
Commission. In addition, television stations were not required to 
upload their existing political files to the online file; rather, 
stations were required only to upload new political file content on a 
going-forward basis. Because of privacy concerns, stations also were 
not required to upload letters and emails from the public to the online 
file; rather, they must continue to retain them in a correspondence 
file at the main studio.
    9. In addition, to smooth the transition for both television 
stations and the Commission and to allow smaller broadcasters 
additional time to begin posting their political files online, the 
Commission phased-in the new political file posting requirement. 
Stations affiliated with the top four national networks (ABC, NBC, CBS, 
and Fox) and licensed to serve communities in the top 50 Designated 
Market Areas (``DMAs'') were required to begin posting their political 
file documents online starting August 2, 2012, but other stations were 
exempted from posting their political file documents online until July 
1, 2014. In the Second Report and Order, the Commission also rejected 
several proposals in the FNPRM to increase public file requirements in 
conjunction with implementation of the online file. Rather, the 
Commission determined that stations would be required to place in their 
online files only material that is already required to be placed in 
their local files.

[[Page 8035]]

    10. The Commission stated in the Second Report and Order that it 
was deferring consideration of whether to adopt online posting for 
radio licensees and multichannel video programming distributors 
(``MVPDs'') until it had gained experience with online posting of 
public files of television broadcasters. The Commission noted that 
starting the online public file process with the much smaller number of 
television licensees, rather than with all broadcasters and MVPDs, 
would ``ease the initial implementation of the online public file.'' In 
response to the FNPRM, a group of public television licensees requested 
that the Commission permit NCE radio stations, or at least those 
licensed to the same entity as, or under common control with, an NCE-TV 
station, to maintain their public inspection files online on the 
Commission's Web site on a voluntary basis. While the Commission 
declined to grant this request, it stated that ``as we and the 
broadcasting industry gain more experience with the online public file 
we will revisit the possibility of allowing stations not required to 
use the online public file to use it on a voluntary basis.'' In 
addition, the Commission delegated to the Commission staff ``the 
authority to allow (but not require) radio stations to voluntarily post 
their public files at such time the staff determines that such an 
option is feasible and desirable.'' To date, the Commission staff has 
not made this option available to radio stations, instead focusing 
initially on ensuring that the database was functioning smoothly and 
was capable of handling the increase in volume once all television 
stations were required to use the online file beginning July 1, 2014.

B. Petition for Rulemaking

    11. In July 2014, the Campaign Legal Center, Common Cause, and the 
Sunlight Foundation (collectively, ``Petitioners'' or ``CLC'') filed a 
joint Petition for Rulemaking requesting that the Commission initiate a 
rulemaking to expand to cable and satellite systems the requirement 
that public and political file documents be posted to the FCC's online 
database. See Campaign Legal Center, et al., Petition for Rulemaking, 
MB Docket No. 14-127, at 1 (July 31, 2014) (``Petition''). The 
Petitioners argue that cable and satellite services have increasingly 
become outlets for political advertising. According to Petitioners, 
political spending on cable is projected to constitute as much as 25 
percent of total projected political television spending in the 2014 
election cycle. Petitioners also assert that, due to advances in 
technology, satellite television providers are preparing to sell 
household-specific ``addressable advertising,'' a feature that has 
attracted interest from advertising campaigns. Petitioners assert that 
moving the television public file online has resulted in 
``unquestionably substantial'' public benefits, which would also arise 
if cable and satellite systems were required to upload their public and 
political files online. In addition, Petitioners argue that television 
broadcasters experienced few problems moving to the online file, and 
cable and satellite systems would also likely not be burdened by the 
online filing requirement.
    12. On August 7, 2014, the Media Bureau issued a Public Notice 
seeking comment on the Petition and, in addition, on whether it should 
initiate a rulemaking to expand online public file obligations to 
broadcast radio stations. See Public Notice, Commission Seeks Comment 
on Petition for Rulemaking Filed by the Campaign Legal Center, Common 
Cause, and the Sunlight Foundation Seeking Expansion of Online Public 
File Obligations to Cable and Satellite TV Operators, Bureau Also Seeks 
Comment on Expanding Online Public File Obligations to Radio Licensees, 
79 FR 51136-01 (August 27, 2014)(``Public Notice''). The National 
Association of Broadcasters (``NAB'') filed comments supporting the 
extension of the online public file to cable and satellite providers, 
stating that there is ``no rational basis'' for requiring television 
broadcasters, but not their competitors in the video marketplace, to 
disclose public and political file material online. The National Cable 
& Telecommunications Association (``NCTA'') argued that, if the 
Commission were to open a proceeding to expand online file obligations, 
it should examine how to tailor any online posting requirements to 
minimize burdens on cable operators and avoid requiring them to upload 
files of little interest to the public. With respect to radio, while 
CLC and the American Public Media Group supported the initiation of a 
rulemaking to require all radio stations to post their public and 
political files to the FCC's online database, the majority of 
commenters addressing this issue either objected to extending the 
online filing requirement to radio and/or argued that the Commission 
should carefully consider the financial burden on struggling radio 
stations as well as the technical and financial challenges to the FCC 
that would be posed by expanding the online file to include radio. In 
addition, a number of commenters also argued that extending the online 
public file to radio at this time is premature and that, at most, the 
Commission should first consider a voluntary online public file for 
radio before mandating online filing.

III. Discussion

    13. We propose to adopt a phased-in approach to expanding the 
online file requirements to cable and DBS providers and broadcast and 
satellite radio entities. The implementation of the television online 
file represents a significant achievement in the Commission's ongoing 
effort to modernize disclosure procedures to improve access to public 
file material. Since it was launched on August 2, 2012, more than 
650,000 documents have been successfully uploaded into the online file, 
and the site has generated close to six million page views. Despite 
initial concerns, NAB characterized the first wave of implementation as 
``uneventful.'' As of July 1, 2014, all television broadcast stations 
have fully transitioned to the online file and, with this transition 
now complete, it is time to seek comment on expanding the online file 
to encompass cable, satellite, and radio public file material.
    14. As the Commission stated in the Second Report and Order, this 
modernization of the public inspection file is ``plain common sense.'' 
The evolution of the Internet and the spread of broadband 
infrastructure have transformed the way society accesses information 
today. It is no longer reasonable to require the public to incur the 
substantial expense and inconvenience of traveling to a station or 
headquarters' office to review the public file and make paper copies 
when a centralized, online file would permit review with a quick and 
essentially costless Internet search.

A. Benefits of Expanding the Online Public File

    15. Our goal in this proceeding is to modernize the outdated 
procedures for providing public access to cable, DBS, radio, and SDARS 
files in a manner that avoids unnecessary burdens on these entities. By 
taking advantage of the efficiencies made possible by digital 
technology, we intend to make information that cable and DBS providers 
and broadcast and satellite radio licensees are already required to 
make publicly available more accessible while also reducing costs both 
for the government and the private sector. The Internet is an 
effective, low-cost means of maintaining contact with, and distributing 
information to, viewers and

[[Page 8036]]

listeners. Placing the public file online will permit 24-hour access 
from any location, without requiring a visit to the site where the 
paper file is maintained, thereby improving access to information about 
how cable, satellite, and radio entities are serving their communities 
and meeting their public interest obligations. As the Commission stated 
in the Second Report and Order, the public benefits of posting public 
file information online, while difficult to quantify with exactitude, 
are unquestionably substantial.
    16. Expansion of the online public file to more media is 
particularly important with respect to improving public access to 
political files. As Petitioners point out, political advertising is 
increasingly shifting from broadcast television to cable and satellite 
television, and the advent of technological advances such as 
addressable advertising are likely to further this trend. Political 
advertising on radio is also on the rise. According to CLC, political 
advertising expenditures on radio in 2012 ranked third behind spending 
on broadcast television and cable and could reach as high as 7 percent 
of overall spending on political advertising in 2014. Adding cable, 
satellite television, and broadcast and satellite radio political file 
material to the existing television online database would facilitate 
public access to disclosure records for all these media and allow the 
public to view and analyze political advertising expenditures more 
easily in each market as well as nationwide.
    17. We propose to take the same general approach to transitioning 
cable, DBS, broadcast radio, and SDARS to the online file that the 
Commission took with television broadcasters, tailoring the 
requirements as necessary to the different services. We also propose to 
take similar measures to minimize the effort and cost entities must 
undertake to move their public files online. Specifically, we propose 
to require entities only to upload to the online file public file 
documents that are not already on file with the Commission or that the 
Commission maintains in its own database. We also propose to exempt 
existing political file material from the online file requirement and 
to require only that political file documents be uploaded on a going-
forward basis.
    18. With only minor exceptions--requiring cable operators to 
provide information about the geographic areas they serve, clarifying 
the documents required to be included in the cable public file, and 
requiring cable, DBS, broadcast radio, and SDARS entities to provide 
the location and contact information for their local file--we do not 
propose new or modified public inspection file requirements in this 
proceeding. Our goal is simply to adapt our existing public file 
requirements to an online format. We seek comment on this approach. 
While we propose to place the entire public file online, we invite 
comment on whether we should instead require only that certain 
components of the public file be placed on the Commission's online 
database. We note that limiting online file requirements to certain 
components of the public file would require entities to upload certain 
documents and maintain others in the local public file, thereby 
potentially imposing a greater burden than moving documents to the 
online file over time. We seek comment on these issues. One benefit of 
this proceeding, however, is to ensure that, within a short timeframe, 
there will be less need for the public to visit the affected entities, 
which will enable such entities to improve security and minimize risks 
to employees. We seek comment on these issues, including ways to 
further reduce the burdens of the public file and limit visits to the 
affected entities.

B. Expansion of the Online File to Broadcast Radio

    19. While no commenter responding to the Public Notice opposed the 
extension of the online public file to cable or DBS providers, as 
discussed above a number of commenters either opposed imposing online 
public file obligations on broadcast radio or urged the Commission 
carefully to consider a number of obstacles unique to radio before 
requiring radio stations to use the online file. In general, these 
commenters argue that many radio stations are very small and have 
limited financial resources and small staffs. Some argue that, for many 
stations, the additional responsibility of maintaining an online file 
would take time and resources that would be better devoted to providing 
local programming and information. Other commenters note that many 
small stations already face significant economic challenges simply to 
stay on the air and might be unable to withstand any additional 
financial pressure an online public file obligation would impose. 
Finally, some commenters argue that local radio listeners that might be 
interested in accessing the current public file can do so easily. These 
commenters contend that moving the public file online would not improve 
access for current listeners but only encourage complaints from 
advocacy groups and that responding to these complaints would further 
strain stations' limited resources.
    20. In the television online public file proceeding, the Commission 
rejected similar arguments regarding the burden an online file 
requirement would pose and concluded that the benefits of the online 
file outweighed any potential burden. The Commission also took a number 
of steps to minimize the costs of moving public files online, most of 
which we propose to take in this proceeding as well. With respect to 
radio, we recognize that concerns regarding the potential cost of an 
online public file requirement carry more weight, particularly for very 
small radio stations, which may struggle financially and have fewer 
resources than small television stations. While we believe that moving 
toward an online public file makes sense in today's world for all 
entities that currently have public file requirements, we are committed 
to considering carefully all concerns raised in this proceeding with 
respect to potential online file requirements. With respect to 
broadcast radio licensees, as discussed further below, we propose to 
commence the transition to an online file with commercial stations in 
larger markets with five or more full-time employees, while postponing 
temporarily all online file requirements for other radio stations. We 
believe that this approach addresses the concerns raised by commenters 
and will help ensure that the transition to the online file is not 
unduly burdensome.
    21. We reject the argument that we should not expand the online 
file requirement to broadcast radio because doing so will benefit only 
non-local advocacy groups. Making the file available online will make 
it easier for the public generally to access the file, including local 
listeners, and will give the Commission and the public the information 
needed to evaluate whether stations are meeting their responsibilities 
to their local community.

C. Online File Capacity and Technical Issues

    22. We recognize that adding cable, DBS, broadcast radio, and SDARS 
entities to the Commission's online file will greatly increase the 
number of users of the file and the volume of material that must be 
uploaded. NAB notes that, if radio stations are required to use the 
online file, there could be more than 17,500 broadcast entities 
uploading quarterly issues/programs lists on the same four dates in a 
year. In addition, we recognize that there is likely to be a heavy 
demand on the online file during peak political seasons, when many

[[Page 8037]]

broadcast stations take new advertising orders and modify existing 
orders on a daily basis. NAB urges the Commission to consider 
increasing its online capacity to accommodate the significant increase 
in network traffic that will occur when a large number of filings must 
be uploaded on the same date and consider ways to stagger filings to 
relieve network congestion. Other commenters argue the Commission 
should consider expanding the traditional 10-day filing window for many 
broadcast reports to a 30-day filing window to place less stress on the 
database. We seek comment on these proposals to stagger or otherwise 
alter filing deadlines and any other suggestions for ways in which the 
Commission could improve performance of its online public file 
database.
    23. The Commission noted in the Second Report and Order that 
allowing the use of private web hosting services in connection with the 
online file would allow for greater station efficiencies. As several 
commenters note, work to establish an interface between the online file 
database and web hosting services has not yet been finished. Once work 
on this interface is completed, we anticipate that this would enable an 
entity to establish a link between its own privately-maintained 
electronic file database at the system or station to enable automatic 
synchronization with the database hosted at the FCC. We recognize that 
web hosting services could assist many entities with their obligation 
to maintain the online public file, particularly smaller entities, and 
continue to examine issues related to implementation of such services. 
We also intend to investigate adding the capability to permit entities 
to upload documents to multiple online files using a single upload.
    24. Television stations are not required to upload material to the 
online file that is already filed with the Commission or available on a 
Commission database, and we propose to take a similar approach with 
respect to cable, DBS, broadcast radio, and SDARS entities. Broadcast 
radio licensees, like television broadcasters, file material 
electronically with the Commission via CDBS (which is currently being 
migrated to LMS), which is already connected to the online public file. 
Filings and data concerning cable systems, however, are currently 
maintained in the Commission's Cable Operations and Licensing System 
(``COALS'') database, which does not currently interface with the 
Commission's online file database. The Commission intends to create a 
connection between this database and the online file database as 
appropriate and plans to complete that process before the effective 
date of any cable online filing requirement that may be adopted in this 
proceeding.

D. Proposed Online File Rules for Cable, DBS, Broadcast Radio, and 
SDARS

    25. In general, we propose to adopt a similar approach with respect 
to cable, DBS, broadcast and satellite radio online file requirements 
as we did for the television online file. Specifically, we propose that 
these entities' entire public files be hosted online by the Commission 
and that entities be responsible for uploading only items now required 
to be in the public file but not otherwise filed with the Commission or 
available on the Commission's Web site. As with the television online 
file, we propose that the Commission itself upload to the online public 
file material that is already on file with the Commission or that 
currently resides in a Commission database.
    26. Political file. With respect to the political file, we also 
propose that cable operators, broadcast radio licensees, DBS operators, 
and SDARS entities not be required to upload their existing political 
files to the online file. Instead, as we required with television 
licensees, we propose that these entities be permitted to maintain at 
the station those documents already in place in their political file at 
the time the new rules become effective, and only upload documents to 
the online political files on a going-forward basis. Under this 
proposal, existing political file material must be retained in the 
local political file at the station or cable system for the remainder 
of the two-year retention period. Exempting existing political file 
material from the online file will substantially reduce the burden of 
transitioning to the online public file while allowing online access to 
the political file material most likely to be of interest to the 
public. The retention period for the political file for cable, DBS, and 
radio is two years, similar to the political file retention period for 
television stations. Consequently, as the Commission noted in the 
Second Report and Order, exempting the existing political file will 
require entities to continue to maintain this file locally only for a 
relatively short period. Consistent with the requirement we imposed on 
television broadcasters in the Second Report and Order, we also propose 
that, following the effective date of the new rules, cable, DBS, 
broadcast radio, and SDARS entities be required to upload new records 
to their online political file immediately absent unusual 
circumstances. We seek comment generally on these proposals.
    27. Organization. In light of the expansion of the online file we 
propose herein, we invite comment on any steps we might take to improve 
the organization of the online file and facilitate the uploading and 
downloading of material. With respect to the television online 
political file, the Commission designed an organizational structure of 
folders and subfolders that ensures that the contents of the files are 
orderly as required by our rules. Each political file is first 
organized by year, then by type. Beyond that, we ``populated'' some 
additional subfolders by creating folders for major races and 
jurisdictions. The Commission then provided stations with the ability 
to create additional subfolders and subcategories for specific 
candidates, or other organizing structure, in compliance with their own 
practices. We intend to take the same approach in designing the online 
political file for cable, DBS, broadcast radio, and SDARS entities, and 
invite comment on this approach. We expect entities required to upload 
material to the online political file to do so in an organized manner 
so that candidates and members of public seeking information can easily 
navigate it.
    28. Compliance dates. We intend to give entities sufficient time to 
familiarize themselves with the online public file before the effective 
date of any posting requirement. With respect to documents required to 
be placed in the file on a ``going forward'' basis, television stations 
were required to begin using the online public file upon the effective 
date of the Second Report and Order, which was 30 days after the 
Commission announced in the Federal Register that OMB had completed its 
review under the Paperwork Reduction Act and had approved the 
information collection. Should we follow the same timeline for 
documents required to be placed in the file on a ``going forward'' 
basis in this proceeding?
    29. With respect to existing public file materials, we also seek 
comment on the amount of time we should provide entities to upload 
these documents to the online public file. Television stations were 
given six months from the effective date of the Second Report and Order 
to complete the uploading process. Is this amount of time sufficient 
for cable, DBS, and broadcast and satellite radio? Should we adopt a 
staggered date by service (cable, DBS, broadcast radio, and SDARS) or 
by some other basis? Should any of these entities be given more time to 
upload existing

[[Page 8038]]

files? We note that we propose below to temporarily exempt radio 
stations in smaller markets from online public file requirements, and 
seek comment on whether also to temporarily exempt stations with few 
employees. We propose to permit these stations to commence uploading 
material to the online file early on a voluntary basis. This would 
provide these radio stations with more time to upload existing public 
file material and to budget for any additional cost or staff resources 
necessary to accomplish this task.
    30. Back-up files. In addition, consistent with the approach the 
Commission took in the Second Report and Order, we propose that cable, 
DBS, and broadcast and satellite radio entities not be required to 
maintain back-up copies of all public file materials. Instead, as we do 
for the television online file, the Commission itself will create a 
mirror copy of each public file daily to ensure that, if the data in 
the online public file are compromised, the file can be reconstituted 
using the back-up copy. If the Commission's online file becomes 
temporarily inaccessible for the uploading of new documents, we will 
require entities to maintain those documents and upload them to the 
file once it is available again for upload. However, consistent with 
the approach taken with respect to television broadcasters, we propose 
that cable, DBS, and all radio entities be required to maintain local 
back-up files for the political file to ensure that they can comply 
with their statutory obligation to make that information available to 
candidates, the public, and others as soon as possible. Stations will 
only be required to make these backups available if and during such 
rare times as the Commission's online public file is unavailable and 
the Commission has tools available to entities that will minimize any 
burden caused by this requirement. We seek comment on this approach.
    31. Format. The Commission determined in the Second Report and 
Order that it would not establish specific formatting requirements for 
documents posted to the online file and we do not anticipate changes to 
that approach at this time. We propose to require cable, DBS, and 
broadcast and satellite radio entities to upload any electronic 
documents in their existing format to the extent feasible; we will then 
display the documents in both the uploaded format and in a pdf version. 
To the extent that a required document already exists in a searchable 
format, we propose to require these entities to upload the filing in 
that format to the extent technically feasible. We seek comment on 
these proposals.
    32. Announcements and links. Consistent with the Commission's 
approach in the Second Report and Order, we propose to require cable 
operators, DBS providers, and broadcast and satellite radio licensees 
that have Web sites to place a link to the online public file on their 
home pages. We also propose that these entities that have Web sites 
include on their home page contact information for a representative who 
can assist any person with disabilities with issues related to the 
content of the public file. We do not propose that cable and DBS 
operators or broadcast or satellite radio stations be required to make 
on-air announcements regarding the change in location of their public 
file. As required of television stations in the Second Report and 
Order, however, we propose to require radio stations to revise their 
on-air pre- and post-filing renewal announcements to reflect the 
availability of a station's renewal application on the Commission's Web 
site, as reflected in Appendix B. We invite comment on these proposals.
    33. Location of public inspection file and designated contact 
information. As the Commission required with respect to television 
stations, we also propose that cable and DBS operators and broadcast 
and satellite radio licensees be required to provide information in the 
online public file about the location of the local public file and the 
individual who may be contacted for questions about the file. This 
information would be provided when the operator or licensee first 
establishes its online public file, but should be updated if and when 
staffing or location changes occur. We believe this information is 
necessary to inform the public of the location of the existing 
political file (until its retention period expires in two years), which 
will be publicly available at the local public file location, as well 
as the correspondence folder retained by commercial broadcasters. We 
seek comment on this proposal.
    34. EEO materials. In the Second Report and Order, we continued to 
require that television stations make their EEO materials available on 
their Web sites, if they have one, and we propose to take the same 
approach in this proceeding with respect to cable operators, DBS 
providers, and broadcast and satellite radio licensees. Similar to 
television stations, we propose to permit these entities to fulfill 
this Web site posting requirement by providing, on their own Web site, 
a link to the EEO materials on their online public file page on the 
Commission's Web site. We seek comment on this proposal.
    35. No major changes to public file obligations. Finally, with only 
minor exceptions, we do not propose to impose new public file 
obligations on cable, DBS, or broadcast or satellite radio entities in 
connection with this transition to the online public file. While we 
propose below a reorganization of the existing cable public file rules 
for purposes of clarification and seek comment on other minor changes 
to those rules, our intention for purposes of the initial transition to 
a centralized, online file for cable operators, DBS providers, and 
broadcast and satellite radio licensees is to simply adapt our existing 
requirements to the online file format. We seek comment generally on 
these proposals.
    36. OVS. We note that Open Video System (``OVS'') operators have 
several public file obligations. Should OVS operators be required to 
make this information available on the Commission's online public file 
database, or is it sufficient that this information be made available 
by the operator locally? How can we identify those entities that do not 
have Physical System IDs (``PSIDs'') or facility ID numbers?

E. Requirements and Issues Unique to Each Service

    37. Certain issues related to the online public file requirement 
are unique to each service. Accordingly, we address each service 
separately below and also address whether and how to phase-in certain 
requirements for each service.
1. Cable Public Inspection File
a. Current Rules
    38. The FCC's rules regarding records to be maintained by cable 
systems distinguish between records that must be retained for 
inspection by the public and those that must be made available to 
Commission representatives or local franchisors only. The rules also 
impose different recordkeeping requirements based on the number of 
subscribers to the cable system. Operators of cable systems with fewer 
than 1,000 subscribers are exempt from many public inspection file 
requirements, including the political file, sponsorship identification, 
EEO records, and records regarding children's commercial programming. 
Operators of systems with between 1,000 and 5,000 subscribers must 
provide certain information ``upon request'' but must also ``maintain 
for public inspection'' a political file, while operators of systems 
having 5,000 or

[[Page 8039]]

more subscribers must ``maintain for public inspection'' a political 
file and records regarding, among other things, sponsorship 
identification, EEO, and children's programming commercials. The rules 
state that the public inspection file must be maintained ``at the 
office which the system operator maintains for the ordinary collection 
of subscriber charges, resolution of subscriber complaints, and other 
business or at any accessible place in the community served by the 
system unit(s).''
    39. Cable system political file requirements are similar to those 
for television stations. The political file must contain a ``complete 
and orderly record . . . of all requests for cablecast time made by or 
on behalf of a candidate for public office'' including the disposition 
of such requests. The file must also show the ``schedule of time 
purchased, when spots actually aired, the rates charged, and the 
classes of time purchased.'' With respect to issue advertisements, the 
file must disclose the name of the purchasing organization and a list 
of the board of directors. These records must be filed ``immediately 
absent unusual circumstances,'' and must be retained for at least two 
years.
b. Proposed Online Public File Requirements
(i) Content Required To Be Maintained in the Online File
    40. As discussed above, consistent with the rules we adopted for 
television broadcasters, we propose to require that cable operators 
upload to the online public file all documents and information that are 
required to be in the public file but which are not also filed in COALS 
or maintained by the Commission on its own Web site. The Commission 
proposes to import these latter documents or information into the 
online public file itself.
    41. We note that the only document that cable operators file with 
the Commission that must also be retained in their public inspection 
files is the EEO program annual report, which we propose that the 
Commission upload to the online file. Cable operators are not required 
to maintain in their public inspection files documents similar to The 
Public and Broadcasting manual, which television and radio broadcasters 
must retain in their public files and which the Commission makes 
available to the online file for television stations and will make 
available to the online file for radio stations. Accordingly, as the 
Commission maintains very few documents cable operators must retain in 
their public inspection files, most documents in the cable online file 
will be required to be uploaded by cable operators themselves.
    42. Certain information that must be included in cable operators' 
public files is collected through FCC Form 325 (Annual Cable Operator 
Report), which is filed annually by cable systems with 20,000 or more 
subscribers. For example, operators must maintain at the ``local 
office'' a ``current'' listing of the cable television channels 
delivered to subscribers and must ``maintain for public inspection'' a 
list of all broadcast television stations carried in fulfillment of the 
must-carry requirements. Some of this information is also collected on 
FCC Form 325. Cable operators required to file the form are required to 
identify on the form whether a broadcast station is carried pursuant to 
must-carry obligations, but the form does not request all of the 
specific information about the system's must-carry channels that is 
required to be placed in the public file pursuant to 47 CFR 76.1709. We 
invite comment on whether the Commission should make FCC Form 325 
available in the online file for those systems required to file this 
form annually. We also invite comment on any other ways we can import 
to the online file information cable operators would otherwise be 
required to upload to the file themselves in order to reduce the burden 
on operators of uploading information to the online file.
    43. NCTA requests that the Commission review the ongoing need for 
channel lineups to be placed in the public inspection file as this 
information is provided to consumers in paper format and, according to 
NCTA, is available on operators' Web sites. We seek comment on this 
request. If most operators maintain this information electronically, we 
believe it would not be burdensome to require operators to upload this 
information to the online public file. We seek comment on this view. If 
we were to require all cable systems to upload channel lineups to the 
online file, should we require this information to be uploaded or 
updated annually or on some other schedule? To the extent an operator 
maintains the required information on a channel lineup its own Web 
site, we also seek comment on whether the operator should be permitted 
to provide a link directly to this channel lineup in lieu of uploading 
this information to the public file.
    44. As discussed below, we propose to clarify our rules regarding 
proof-of-performance test data and signal leakage logs and repair data. 
Specifically, we propose to make it clear in our rules that this 
information must be made available only to the Commission and, in the 
case of proof-of-performance test data, also to the franchisor, and not 
to the public. Accordingly, this information would not be required to 
be included in the online public inspection file, thereby reducing the 
amount of material cable operators would be required to upload to the 
file.
    45. We propose that cable systems be required to upload other 
material currently required to be maintained for public inspection or 
made available to the public ``upon request.'' For cable systems with 
1,000 or more subscribers, this material would include new political 
file material, sponsorship identification information, commercial 
records on children's programs, certain EEO materials, leased access 
policy information, records concerning operator interests in video 
programming, and copies of requests for waiver of the prohibition on 
scrambling/encryption. While cable systems with 1,000 or more 
subscribers but fewer than 5,000 subscribers are currently required to 
provide certain materials to the public only ``upon request,'' we 
believe these systems should be required to place these materials in 
the online file as this will facilitate public access to these 
materials. We believe this requirement will be no more burdensome than 
placing the materials in a physical file and should be less burdensome 
over time. We invite comment on this approach.
    46. We also propose to exempt cable systems with fewer than 1,000 
subscribers from all online public file requirements, either 
permanently or at least initially. As discussed above, these systems 
have far fewer public file requirements than larger systems and are not 
required to maintain a political file. Alternatively, we could exempt 
systems with fewer than 1,000 subscribers that maintain public file 
information on their own Web sites. We seek comment on these possible 
approaches and any other suggestions for ways we should provide 
regulatory relief to very small cable systems.
    47. Political file. As discussed above, consistent with the 
approach we adopted for television broadcasters, we propose that cable 
operators not be required to upload their existing political files to 
the online file; rather, we propose that they be permitted to maintain 
existing material in their physical political file and only upload 
documents to the online political file on a going-forward basis. We 
believe this approach will minimize the burden of transitioning to the 
online file for cable operators, while providing convenient access to 
the information most likely to

[[Page 8040]]

be of interest to the public, and invite comment on this proposal. We 
note that Time Warner Cable, which is not currently required to 
maintain its public file online, already posts its political files 
online to save costs and expedite access to this material. We invite 
comment on whether there are any aspects of our current cable political 
file requirements that are unclear and that should be clarified in 
connection with our proposal to transition to an online political file.
    48. To smooth the transition for both cable operators and the 
Commission and to allow smaller cable systems additional time to begin 
posting their political files online, we propose to phase-in the 
requirement to commence uploading political file documents to the 
online file for smaller cable systems. We invite comment on ways in 
which this phase-in period should be structured. One approach would be 
to start by requiring cable systems with 5,000 or more subscribers to 
post new political file materials online, while exempting systems with 
fewer than 5,000 subscribers for some period of time. As cable systems 
with fewer than 1,000 subscribers are exempt from all political file 
requirements, this temporary exemption would apply to systems with 
1,000 or more subscribers but fewer than 5,000 subscribers. As 
discussed above, the rules currently exempt systems with fewer than 
5,000 subscribers from some recordkeeping requirements, and we invite 
comment on whether this 5,000 subscriber cutoff should also be used to 
provide regulatory relief in this context. Another approach would be to 
define ``small cable system'' for purposes of the exemption as a system 
with fewer than 15,000 subscribers that is not affiliated with a larger 
operator serving more than 10 percent of all MVPD subscribers. The 
Commission used this definition for purposes of determining eligibility 
for a streamlined financial hardship waiver in the CALM Act Report and 
Order. The Commission explained in that Order that it believed that the 
streamlined waiver ``should be available only to those systems that are 
most likely to face financial hardships in complying with'' the 
Commission's CALM Act requirements. We invite comment on the 
appropriate definition of ``small cable system'' for purposes of the 
political file exemption and on the appropriate period of time we 
should exempt small systems from the requirement to commence posting 
political file material online. Should there be a means of providing 
the public with information regarding which systems' political files 
are included in the online file, and which are exempt, either 
temporarily or permanently?
    49. While we are proposing to delay the transition to the online 
political file for small cable systems, we propose to allow these 
systems to commence uploading documents to the online political file on 
a voluntary basis at the same time that online political file 
requirements become effective for larger cable systems. In addition, if 
we were to decide to exempt systems with fewer than 1,000 subscribers 
from all online public file obligations, we propose to allow these 
systems to participate in the online file database on a voluntary 
basis. Regardless of whether we determine to delay or exempt small 
systems from online filing requirements, we believe it is appropriate 
to permit any system that desires to participate in the online database 
to do so voluntarily. We invite comment on this proposal.
    50. Geographic information. We propose to require cable operators, 
when first establishing their online public file, to provide a list of 
the geographic areas served by the system. The Commission currently 
lacks precise information about the geographic areas served by cable 
systems and we believe that making this information available in the 
online public file will make the information in the file, and 
especially the political file, more useful to subscribers, advertisers, 
candidates, and others. We propose to require cable systems to provide 
information regarding the ZIP Codes served by the system and the 
Designated Market Area (``DMA'') or areas it serves, and we seek 
comment on this proposal. We also seek comment on alternative proposals 
for collecting geographic information, such as Census Block or Census 
Tract information. We note that operators would have to provide this 
information when they first establish their public files on the 
Commission's database, and update it only to reflect changes. 
Therefore, we do not believe this requirement would be burdensome.
    51. We also invite comment on any ways to facilitate access to the 
online database by consumers. Cable operators are currently required to 
maintain their public files on a per-system basis and we tentatively 
conclude that the same should apply to the online database. However, as 
NCTA notes, cable public files cannot be organized by call sign and the 
analogous unit, a physical system identifier, is not readily known by 
consumers. If we require cable operators to provide information on the 
geographic area served by the system, should we use that geographic 
information to help identify cable systems in the cable online file? 
Are there other ways in which systems can be identified to consumers so 
that they can quickly find the information they are seeking?
(ii) Clarification and Streamlining of Current Recordkeeping 
Requirements
    52. NCTA argues that we should streamline cable public file 
requirements to avoid requiring cable operators to incur the cost of 
posting unnecessary material. While we decline to undertake a 
comprehensive review of cable public inspection file requirements in 
this proceeding, we seek comment on several issues raised by NCTA and 
propose to clarify certain requirements. First, NCTA asks that we 
eliminate the requirement that proof-of-performance and signal leakage 
information be retained in the public inspection file. We note that the 
current recordkeeping rules regarding this information are unclear. 
While 47 CFR 76.1700(a), which sets out recordkeeping requirements, 
includes ``proof-of-performance test data'' and ``signal leakage logs 
and repair records'' in the list of items either to be made available 
``upon request'' (for systems with 1,000 or more but fewer than 5,000 
subscribers) or to be maintained in the public inspection file (for 
systems with 5,000 or more subscribers), the rule sections specifically 
addressing these requirements require only that this information be 
maintained for inspection by the Commission and local franchisor. We 
agree with NCTA that this information is unlikely to be of interest to 
the general public and does not need to be made available online. 
Accordingly, we propose to clarify that this information must be 
maintained and made available to the Commission and franchisor upon 
request, but does not need to be maintained in the system's public 
inspection file or uploaded to the online file. We seek comment on this 
proposal.
    53. Second, NCTA requests that the Commission evaluate whether it 
should exclude headend location information from any online public 
inspection file as it is of no interest to the general public and 
revealing this information in a centralized database available to 
Internet users ``raises potentially serious security risks.'' We 
propose to exclude headend location information from the online public 
file and seek comment on this proposal.
    54. Third, NCTA requests that the Commission consider eliminating 
the current requirement that cable operators post certain EEO materials 
on the system's own Web site, if it has one, as these materials would 
be available on

[[Page 8041]]

the Commission's online public file. As discussed above, in the Second 
Report and Order, we continued to require that television stations make 
certain EEO materials available on their Web sites, if they have one, 
and we propose to take the same approach in this proceeding with 
respect to cable operators, DBS providers, and broadcast and satellite 
radio licensees. Consistent with the rules for television stations, 
however, we propose to permit these entities to fulfill this Web site 
posting requirement by providing, on their own Web site, a link to the 
EEO materials on their online public file page on the Commission's Web 
site.
(iii) Reorganization of the Cable Public Inspection File Rules
    55. We believe that a limited reorganization and clarification of 
the public inspection file rules would make them easier to locate and 
understand. The public inspection file rules for broadcasters are 
contained in two rule sections that identify all public inspection file 
requirements for commercial and noncommercial educational broadcasters, 
with references to other rule sections as appropriate. In contrast, the 
cable recordkeeping requirements are spread over several rule sections 
in part 76, subpart U (Documents to be Maintained for Inspection), with 
some requirements contained in a separate rule subpart. While 47 CFR 
76.1700 of the rules includes references to many of these recordkeeping 
requirements it does not cite them all. Revising our rules to identify 
all cable recordkeeping requirements in a single rule section, with 
references to other sections as appropriate, would make these 
requirements easier to locate and facilitate compliance. Moreover, as 
confirmed by our discussion above regarding maintenance of proof-of-
performance and signal leakage information, some of the current rules 
are confusing and inconsistent. We propose to revise 47 CFR 76.1700 to 
include references to all public inspection file requirements and to 
more clearly address which records must be maintained in the file 
versus those that must be made available to the Commission or 
franchising authority. We invite comment on these proposed revisions, 
which are set out in Appendix B.
2. DBS Public Inspection File
a. Current Rules
    56. DBS providers are required to maintain a public file containing 
four categories of information: Information regarding compliance with 
the carriage obligation for noncommercial programming (the 
``noncommercial set-aside''); information regarding compliance with the 
commercial limits in children's programming; certain EEO materials; and 
a political file. With respect to the noncommercial set-aside, the 
rules require that DBS providers ``keep and permit public inspection of 
a complete and orderly record of,'' among other things, measurements of 
channel capacity, a record of entities to whom noncommercial capacity 
is being provided, the rates paid by the entity to whom capacity is 
provided, and a record of entities requesting capacity and the 
disposition of those requests. With respect to compliance with the 
children's programming commercial limits, DBS providers airing 
children's programming must maintain records sufficient to verify 
compliance with the rules and ``make such records available to the 
public.'' With respect to EEO materials, DBS operators are required to 
maintain in their public file EEO reports and certain EEO program 
information.
    57. DBS providers are also required to ``keep and permit public 
inspection of a complete and orderly political file'' and to 
``prominently disclose the physical location of the file and the 
telephonic and electronic means to access'' it. The file must include, 
among other things, records of ``all requests for DBS origination 
time'' and the schedule of time purchased, when spots actually aired, 
the rates charged, and the classes of time purchased for each request. 
These records must be placed in the file ``as soon as possible'' and 
must be retained for at least two years. Unlike broadcasters and cable 
systems, DBS providers must ``make available via fax, email, or by mail 
upon telephone request, photocopies of documents in their political 
files and shall assist callers by answering questions about the 
contents of their political files.'' In 2004, the Commission explained 
that it was requiring DBS providers to abide by political file 
obligations similar to those requirements placed on terrestrial 
broadcasters and cable systems. Because DBS is a national service and 
each provider's headquarters is not necessarily readily accessible to 
most of its viewers and to candidates, we require DBS providers to make 
their political files available upon telephone or electronic request. 
They may provide access to the file by fax, email, via Internet Web 
site access, or, if so requested, by mailing photocopies of the 
documents in their political files. We expect that DBS providers will 
assist callers by promptly answering questions about how to access the 
contents of the DBS providers' political files. DBS providers may 
require individuals requesting documents to pay for photocopying if the 
requester prefers delivery by mail, but the DBS provider must pay for 
postage. DBS providers are encouraged to put their political files on 
their respective Web sites but must provide alternatives for 
individuals who do not have Internet access. In view of these 
requirements and expectations, we do not find it necessary to require 
that a provider maintain a public file in every community that receives 
its signal. We do, however, require, that DBS providers prominently 
disclose the toll-free telephone number and email address of the 
department responsible for responding to requests for access to the 
political file. In addition, because DBS experience with the political 
broadcasting rules is relatively new, and to facilitate a future Staff 
Report, we will require that DBS providers maintain all requests for 
time from candidates or individuals on behalf of candidates, including 
general requests for availabilities and rate information. In addition, 
and for the same reasons, DBS providers will be required to retain 
information in their political files for four years, until 2006, and 
thereafter for two years, as is required of cable operators and 
terrestrial broadcast stations.
b. Proposed Online Public File Requirements
    58. We propose to treat DBS providers in the same manner as 
television, cable, and broadcast and satellite radio entities by 
requiring them to upload to the online file only material that is not 
already on file at the Commission. Similar to cable operators, the only 
document that DBS providers file with the Commission that must also be 
retained in their public inspection files is the EEO program annual 
report, which we propose that the Commission upload to the online file. 
Like cable operators, the other information DBS providers are required 
to maintain in their public inspection files is not currently filed 
with or maintained by the Commission. Accordingly, most material 
required to be kept in the online file would have to be uploaded by DBS 
providers themselves, which includes channel capacity measurements and 
other records related to the use of and requests for noncommercial 
capacity, records related to compliance with children's commercial 
limits, certain EEO materials, and political file material.
    59. We do not believe that requiring DBS providers to upload this 
material to

[[Page 8042]]

the online file would be onerous. As compared to television and radio 
broadcasters and cable operators, DBS providers have the fewest number 
of public file requirements. In addition, there are currently only two 
U.S. DBS operators, each of which has sufficient financial resources to 
comply with any online file requirements we ultimately adopt in this 
proceeding. We agree with Petitioners that the transition to an online 
file is particularly important for DBS because of that service's 
nationwide reach. Each DBS provider is required to maintain only one 
public and political file for the entire U.S. at its headquarters, 
making in-person access very difficult. While staff members must copy 
and mail public and political file documents upon request under the 
current rules, making this material available online would considerably 
improve public access. Moreover, we believe that, for DBS providers, 
maintaining an online file hosted by the Commission will prove to be 
more efficient and less expensive over time than maintaining a local 
file, particularly in light of the extra steps DBS providers are 
required to take to assist callers requesting materials from the file.
    60. We tentatively conclude, consistent with our approach for 
television stations and our proposal herein for cable systems and 
broadcast radio licensees, that DBS providers should not be required to 
upload their existing political files to the online file but rather 
should be permitted to maintain existing material in their physical 
political file and only upload documents to the online political file 
on a going-forward basis. If we require DBS providers to upload their 
political files, we propose to eliminate the requirement that they mail 
photocopies of documents in that file to individuals requesting copies, 
as these materials would be available online Additionally, to the 
extent that political file materials relate to ads shown on a local or 
hyper-local basis, we seek comment on how DBS providers can indicate in 
their public files the area in which such ads were or will be shown. We 
also invite comment on whether there are any aspects of our current DBS 
political file requirements that are unclear and that should be 
clarified in connection with our proposal to transition to an online 
political file.
3. Broadcast Radio Public Inspection File
a. Current Rules
    61. The public inspection file rules for radio broadcasters are 
generally similar to those for television broadcasters. Every permittee 
or licensee of an AM or FM station in the commercial or noncommercial 
educational broadcast service must maintain a public inspection file 
containing, among other things, FCC authorizations, applications, 
contour maps, ownership reports, EEO materials, issues/programs lists, 
and time brokerage (also known as ``local marketing'') and joint sales 
agreements. The file must be maintained at the station's main studio.
    62. Radio stations must maintain a political file as part of the 
public inspection file. The political file must contain a ``complete 
and orderly record'' of requests for broadcast time made by or on 
behalf of a candidate for public office.'' The file must also show the 
``schedule of time purchased, when spots actually aired, the rates 
charged, and the classes of time purchased.'' With respect to issue 
advertisements, stations must disclose the name of the purchasing 
organization and a list of the board of directors. These records must 
be filed ``as soon as possible, meaning immediately, absent unusual 
circumstances,'' and must be retained for at least two years.
b. Proposed Online Public File Requirements
(i) Content Required To Be Maintained in the Online File
    63. As discussed above, consistent with the rules we adopted for 
television broadcasters we propose to require that radio broadcast 
licensees upload to the online public file all documents and 
information that are required to be in the public file but that are not 
also filed in CDBS (or LMS) or otherwise maintained by the Commission 
on its own Web site. Under this proposal, radio stations would be 
required to upload citizen agreements, certain EEO materials, issues/
programs lists, local public notice announcements, time brokerage 
agreements, joint sales agreements, materials related to FCC 
investigations or complaints (other than investigative information 
requests from the Commission), and any new political file material. We 
propose that any document or information required to be in the public 
file that is electronically filed with CDBS (or LMS) will be imported 
to the online file by the Commission. For radio broadcasters, under 
this proposal the documents the Commission would upload to the online 
file include authorizations, applications and related materials, 
contour maps, ownership reports and related materials, EEO Reports, The 
Public and Broadcasting manual, and Letters of Inquiry and other 
investigative requests from the Commission, unless otherwise directed 
by the inquiry itself.
    64. While all stations will have issues/programs lists and 
materials related to local public notice announcements, few will have 
time brokerage agreements and very few will have citizen agreements or 
materials related to an FCC investigation or complaint. While many 
stations will have political file material, in general we expect that 
these files will be smaller for radio stations than for television 
stations as fewer political advertisements air on radio. In addition, 
radio stations with fewer than five full-time employees are exempt from 
many of the EEO recordkeeping requirements. We seek comment on these 
issues.
    65. Political file. As discussed above, consistent with the 
approach we adopted for television broadcasters and that we propose 
herein for cable operators, we propose that broadcast radio licensees 
not be required to upload their existing political files to the online 
file, but rather that they be permitted to maintain existing material 
in their local political file and only upload documents to the online 
political file on a going-forward basis. We believe this approach will 
minimize the burden of transitioning to the online file for radio 
licensees. We seek comment on this approach.
    66. Delay in implementation for small market stations. We propose 
to implement the online public file for broadcast radio stations by 
imposing requirements, at first, only on stations with more resources. 
We propose to delay all mandatory online filing for other radio 
stations for some period of time. As discussed above, several 
commenters express concern about whether radio stations have sufficient 
resources to implement and maintain an online public file, particularly 
small stations with limited financial resources and small staffs. Some 
commenters argue that we should postpone any consideration of moving to 
an online file for broadcast radio or, if we do adopt online file 
obligations for that medium in this proceeding, that we exempt smaller 
stations and/or NCE stations. Those advocating an exemption for NCE 
stations argue that many of these stations have very small staffs and 
limited resources and that compliance with an online requirement would 
create a severe financial and staffing hardship. Ampers and NFCB also 
note that NCEs are prohibited from accepting funds from political 
candidates and organizations advocating on behalf of a candidate or 
political issue, making online access to the

[[Page 8043]]

political file less important for these stations. Other commenters 
argue that, in order to minimize the risk of online public file 
requirements becoming the ``proverbial straw that breaks the camel's 
back'' for already struggling small radio stations, the Commission 
should not require small stations to upload the contents of their 
existing public files, or at least should provide stations with an 
extended period of time during which they could incrementally add those 
materials to the online file.
    67. Another issue raised by radio commenters is the lack of 
computer or Internet access at some small, rural stations. According to 
NAB, some radio stations in remote locations, including Alaska, Maine, 
and areas of the Southwest, do not have access to reliable Internet 
service or even are without Internet access altogether. Other stations 
have no in-house computing resources or broadband capacity. According 
to Native Public Media, many Native-owned NCE radio stations operate on 
Tribal lands where broadband penetration rates are between five and 10 
percent. Moreover, according to these commenters, in communities where 
broadband is theoretically available actual access is often severely 
hampered by high latency, slow dial-up speeds, and unreliable coverage. 
Native Public Media argues that it would be difficult, if not 
impossible, to require stations facing these circumstances to upload 
large files to the Commission's online database. In addition, these 
commenters argue that the cost of maintaining an online file would 
significantly outweigh the benefits in communities where listeners have 
limited Internet access.
    68. We recognize that some radio stations may face financial or 
other obstacles that could make the transition to an online public file 
more difficult. Accordingly, we believe that it is reasonable to 
commence the transition to an online public file for radio with 
stations with more resources while delaying, for some period of time, 
all mandatory online public file requirements for other stations. We 
propose that other stations be permitted to voluntarily transition to 
the online file early, but not be required to participate until we have 
gained some experience with the inclusion of stations with greater 
resources. Adding radio stations to the online file incrementally over 
time will give us more time to address any technical issues that may 
arise in connection with our online file database as the volume of 
users increases. Given the large number of radio stations and the 
volume of material they will be uploading to the online file, we 
believe it makes sense to proceed in stages to include radio stations 
in the Commission's online database.
    69. We seek comment generally on this approach. Is it appropriate 
to temporarily exempt a certain category of radio stations from all 
online public file requirements or should we instead temporarily exempt 
some stations from only the online political file? How should we define 
the category of stations that should be eligible for a temporary 
exemption? We note that, in the television online file proceeding, we 
implemented the online political file first with television stations in 
the top 50 DMAs that were also affiliated with the top four networks. 
With respect to radio, however, network affiliation is not a useful way 
to identify stations with more resources. Accordingly, we propose to 
begin implementation of online public file requirements for radio with 
commercial stations in markets 1 through 50, as defined by Nielsen 
Audio (formerly Arbitron), that have five or more full-time employees. 
We propose that these stations commence compliance with online public 
file requirements at the same time as cable, DBS, and SDARS entities. 
With respect to all other radio stations, we propose to delay all 
online public file requirements for two years. This two-year delay is 
the same length of time we delayed, in the television online file 
proceeding, the implementation of political file obligations for 
television stations in smaller markets and those unaffiliated with the 
top four networks. We propose to initially exempt NCE radio stations as 
well as those with fewer than five full-time employees from the online 
public file to help ensure that we commence online file requirements 
for radio with stations with greater resources. With respect to radio 
stations with fewer than five full-time employees, as noted above our 
rules exempt these stations from many EEO requirements. One advantage 
of tying an exemption for small radio stations to this EEO exemption is 
that information regarding the stations that are exempt from EEO 
requirements is readily available to the public, as this information is 
filed with the FCC and is available via the FCC's Web site. We seek 
comment on this and any other possible approach to structuring the 
temporary delay in online file requirements for certain radio stations. 
We also seek comment on whether we should permanently exclude certain 
radio stations, such as NCEs and stations with fewer than five full-
time employees, from all online public file requirements, rather than 
simply delaying implementation of online file requirements for these 
stations.
    70. While we are proposing to delay the transition to the online 
public file for certain radio stations, we also propose to allow these 
stations to commence uploading all or part of their public file 
documents to the online file on a voluntary basis before the delayed 
effective date of any online file requirement for these stations. As 
discussed above, public television licensees in the television online 
file proceeding requested that we allow NCE radio stations, or at least 
those licensed to the same entity as, or under common control with, an 
NCE television station, to maintain their public inspection files 
online on the Commission's Web site on a voluntary basis. Public 
television licensees argued that this would allow radio stations that 
were jointly owned or operated with television stations to avoid 
duplicative efforts from having to maintain two separate public file 
systems, involving some of the same documents. If we decide to delay 
implementation of online file requirements for all or some NCEs in this 
proceeding, we believe it is appropriate to allow them and any other 
smaller radio station to voluntarily transition to the Commission's 
online file early. We seek comment on this proposal.
    71. We believe our proposal addresses many of the concerns raised 
regarding radio stations that may have fewer resources and, therefore, 
might find transitioning to the online file more burdensome. These 
stations would not be required to commence uploading documents to the 
Commission's database until stations with more resources have completed 
part or all of their transition to the online file. This delayed 
transition will assist small stations to budget for any initial costs 
to upload documents to the file and any extra staff time required for 
this effort. In the meantime, stations may commence uploading documents 
to the online database early on a voluntary basis. We invite comment on 
this approach and on ways we can help ensure that permitting stations 
to commence uploading documents early on a voluntary basis is not 
confusing to members of the public trying to locate and access public 
file material.
(ii) Contour Map and Main Studio Information
    72. Radio stations are currently required to include in their 
public inspection files ``any service contour maps submitted with any 
application'' together with ``any other information in the application 
showing service

[[Page 8044]]

contours and/or main studio and transmitter location.'' We propose to 
have the Commission create contour maps for the online file based upon 
existing data. Given the complexities of AM contour mapping, we may not 
be able to use the same tools that we used to map TV contours and that 
we anticipate using to map FM contours. We seek comment on ways to 
address this issue. Should AM stations be required to upload contour 
maps to the online file?
    73. We also propose to require stations to provide information to 
the online file regarding the location of the station's main studio. 
The Commission's rules do not currently require the reporting of this 
information and it is not included on contour maps. We believe that 
information regarding the location of the main studio would help 
members of the public to engage in an active dialogue with radio 
licensees regarding their service, which is one of the goals of this 
proceeding. In addition, we believe this information is necessary to 
inform the public of the location of the correspondence file and 
existing political file (until its retention period expires in two 
years), both of which will be publicly available at the station. 
Therefore, consistent with the approach we took in the television 
station online file proceeding, we propose to require stations to 
include in the online public file the station's main studio address and 
telephone number, and the email address of the station's designated 
contact for questions about the public file. In addition, we propose 
that stations with a main studio located outside of their community of 
license be required to list the location of the correspondence file and 
existing political file, as well as the required local or toll free 
number. We seek comment on this proposal.
(iii) Letters From the Public
    74. In the Second Report and Order, the Commission exempted letters 
and emails from the public from the online public file and instead 
required that such material be maintained at the station in a 
correspondence file. The Commission determined that including these 
documents in the online file could risk exposing personally 
identifiable information and that requiring stations to redact such 
information prior to uploading these documents would be overly 
burdensome. The Commission determined that letters and emails from the 
public should be maintained at the station's main studio either in a 
paper file or electronically on a computer. Further, the Commission 
clarified that, as required under the current public inspection file 
rules, this file should include all letters and emails from the public 
regarding operation of the station unless the letter writer has 
requested that the letter not be made public or the licensee feels that 
it should be excluded due to the nature of its content. Finally, the 
Commission determined that it would not require stations to retain 
social media messages in their correspondence file. We propose to take 
the same approach with respect to broadcast radio stations and the 
letters and emails they receive from the public, and seek comment on 
this proposal.
(iv) Donor Lists
    75. NCE stations are required to retain in the public inspection 
file lists of donors supporting specific programs. Native Public Media 
asks that, for the same reason the Commission excluded letters and 
emails from the public from the television online file requirement, 
donor lists also be excluded from any NCE online file requirements to 
ensure the privacy of donors. In the Second Report and Order we 
required NCE television broadcasters to include donor lists in their 
online public files, and we propose to take the same approach with 
respect to radio. We seek comment on this issue. Is there a reason to 
treat NCE radio station donor lists differently from NCE television 
station donor lists?
4. Satellite Radio Public Inspection File
a. Current Requirements
    76. Licensees in the satellite radio service are required to 
maintain a public file with two categories of material. First, as 
discussed above, SDARS licensees are required to comply with EEO 
requirements similar to those imposed on broadcasters, including the 
requirement to file EEO reports and to maintain those reports in their 
public file together with other EEO program information. Second, also 
as discussed above, satellite radio licensees are required to maintain 
a political file. In addition, SiriusXM, the current, sole U.S. SDARS 
licensee, is required to retain a third category of material in the 
public file. SiriusXM made a voluntary commitment to make capacity 
available for noncommercial educational and informational programming, 
similar to the requirement imposed on DBS providers, in connection with 
its merger application. As part of its approval of the merger, the 
Commission required that the merged entity reserve channels for 
educational and informational programming, offer those channels to 
qualified programmers, and comply with the public file requirements of 
47 CFR 25.701(f)(6), which sets forth public file requirements for the 
noncommercial set-aside for DBS providers.
b. Proposed Online Public File Requirements
    77. We propose to treat satellite radio licensees in the same 
manner as television, cable, DBS, and broadcast radio entities by 
requiring them to upload to the online file only material that is not 
already on file at the Commission. We seek comment on this proposal. 
Similar to cable operators and DBS providers, the only document that 
SDARS entities file with the Commission that must be retained in the 
public inspection file is the EEO program annual report, which we 
propose that the Commission upload to the online file. We do not 
believe that requiring SDARS licensees to upload to the online file 
other material required to be maintained in the public file would be 
burdensome as the number of public file requirements for this service 
is fewer than for other services and entities discussed in this item 
and because the current, sole U.S. SDARS licensee has ample financial 
resources to comply with any online file requirement we ultimately 
adopt in this proceeding. We also believe that, similar to DBS, the 
transition to an online file is particularly important for satellite 
radio because of that service's nationwide reach and the fact that the 
current licensee maintains only one public and political file for the 
entire U.S., making in-person access very difficult.
    78. With respect to the political file, we propose to treat 
satellite radio similar to DBS, as they are both nationwide services 
with few licensed service providers. As we do with respect to the DBS 
political file herein, we tentatively conclude, consistent with our 
approach for television stations and our proposal herein for cable 
systems and radio broadcasters, that SDARS licensees should not be 
required to upload their existing political files to the online file 
but rather should be permitted to maintain existing material in their 
physical political file, and only upload documents to the online 
political file on a going-forward basis. In addition, to the extent 
that political file materials relate to ads shown on a local or hyper-
local basis, we seek comment on how satellite radio licensees can 
indicate in their public files the area in which such ads were or will 
be shown.

[[Page 8045]]

IV. Procedural Matters

A. Initial Regulatory Flexibility Act Analysis

    1. As required by the Regulatory Flexibility Act of 1980, as 
amended (``RFA''), the Commission has prepared this Initial Regulatory 
Flexibility Analysis (``IRFA'') concerning the possible significant 
economic impact on small entities of the policies and rules proposed in 
this Notice of Proposed Rulemaking (``NPRM''). Written public comments 
are requested on this IRFA. Comments must be identified as responses to 
the IRFA and must be filed by the deadlines for comments provided on 
the first page of this NPRM. The Commission will send a copy of this 
NPRM, including this IRFA, to the Chief Counsel for Advocacy of the 
Small Business Administration (``SBA''). In addition, this NPRM and 
IRFA (or summaries thereof) will be published in the Federal Register.
    2. This NPRM proposes to expand to cable and Direct Broadcast 
Satellite (``DBS'') operators and broadcast and satellite radio 
(``SDARS'') licensees the requirement that public and political files 
be posted to the online public file database hosted by the Commission. 
In 2012, the Commission adopted online public file rules for broadcast 
television stations which required them to post public file documents 
to a central, FCC-hosted online database rather than maintaining the 
files locally at their main studios. The Commission's goal was to 
modernize the procedures television broadcasters use to inform the 
public about how they are serving their communities by harnessing 
current technology to make information more accessible to the public 
and, over time, to reduce the cost of compliance. We are initiating 
this proceeding to extend our modernization effort to include the 
public file documents required to be maintained by cable operators, DBS 
providers, broadcast radio licensees, and SDARS licensees. While the 
Commission first included only television broadcasters in its public 
file database to ``ease the initial implementation of the online public 
file,'' television broadcasters have now successfully transitioned to 
the online file over the past two years. Accordingly, we now believe it 
is appropriate to commence the process of expanding the online file to 
other media in order to extend the benefits of improved public access 
to public inspection files and, ultimately, reduce the burden on these 
other entities of maintaining those files.
    3. In general, this NPRM proposes to adopt a similar approach with 
respect to cable, DBS, and broadcast and satellite radio online file 
requirements as we did for the television online file. Specifically, we 
propose that these entities' entire public files be hosted online by 
the Commission and that entities be responsible for uploading only 
items now required to be in the public file but not otherwise filed 
with the Commission or available on the Commission's Web site. As with 
the television online file, we propose that the Commission itself 
upload to the online public file material that is already on file with 
the Commission or that currently resides in a Commission database. With 
respect to the political file, we also propose that cable, DBS, 
broadcast radio, and satellite radio entities not be required to upload 
their existing political files to the online file. Instead, as we 
required with television licensees, we propose that these entities be 
permitted to maintain at the station those documents already in place 
in their political file at the time the new rules become effective, and 
only upload documents to the online political file on a going-forward 
basis. With respect to radio, this NPRM proposes to commence the 
transition to the online file with commercial stations in larger 
markets with five or more full-time employees. In addition, the item 
invites comment on whether to temporarily delay the requirement to 
upload new political file material to the online file for small cable 
systems.
    4. The proposed action is authorized pursuant to sections 1, 2, 
4(i), 303, 315, 317, 335, 601, 611, 651 and 653 of the Communications 
Act, 47 U.S.C. 151, 152, 154(i), 303, 315, 317, 335, 601, 611, 651, and 
653.
    5. The RFA directs agencies to provide a description of, and where 
feasible, an estimate of the number of small entities that may be 
affected by the proposed rules, if adopted. The RFA generally defines 
the term ``small entity'' as having the same meaning as the terms 
``small business,'' ``small organization,'' and ``small governmental 
jurisdiction.'' In addition, the term ``small business'' has the same 
meaning as the term ``small business concern'' under the Small Business 
Act. A small business concern is one which: (1) Is independently owned 
and operated; (2) is not dominant in its field of operation; and (3) 
satisfies any additional criteria established by the SBA. Below, we 
provide a description of such small entities, as well as an estimate of 
the number of such small entities, where feasible.
    6. Cable Companies and Systems. The Commission has developed its 
own small business size standards for the purpose of cable rate 
regulation. Under the Commission's rules, a ``small cable company'' is 
one serving 400,000 or fewer subscribers nationwide. Industry data 
shows that there were are currently 660 cable operators. Of this total, 
all but ten cable operators nationwide are small under this size 
standard. In addition, under the Commission's rate regulation rules, a 
``small system'' is a cable system serving 15,000 or fewer subscribers. 
Current Commission records show 4,629 cable systems nationwide. Of this 
total, 4,057 cable systems have less than 20,000 subscribers, and 572 
systems have 20,000 or more subscribers, based on the same records. 
Thus, under this standard, we estimate that most cable systems are 
small entities.
    7. Cable System Operators (Telecom Act Standard). The 
Communications Act of 1934, as amended, also contains a size standard 
for small cable system operators, which is ``a cable operator that, 
directly or through an affiliate, serves in the aggregate fewer than 1 
percent of all subscribers in the United States and is not affiliated 
with any entity or entities whose gross annual revenues in the 
aggregate exceed $250,000,000.'' There are approximately 54 million 
cable video subscribers in the United States today. Accordingly, an 
operator serving fewer than 540,000 subscribers shall be deemed a small 
operator if its annual revenues, when combined with the total annual 
revenues of all its affiliates, do not exceed $250 million in the 
aggregate. Based on available data, we find that all but ten incumbent 
cable operators are small entities under this size standard. We note 
that the Commission neither requests nor collects information on 
whether cable system operators are affiliated with entities whose gross 
annual revenues exceed $250 million. Although it seems certain that 
some of these cable system operators are affiliated with entities whose 
gross annual revenues exceed $250,000,000, we are unable at this time 
to estimate with greater precision the number of cable system operators 
that would qualify as small cable operators under the definition in the 
Communications Act.
    8. Direct Broadcast Satellite (DBS) Service. DBS service is a 
nationally distributed subscription service that delivers video and 
audio programming via satellite to a small parabolic ``dish'' antenna 
at the subscriber's location. DBS, by exception, is now included in the 
SBA's broad economic census category, Wired Telecommunications 
Carriers, which was developed for small wireline businesses. Under this 
category, the SBA deems a wireline

[[Page 8046]]

business to be small if it has 1,500 or fewer employees. Census data 
for 2007 shows that there were 3,188 firms that operated for that 
entire year. Of this total, 2,940 firms had fewer than 100 employees, 
and 248 firms had 100 or more employees. Therefore, under this size 
standard, the majority of such businesses can be considered small 
entities. However, the data we have available as a basis for estimating 
the number of such small entities were gathered under a superseded SBA 
small business size standard formerly titled ``Cable and Other Program 
Distribution.'' As of 2002, the SBA defined a small Cable and Other 
Program Distribution provider as one with $12.5 million or less in 
annual receipts. Currently, only two entities provide DBS service, 
which requires a great investment of capital for operation: DIRECTV and 
DISH Network. Each currently offers subscription services. DIRECTV and 
DISH Network each report annual revenues that are in excess of the 
threshold for a small business. Because DBS service requires 
significant capital, we believe it is unlikely that a small entity as 
defined under the superseded SBA size standard would have the financial 
wherewithal to become a DBS service provider.
    9. Radio Broadcasting. The SBA defines a radio broadcast station as 
a small business if such station has no more than $38.5 million in 
annual receipts. Business concerns included in this industry are those 
``primarily engaged in broadcasting aural programs by radio to the 
public.'' According to review of the BIA Publications, Inc. Master 
Access Radio Analyzer Database as of November 26, 2013, about 11,331 
(or about 99.9 percent) of the then number of commercial radio stations 
(11,341) have revenues of $35.5 million or less and thus qualify as 
small entities under the SBA definition. The Commission has estimated 
the number of licensed noncommercial radio stations to be 4,082. The 
Commission does not compile and otherwise does not have access to 
information on the revenue of NCE stations that would permit it to 
determine how many such stations would qualify as small entities. These 
stations rely primarily on grants and contributions for their 
operations, so we will assume that all of these entities qualify as 
small businesses. We note that in assessing whether a business entity 
qualifies as small under the above definition, business control 
affiliations must be included. This estimate, therefore, likely 
overstates the number of small entities that might be affected, because 
the revenue figure on which it is based does not include or aggregate 
revenues from affiliated companies.
    10. In addition, an element of the definition of ``small business'' 
is that the entity not be dominant in its field of operation. The 
Commission is unable at this time to define or quantify the criteria 
that would establish whether a specific radio station is dominant in 
its field of operation. Accordingly, the estimate of small businesses 
to which rules may apply does not exclude any radio station from the 
definition of a small business on this basis and therefore may be over-
inclusive to that extent. Also, as noted, an additional element of the 
definition of ``small business'' is that the entity must be 
independently owned and operated. The Commission notes that it is 
difficult at times to assess these criteria in the context of media 
entities and the estimates of small businesses to which they apply may 
be over-inclusive to this extent.
    11. Satellite Radio. The rules proposed in this NPRM would affect 
the sole, current U.S. provider of satellite radio (``SDARS'') 
services, XM-Sirius, which offers subscription services. XM-Sirius 
reported revenue of $3.8 billion in 2013 and a net income of $377 
million. In light of these figures, we believe it is unlikely that this 
entity would be considered small.
    12. Open Video Systems. The open video system (OVS) framework was 
established in 1996, and is one of four statutorily recognized options 
for the provision of video programming services by local exchange 
carriers. The OVS framework provides opportunities for the distribution 
of video programming other than through cable systems. Because OVS 
operators provide subscription services, OVS falls within the SBA small 
business size standard covering cable services, which is ``Wired 
Telecommunications Carriers.'' The SBA has developed a small business 
size standard for this category, which is: All such businesses having 
1,500 or fewer employees. Census data for 2007 shows that there were 
3,188 firms that operated for that entire year. Of this total, 2,940 
firms had fewer than 100 employees, and 248 firms had 100 or more 
employees. Therefore, under this size standard, we estimate that the 
majority of these businesses can be considered small entities.
    13. Certain rule changes proposed in this NPRM would affect 
reporting, recordkeeping, or other compliance requirements. Cable, DBS, 
radio, and SDARS entities are currently required to maintain a 
``local'' copy of their public inspection files. This NPRM proposes to 
require that these files be maintained online in the database hosted by 
the Commission. Entities subject to this requirement would be required 
to upload certain documents currently maintained in their local files 
to the online database.
    14. The RFA requires an agency to describe any significant 
alternatives that it has considered in reaching its proposed approach, 
which may include the following four alternatives (among others): (1) 
The establishment of differing compliance or reporting requirements or 
timetables that take into account the resources available to small 
entities; (2) the clarification, consolidation, or simplification of 
compliance or reporting requirements under the rule for small entities; 
(3) the use of performance, rather than design, standard; and (4) an 
exemption from coverage of the rule, or any part thereof, for small 
entities.
    15. This NPRM proposes a number of measures to minimize the effort 
and cost entities must undertake to move their pubic files online. 
Specifically, we propose to require entities only to upload to the 
online file public file documents that are not already on file with the 
Commission or that the Commission maintains in its own database. We 
also propose to exempt existing political file material from the online 
file requirement and to require only that political file documents be 
uploaded on a going-forward basis. In addition, with only minor 
exceptions--requiring cable operators to provide information about the 
geographic areas they serve, clarifying the documents required to be 
included in the cable public file, and requiring cable, DBS, broadcast 
radio, and SDARS entities to provide the location and contact 
information for their local file--we do not propose new or modified 
public inspection file requirements in this proceeding. Our goal is 
simply to adapt our existing public file requirements to an online 
format. While we recognize that entities may incur a modest, one-time 
transitional cost to upload some portions of their existing public file 
to the online database, we believe this initial expense will be offset 
by the public benefits of online disclosure. We also believe that, over 
time, entities will benefit from the lower costs of sending documents 
electronically to the Commission as opposed to creating and maintaining 
a paper file at the local or headquarters' office or main studio and 
assisting the public in accessing it. While we propose to place the 
entire public file online, we invite comment on whether we should 
instead require only that certain components of the

[[Page 8047]]

public file be placed on the Commission's online database. We note that 
limiting online file requirements to certain components of the public 
file would require entities to upload certain documents and maintain 
others in the local public file, thereby potentially imposing a greater 
burden than moving documents to the online file over time.
    16. In addition, with respect to radio licensees this NPRM proposes 
to commence the transition to an online file with commercial stations 
in larger markets with five or more full-time employees, while 
postponing temporarily all online file requirements for other radio 
stations. This NPRM also proposes to exempt small cable systems 
temporarily from the requirement to commence uploading new political 
file material to the online public file and proposes to exempt very 
small cable systems from all requirements to upload documents to the 
Commission's online database. Finally, this NPRM also seeks comment on 
whether we should exclude certain radio stations from all online public 
file requirements, rather than simply delaying implementation of 
certain requirements.

Federal Rules That May Duplicate, Overlap, or Conflict With the 
Proposed Rule

    None.

B. Paperwork Reduction Act Analysis

    17. This document contains proposed information collection 
requirements. The Commission, as part of its continuing effort to 
reduce paperwork burdens, invites the general public and the Office of 
Management and Budget (OMB) to comment on the information collection 
requirements contained in this document, as required by the Paperwork 
Reduction Act of 1995. In addition, pursuant to the Small Business 
Paperwork Relief Act of 2002, we seek specific comment on how we might 
``further reduce the information collection burden for small business 
concerns with fewer than 25 employees.''

C. Ex Parte Rules

    18. Permit-But-Disclose. This proceeding will be treated as a 
``permit-but-disclose'' proceeding in accordance with the Commission's 
ex parte rules. Persons making ex parte presentations must file a copy 
of any written presentation or a memorandum summarizing any oral 
presentation within two business days after the presentation (unless a 
different deadline applicable to the Sunshine period applies). Persons 
making oral ex parte presentations are reminded that memoranda 
summarizing the presentation must (1) list all persons attending or 
otherwise participating in the meeting at which the ex parte 
presentation was made, and (2) summarize all data presented and 
arguments made during the presentation. If the presentation consisted 
in whole or in part of the presentation of data or arguments already 
reflected in the presenter's written comments, memoranda or other 
filings in the proceeding, the presenter may provide citations to such 
data or arguments in his or her prior comments, memoranda, or other 
filings (specifying the relevant page and/or paragraph numbers where 
such data or arguments can be found) in lieu of summarizing them in the 
memorandum. Documents shown or given to Commission staff during ex 
parte meetings are deemed to be written ex parte presentations and must 
be filed consistent with rule Sec.  1.1206(b). In proceedings governed 
by rule Sec.  1.49(f) or for which the Commission has made available a 
method of electronic filing, written ex parte presentations and 
memoranda summarizing oral ex parte presentations, and all attachments 
thereto, must be filed through the electronic comment filing system 
available for that proceeding, and must be filed in their native format 
(e.g., .doc, .xml, .ppt, searchable.pdf). Participants in this 
proceeding should familiarize themselves with the Commission's ex parte 
rules.

D. Filing Requirements

    19. Comments and Replies. Pursuant to Sec. Sec.  1.415 and 1.419 of 
the Commission's rules, 47 CFR 1.415, 1.419, interested parties may 
file comments and reply comments on or before the dates indicated on 
the first page of this document. Comments may be filed using the 
Commission's Electronic Comment Filing System (ECFS). See Electronic 
Filing of Documents in Rulemaking Proceedings, 63 FR 24121 (1998).
    [ssquf] Electronic Filers: Comments may be filed electronically 
using the Internet by accessing the ECFS: http://fjallfoss.fcc.gov/ecfs2/.
    [ssquf] Paper Filers: Parties who choose to file by paper must file 
an original and one copy of each filing. If more than one docket or 
rulemaking number appears in the caption of this proceeding, filers 
must submit two additional copies for each additional docket or 
rulemaking number.
    [ssquf] Filings can be sent by hand or messenger delivery, by 
commercial overnight courier, or by first-class or overnight U.S. 
Postal Service mail. All filings must be addressed to the Commission's 
Secretary, Office of the Secretary, Federal Communications Commission.
    [ssquf] All hand-delivered or messenger-delivered paper filings for 
the Commission's Secretary must be delivered to FCC Headquarters at 445 
12th St. SW., Room TW-A325, Washington, DC 20554. The filing hours are 
8:00 a.m. to 7:00 p.m. All hand deliveries must be held together with 
rubber bands or fasteners. Any envelopes and boxes must be disposed of 
before entering the building.
    [ssquf] Commercial overnight mail (other than U.S. Postal Service 
Express Mail and Priority Mail) must be sent to 9300 East Hampton 
Drive, Capitol Heights, MD 20743.
    [ssquf] U.S. Postal Service first-class, Express, and Priority mail 
must be addressed to 445 12th Street SW., Washington, DC 20554.
    [ssquf] People with Disabilities: To request materials in 
accessible formats for people with disabilities (braille, large print, 
electronic files, audio format), send an email to [email protected] or 
call the Consumer & Governmental Affairs Bureau at 202-418-0530 
(voice), 202-418-0432 (tty).
    20. Additional Information. For additional information on this 
proceeding, please contact Kim Matthews of the Media Bureau, Policy 
Division, [email protected], (202) 418-2154.

V. Ordering Clauses

    21. Accordingly, it is ordered that, pursuant to the authority 
contained in sections 1, 4(i), 4(j), 303(r), and 335 of the 
Communications Act of 1934, as amended, 47 U.S.C. 151, 154(i), 154(j), 
303(r), and 335 this Notice of Proposed Rulemaking is adopted.
    22. It is further ordered that the Commission's Consumer and 
Governmental Affairs Bureau, Reference Information Center, shall send a 
copy of this Notice of Proposed Rulemaking, including the Initial 
Regulatory Flexibility Analysis, to the Chief Counsel for Advocacy of 
the Small Business Administration.
    23. It is further ordered that the Petition for Rulemaking filed by 
the Campaign Legal Center, Common Cause, and the Sunlight Foundation is 
granted.

List of Subjects

47 CFR Part 25

    Direct Broadcast Satellite, Satellite radio.

47 CFR Part 73

    Broadcast radio.

[[Page 8048]]

47 CFR Part 76

    Cable television.

Federal Communications Commission.
Marlene H. Dortch,
Secretary.

Proposed Rules

    For the reasons discussed in the preamble, the Federal 
Communications Commission proposes to amend 47 CFR parts 25, 73, and 76 
as follows:

PART 25--SATELLITE COMMUNICATIONS

0
1. The Authority citation for Part 25 continues to read as follows:

    Authority: Interprets or applies sections 4, 301, 302, 303, 307, 
309, 319, 332, 705, and 721 of the Communications Act, as amended, 
47 U.S.C. 154, 301, 302, 303, 307, 309, 319, 332, 605, and 721, 
unless otherwise noted.

0
2. Section 25.601 is revised to read as follows:


Sec.  25.601  Equal employment opportunities.

    Notwithstanding other EEO provisions within these rules, an entity 
that uses an owned or leased Fixed-Satellite Service or Direct 
Broadcast Satellite Service or 17/24 GHz Broadcasting-Satellite Service 
facility (operating under this part) to provide video programming 
directly to the public on a subscription basis must comply with the 
equal employment opportunity requirements set forth in part 76, subpart 
E, of this chapter, if such entity exercises control (as defined in 
part 76, subpart E, of this chapter) over the video programming it 
distributes. Notwithstanding other EEO provisions within these rules, a 
licensee or permittee of a direct broadcast satellite station operating 
as a broadcaster, and a licensee or permittee in the satellite DARS 
service, must comply with the equal employment opportunity requirements 
set forth in part 73.
0
3. Section 25.701 is amended by revising the section heading and 
paragraphs (d), (e)(3), and (f)(6) to read as follows:


Sec.  25.701  Other DBS public interest obligations.

* * * * *
    (d) Political file. Each DBS provider shall maintain a complete and 
orderly political file.
    (1) The political file shall contain, at a minimum:
    (i) A record of all requests for DBS origination time, the 
disposition of those requests, and the charges made, if any, if the 
request is granted. The ``disposition'' includes the schedule of time 
purchased, when spots actually aired, the rates charged, and the 
classes of time purchased; and
    (ii) A record of the free time provided if free time is provided 
for use by or on behalf of candidates.
    (2) All records required to be retained by this section must be 
placed in the political file as soon as possible and must be retained 
for a period of two years. After the effective date of this section, 
DBS providers shall place all new political file material required to 
be retained by this section in the online file hosted by the 
Commission.
    (3) DBS providers shall assist callers by answering questions about 
the contents of their political files.
    (e) * * *
    (3) DBS providers airing children's programming must maintain in 
the online file hosted by the Commission records sufficient to verify 
compliance with this rule. Such records must be maintained for a period 
sufficient to cover the limitations period specified in 47 U.S.C. 
503(b)(6)(B).
* * * * *
    (f) * * *
    (6) Public file. (i) In addition to the political file requirements 
in Sec.  25.701, each DBS provider shall maintain in the online file 
hosted by the Commission a complete and orderly record of:
    (A) Quarterly measurements of channel capacity and yearly average 
calculations on which it bases its four percent reservation, as well as 
its response to any capacity changes;
    (B) A record of entities to whom noncommercial capacity is being 
provided, the amount of capacity being provided to each entity, the 
conditions under which it is being provided and the rates, if any, 
being paid by the entity;
    (C) A record of entities that have requested capacity, disposition 
of those requests and reasons for the disposition.
    (ii) All records required by paragraph (f)(6)(i) of this section 
shall be placed in the online file hosted by the Commission as soon as 
possible and shall be retained for a period of two years.
    (iii) Each DBS provider must also place in the online file hosted 
by the Commission the records required to be placed in the public 
inspection file by Sec.  25.701(e) (commercial limits in children's 
programs) and by Sec.  25.601 and 47 CFR part 76, subpart E (equal 
employment opportunity requirements) and retain those records for the 
period required by those rules.
    (iv) Each DBS provider must provide a link to the public inspection 
file hosted on the Commission's Web site from the home page of its own 
Web site, if the provider has a Web site, and provide on its Web site 
contact information for a representative who can assist any person with 
disabilities with issues related to the content of the public files. 
Each DBS provider also must include in the online public file the 
address of the provider's local public file and the name, phone number, 
and email address of the provider's designated contact for questions 
about the public file.
* * * * *
0
4. Section 25.702 is added to read as follows:


Sec.  25.702  Other SDARS Public interest obligations.

    (a) Political broadcasting requirements. The following political 
broadcasting rules shall apply to all SDARS licensees: 47 CFR 73.1940 
(Legally qualified candidates for public office), 73.1941 (Equal 
opportunities), and 73.1944 (Reasonable access).
    (b) Political file. Each SDARS licensee shall maintain a complete 
and orderly political file.
    (1) The political file shall contain, at a minimum:
    (i) A record of all requests for SDARS origination time, the 
disposition of those requests, and the charges made, if any, if the 
request is granted. The ``disposition'' includes the schedule of time 
purchased, when spots actually aired, the rates charged, and the 
classes of time purchased; and
    (ii) A record of the free time provided if free time is provided 
for use by or on behalf of candidates.
    (2) SDARS licensees shall place all records required by this 
section in the political file as soon as possible and shall retain the 
records for a period of two years. After the effective date of this 
section, SDARS licensees shall place all new political file material 
required to be retained by this section in the online file hosted by 
the Commission.
    (c) Public inspection file. Each SDARS applicant or licensee must 
also place in the online file hosted by the Commission the records 
required to be placed in the public inspection file by 47 CFR 25.601 
and 73.2080 (equal employment opportunities (EEO)) and retain those 
records for the period required by those rules. Each SDARS licensee 
must provide a link to the public inspection file hosted on the 
Commission's Web site from the home page of its own Web site, if the 
licensee has a Web site, and provide on its Web site contact 
information for a representative who can assist any person with 
disabilities with issues related to the content of the public files. 
Each SDARS licensee also must include

[[Page 8049]]

in the online public file the address of the licensee's local public 
file and the name, phone number, and email address of the licensee's 
designated contact for questions about the public file.

PART 73--RADIO BROADCAST SERVICES

0
5. The Authority citation for Part 73 continues to read as follows:

    Authority: 47 U.S.C. 154, 303, 334, 336, and 339.

0
6. Section 73.1943 is amended by revising paragraph (d) to read as 
follows:


Sec.  73.1943  Political file.

* * * * *
    (d) Location of the file. A licensee or applicant must post all of 
the contents added to its political file after the effective date of 
this subsection in the political file component of its online public 
file hosted by the Commission. A station must retain in its political 
file maintained at the station, at the location specified in Sec.  
73.3526(b) or Sec.  73.3527(b), all material required to be included in 
the political file and added to the file prior to the effective date of 
this subsection. The online political file must be updated in the same 
manner as paragraph (c) of this section.
0
7. Section 73.3526 is amended by revising paragraph (b) to read as 
follows:


Sec.  73.3526  Local public inspection file of commercial stations.

* * * * *
    (b) Location of the file. The public inspection file shall be 
located as follows:
    (1) For radio licensees temporarily exempt from the online file, as 
discussed in paragraph (b)(2) of this section, a hard copy of the 
public inspection file shall be maintained at the main studio of the 
station. For all licensees, letters and emails from the public, as 
required by paragraph (e)(9) of this section, shall be maintained at 
the main studio of the station. An applicant for a new station or 
change of community shall maintain its file at an accessible place in 
the proposed community of license or at its proposed main studio.
    (2)(i) A television station licensee or applicant, and any radio 
station licensee or applicant not temporarily exempt as described in 
this paragraph, shall place the contents required by paragraph (e) of 
this section, of its public inspection file on the online file hosted 
by the Commission, with the exception of letters and emails from the 
public as required by paragraph (e)(9) of this section, which shall be 
retained at the station in the manner discussed in paragraph (b)(1) of 
this section; and the political file as required by paragraph (e)(6) of 
this section, as discussed in paragraph (b)(3) of this section. Any 
radio station not in the top 50 Nielsen Audio markets, and any radio 
station with fewer than five full-time employees, shall continue to 
retain the public inspection file at the station in the manner 
discussed in paragraph (b)(1) of this section until [2 years following 
the effective date of the Report and Order in MB Docket No. 14-127]. 
However, any radio station that is not required to place its public 
inspection file in the online file hosted by the Commission before [2 
years following the effective date of the Report and Order in MB Docket 
No. 14-127] may choose to do so, instead of retaining the public 
inspection file at the station in the manner discussed in paragraph 
(b)(1) of this section.
    (ii) A station must provide a link to the public inspection file 
hosted on the Commission's Web site from the home page of its own Web 
site, if the station has a Web site, and provide contact information on 
its Web site for a station representative that can assist any person 
with disabilities with issues related to the content of the public 
files. A station also is required to include in the online public file 
the station's main studio address and telephone number, and the email 
address of the station's designated contact for questions about the 
public file. To the extent this section refers to the local public 
inspection file, it refers to the public file of an individual station, 
which is either maintained at the station or on the Commission's Web 
site, depending upon where the documents are required to be maintained 
under the Commission's rules.
    (3)(i) A licensee or applicant shall place the contents required by 
paragraph (e)(6) of this section of its political inspection file in 
the online file hosted by the Commission. Political inspection file 
material in existence 30 days after the effective date of this 
provision shall continue to be retained at the station in the manner 
discussed in paragraph (b)(1) of this section until the end of its 
retention period.
    (ii) Any television station not in the top 50 DMAs, and any station 
not affiliated with one of the top four broadcast networks, regardless 
of the size of the market it serves, shall continue to retain the 
political file at the station in the manner discussed in paragraph 
(b)(1) of this section until July 1, 2014. For these stations, 
effective July 1, 2014, any new political file material shall be placed 
in the online file hosted by the Commission, while the material in the 
political file as of July 1, 2014, if not placed in the Commission's 
Web site, shall continue to be retained at the station in the manner 
discussed in paragraph (b)(1) of this section until the end of its 
retention period. However, any station that is not required to place 
its political file in the online file hosted by the Commission before 
July 1, 2014 may choose to do so, instead of retaining the political 
file at the station in the manner discussed in paragraph (b)(1) of this 
section.
    (iii) Any radio station not in the top 50 Nielsen Audio markets, 
and any radio station with fewer than five full-time employees, shall 
continue to retain the political file at the station in the matter 
discussed in paragraph (b)(1) of this section until [2 years following 
the effective date of the Report and Order in MB Docket No. 14-127]. 
For these stations, effective [2 years following the effective date of 
the Report and Order in MB Docket No. 14-127], any new political file 
material shall be placed in the online file hosted by the Commission, 
while the material in the political file as of [2 years following the 
effective date of the Report and Order in MB Docket No. 14-127], if not 
placed in the online file hosted by the Commission, shall continue to 
be retained at the station in the manner discussed in paragraph (b)(1) 
of this section until the end of its retention period. However, any 
station that is not required to place its political file on the 
Commission's Web site before [2 years following the effective date of 
the Report and Order in MB Docket No. 14-127] may choose to do so, 
instead of retaining the political file at the station in the manner 
discussed in paragraph (b)(1) of this section.
    (4) The Commission will automatically link the following items to 
the electronic version of all licensee and applicant public inspection 
files, to the extent that the Commission has these items 
electronically: Authorizations, applications, contour maps; ownership 
reports and related materials; portions of the Equal Employment 
Opportunity file held by the Commission; ``The Public and 
Broadcasting''; Letters of Inquiry and other investigative information 
requests from the Commission, unless otherwise directed by the inquiry 
itself; Children's television programming reports; and DTV transition 
education reports. In the event that the online public file does not 
reflect such required information, the licensee will be responsible for 
posting such material.
* * * * *

[[Page 8050]]

0
8. Section 73.3527 is amended by revising paragraph (b) to read as 
follows:


Sec.  73.3527  Local public inspection file of noncommercial 
educational stations.

* * * * *
    (b) Location of the file. The public inspection file shall be 
located as follows:
    (1) For radio licensees, a hard copy of the public inspection file 
shall be maintained at the main studio of the station until [2 years 
following the effective date of the Report and Order in MB Docket No. 
14-127] except that, as discussed in paragraph (b)(2)(ii) of this 
section, any radio station may voluntarily place its public inspection 
file online before [2 years following the effective date of the Report 
and Order in MB Docket No. 14-127] if it chooses to do so instead of 
retaining the file at the station. An applicant for a new station or 
change of community shall maintain its file at an accessible place in 
the proposed community of license or at its proposed main studio.
    (2)(i) A noncommercial educational television station licensee or 
applicant shall place the contents required by paragraph (e) of its 
public inspection file in the online file hosted by the Commission, 
with the exception of the political file as required by paragraph 
(e)(5) of this section, which may be retained at the station in the 
manner discussed in paragraph (b)(1) of this section until July 1, 
2014. Effective July 1, 2014, any new political file material shall be 
placed in the online file hosted by the Commission, while the material 
in the political file as of July 1, 2014, if not placed on the 
Commission's Web site, shall continue to be retained at the station in 
the manner discussed in paragraph (b)(1) of this section until the end 
of its retention period. However, any noncommercial educational station 
that is not required to place its political file in the online file 
hosted by the Commission before July 1, 2014 may choose to do so 
instead of retaining the political file at the station in the manner 
discussed in paragraph (b)(1) of this section.
    (ii) Beginning [2 years following the effective date of the Report 
and Order in MB Docket No. 14-127], noncommercial educational radio 
station licensees and applicants shall place the contents required by 
paragraph (e) of this section in the online public inspection file 
hosted by the Commission. For these stations, effective [2 years 
following the effective date of the Report and Order in MB Docket No. 
14-127], any new political file material shall be placed on the 
Commission's Web site, while the material in the political file as of 
[2 years following the effective date of the Report and Order in MB 
Docket No. 14-127], if not placed in the online file hosted by the 
Commission, shall continue to be retained at the station in the manner 
discussed in paragraph (b)(1) of this section until the end of its 
retention period. However, any radio station that is not required to 
place its public inspection file in the online file hosted by the 
Commission before [2 years following the effective date of the Report 
and Order in MB Docket No. 14-127] may choose to do so, instead of 
retaining the public inspection file at the station in the manner 
discussed in paragraph (b)(1) of this section.
    (iii) A station must provide a link to the public inspection file 
hosted on the Commission's Web site from the home page of its own Web 
site, if the station has a Web site, and provide contact information 
for a station representative on its Web site that can assist any person 
with disabilities with issues related to the content of the public 
files. A station also is required to include in the online public file 
the station's main studio address and telephone number, and the email 
address of the station's designated contact for questions about the 
public file. To the extent this section refers to the local public 
inspection file, it refers to the public file of an individual station, 
which is either maintained at the station or on the Commission's Web 
site, depending upon where the documents are required to be maintained 
under the Commission's rules.
    (3) The Commission will automatically link the following items to 
the electronic version of all licensee and applicant public inspection 
files, to the extent that the Commission has these items 
electronically: Authorizations; applications; contour maps; ownership 
reports and related materials; portions of the Equal Employment 
Opportunity file held by the Commission; and ``The Public and 
Broadcasting''.
* * * * *
0
9. Section 73.3580 is amended by revising paragraphs (d)(4)(i) and (ii) 
to read as follows:


Sec.  73.3580  Local public notice of filing of broadcast applications.

* * * * *
    (d) * * *
    (4) * * *
    (i) Pre-filing announcements. During the period and beginning on 
the first day of the sixth calendar month prior to the expiration of 
the license, and continuing to the date on which the application is 
filed, the following announcement shall be broadcast on the 1st and 
16th day of each calendar month. Stations broadcasting primarily in a 
foreign language should broadcast the announcements in that language.
    Radio announcement: On (date of last renewal grant) (Station's call 
letters) was granted a license by the Federal Communication Commission 
to serve the public interest as a public trustee until (expiration 
date).
    Our license will expire on (date). We must file an application for 
renewal with the FCC (date four calendar months prior to expiration 
date). When filed, a copy of this application will be available for 
public inspection at www.fcc.gov. It contains information concerning 
this station's performance during the last (period of time covered by 
the application).
    Individuals who wish to advise the FCC of facts relating to our 
renewal application and to whether this station has operated in the 
public interest should file comments and petitions with the FCC by 
(date first day of last full calendar month prior to the month of 
expiration).
    Further information concerning the FCC's broadcast license renewal 
process is available at (address of location of the station's public 
inspection file) or may be obtained from the FCC, Washington, DC 20554.
    Television announcement: On (date of last renewal grant) (Station's 
call letters) was granted a license by the Federal Communication 
Commission to serve the public interest as a public trustee until 
(expiration date).
    Our license will expire on (date). We must file an application for 
renewal with the FCC (date four calendar months prior to expiration 
date). When filed, a copy of this application will be available for 
public inspection at www.fcc.gov. It contains information concerning 
this station's performance during the last (period of time covered by 
the application).
    Individuals who wish to advise the FCC of facts relating to our 
renewal application and to whether this station has operated in the 
public interest should file comments and petitions with the FCC by 
(date first day of last full calendar month prior to the month of 
expiration).
    Further information concerning the FCC's broadcast license renewal 
process is available at (address of location of the station) or may be 
obtained from the FCC, Washington, DC 20554.
* * * * *
    (ii) Post-filing announcements. During the period beginning of the 
date on which the renewal application is filed to the sixteenth day of 
the next to last full

[[Page 8051]]

calendar month prior to the expiration of the license, all applications 
for renewal of broadcast station licenses shall broadcast the following 
announcement on the 1st and 16th day of each calendar month. Stations 
broadcasting primarily in a foreign language should broadcast the 
announcements in that language.
    Television announcement: On (date of last renewal grant) (Station's 
call letters) was granted a license by the Federal Communications 
Commission to serve the public interest as a public trustee until 
(expiration date).
    Our license will expire on (date). We have filed an application for 
renewal with the FCC.
    A copy of this application is available for public inspection at 
www.fcc.gov. It contains information concerning this station's 
performance during the last (period of time covered by application).
    Individuals who wish to advise the FCC of facts relating to our 
renewal application and to whether this station has operated in the 
public interest should file comments and petitions with the FCC by 
(date first day of last full calendar month prior to the month of 
expiration).
    Further information concerning the FCC's broadcast license renewal 
process is available at (address of location of the station) or may be 
obtained from the FCC, Washington, DC 20554.
    Radio announcement: On (date of last renewal grant) (Station's call 
letters) was granted a license by the Federal Communications Commission 
to serve the public interest as a public trustee until (expiration 
date).
    Our license will expire on (date). We have filed an application for 
renewal with the FCC.
    A copy of this application is available for public inspection at 
www.fcc.gov. It contains information concerning this station's 
performance during the last (period of time covered by application).
    Individuals who wish to advise the FCC of facts relating to our 
renewal application and to whether this station has operated in the 
public interest should file comments and petitions with the FCC by 
(date first day of last full calendar month prior to the month of 
expiration).
    Further information concerning the FCC's broadcast license renewal 
process is available at (address of location of the station's public 
inspection file) or may be obtained from the FCC, Washington, DC 20554.
* * * * *

PART 76--MULTICHANNEL VIDEO AND CABLE TELEVISION SERVICE

0
10. The Authority citation for Part 76 continues to read as follows:

    Authority: 47 U.S.C. 151, 152, 153, 154, 301, 302, 302a, 303, 
303a, 307, 308, 309, 312, 315, 317, 325, 339, 340, 341, 503, 521, 
522, 531, 532, 534, 535, 536, 537, 543, 544, 544a, 545, 548, 549, 
552, 554, 556, 558, 560, 561, 571, 572, 573.

0
11. Section 76.630 is amended by revising paragraph (a)(2) to read as 
follows:


Sec.  76.630  Compatibility with consumer electronics equipment.

    (a) * * *
    (2) Requests for waivers of this prohibition must demonstrate 
either a substantial problem with theft of basic tier service or a 
strong need to scramble basic signals for other reasons. As part of 
this showing, cable operators are required to notify subscribers by 
mail of waiver requests. The notice to subscribers must be mailed no 
later than 30 calendar days from the date the request for waiver was 
filed with the Commission, and cable operators must inform the 
Commission in writing, as soon as possible, of that notification date. 
The notification to subscribers must state:

    On (date of waiver request was filed with the Commission), 
(cable operator's name) filed with the Federal Communications 
Commission a request for waiver of the rule prohibiting scrambling 
of channels on the basic tier of service. 47 CFR 76.630(a). The 
request for waiver states (a brief summary of the waiver request). A 
copy of the request for waiver shall be available for public 
inspection at www.fcc.gov.
    Individuals who wish to comment on this request for waiver 
should mail comments to the Federal Communications Commission by no 
later than 30 days from (the date the notification was mailed to 
subscribers). Those comments should be addressed to the: Federal 
Communications Commission, Media Bureau, Washington, DC 20554, and 
should include the name of the cable operator to whom the comments 
are applicable. Individuals should also send a copy of their 
comments to (the cable operator at its local place of business).
    Cable operators may file comments in reply no later than 7 days 
from the date subscriber comments must be filed.
* * * * *
0
12. Section 76.1700 is revised to read as follows:


Sec.  76.1700  Records to be maintained by cable system operators.

    (a) Public inspection file. The following records must be placed in 
the online public file hosted by the Commission, except as indicated in 
Sec.  76.1700(d) and except that the records listed in 76.1700(1) 
(political file) that are in existence 30 days after the effective date 
of this provision shall continue to be retained at the system and made 
available to the public in the manner discussed in paragraph (e) of 
this section until the end of the retention period. In addition, any 
cable system with fewer than 5,000 subscribers shall continue to retain 
the political file at the system in the manner discussed in paragraph 
(e) of this section until [2 years following the effective date of the 
Report and Order in MB Docket No. 14-127]. For these systems, effective 
[2 years following the effective date of the Report and Order in MB 
Docket No. 14-127], any new political file material shall be placed in 
the online file hosted by the Commission, while the material in the 
political file as of [2 years following the effective date of the 
Report and Order in MB Docket No. 14-127], if not placed on the 
Commission's Web site, shall continue to be retained at the system in 
the manner discussed in paragraph (e) of this section until the end of 
its retention period. However, any system that is not required to place 
its political file on the Commission's Web site before [2 years 
following the effective date of the Report and Order in MB Docket No. 
14-127] may choose to do so, instead of retaining the political file at 
the system in the manner discussed in paragraph (e) of this section.
    (1) Political file. All requests for cablecast time made by or on 
behalf of a candidate for public office and all other information 
required to be maintained pursuant to Sec.  76.1701;
    (2) Equal employment opportunity. All EEO materials described in 
Sec.  76.1702 except for any EEO program annual reports, which the 
Commission will link to the electronic version of all systems' public 
inspection files;
    (3) Commercial records on children's programs. Sufficient records 
to verify compliance with Sec.  76.225 in accordance with Sec.  
76.1703;
    (4) Performance tests (channels delivered). The operator of each 
cable television system shall maintain at its local office a current 
listing of the cable television channels which that system delivers to 
its subscribers in accordance with Sec.  76.1705;
    (5) Leased access. If a cable operator adopts and enforces written 
policy regarding indecent leased access programming, such a policy 
shall be published in accordance with Sec.  76.1707;
    (6) Principal headend. The operator of every cable system shall 
maintain the designation and location of its principal headend in 
accordance with Sec.  76.1708;
    (7) Availability of signals. The operator of every cable television 
system

[[Page 8052]]

shall maintain a list of all broadcast television stations carried by 
its system in fulfillment of the must-carry requirements in accordance 
with Sec.  76.1709;
    (8) Operator interests in video programming. Cable operators shall 
maintain records regarding the nature and extent of their attributable 
interests in all video programming services as well as information 
regarding their carriage of such vertically integrated video 
programming services on cable systems in which they have an 
attributable interests in accordance with Sec.  76.1710;
    (9) Sponsorship identification. Whenever sponsorship announcements 
are omitted pursuant to Sec.  76.1615(f) of subpart T, the cable 
television system operator shall maintain a list in accordance with 
Sec.  76.1715;
    (10) Compatibility with consumer electronics equipment. Cable 
system operators generally may not scramble or otherwise encrypt 
signals carried on the basic service tier. Copies of requests for 
waivers of this prohibition must be available in the public inspection 
file in accordance with Sec.  76.630.
    (b) Information available to the franchisor. These records must be 
made available by cable system operators to local franchising 
authorities on reasonable notice and during regular business hours, 
except as indicated in Sec.  76.1700(d).
    (1) Proof-of-performance test data. The proof of performance tests 
shall be made available upon request in accordance with Sec.  76.1704;
    (2) Complaint resolution. Cable system operators shall establish a 
process for resolving complaints from subscribers about the quality of 
the television signal delivered. Aggregate data based upon these 
complaints shall be made available for inspection in accordance with 
Sec.  76.1713.
    (c) Information available to the Commission. These records must be 
made available by cable system operators to the Commission on 
reasonable notice and during regular business hours, except as 
indicated in Sec.  76.1700(d).
    (1) Proof-of-performance test data. The proof of performance tests 
shall be made available upon request in accordance with Sec.  76.1704;
    (2) Signal leakage logs and repair records. Cable operators shall 
maintain a log showing the date and location of each leakage source in 
accordance with Sec.  76.1706;
    (3) Emergency alert system and activations. Every cable system 
shall keep a record of each test and activation of the Emergency Alert 
System (EAS). The test is performed pursuant to the procedures and 
requirements of part 11 of this chapter and the EAS Operating Handbook. 
The records are kept in accordance with part 11 and Sec.  76.1711 of 
this chapter;
    (4) Complaint resolution. Cable system operators shall establish a 
process for resolving complaints from subscribers about the quality of 
the television signal delivered. Aggregate data based upon these 
complaints shall be made available for inspection in accordance with 
Sec.  76.1713;
    (5) Subscriber records and public inspection file. The operator of 
a cable television system shall make the system, its public inspection 
file, and its records of subscribers available for inspection upon 
request in accordance with Sec.  76.1716.
    (d) Exceptions to the public inspection file requirements. The 
operator of every cable television system having fewer than 1,000 
subscribers is exempt from the online public file and from the public 
record requirements contained in Sec.  76.1701 (political file); Sec.  
76.1702 (EEO records available for public inspection); Sec.  76.1703 
(commercial records for children's programming); Sec.  76.1704 (proof-
of-performance test data); Sec.  76.1706 (signal leakage logs and 
repair records); Sec.  76.1714 (FCC rules and regulations); and Sec.  
76.1715 (sponsorship identification).
    (e) Location of records. Political file material that continues to 
be retained at the system shall be retained in a public inspection file 
maintained at the office in the community served by the system that the 
system operator maintains for the ordinary collection of subscriber 
charges, resolution of subscriber complaints, and other business and, 
if the system operator does not maintain such an office in the 
community, at any accessible place in the communities served by the 
system (such as a public registry for documents or an attorney's 
office). Public file locations will be open at least during normal 
business hours and will be conveniently located. The public inspection 
file shall be available for public inspection at any time during 
regular business hours for the facility where they are kept. All or 
part of the public inspection file may be maintained in a computer 
database, as long as a computer terminal capable of accessing the 
database is made available, at the location of the file, to members of 
the public who wish to review the file.
    (f) Links and contact and geographic information. A system must 
provide a link to the public inspection file hosted on the Commission's 
Web site from the home page of its own Web site, if the system has a 
Web site, and provide contact information on its Web site for a system 
representative who can assist any person with disabilities with issues 
related to the content of the public files. A system also is required 
to include in the online public file the address of the system's local 
public file and the name, phone number, and email address of the 
system's designated contact for questions about the public file. In 
addition, a system must provide on the online public file a list of the 
geographic areas served by the system. To the extent this section 
refers to the local public inspection file, it refers to the public 
file of a physical system, which is either maintained at the location 
described in paragraph (e) of this section or on the Commission's Web 
site, depending upon where the documents are required to be maintained 
under the Commission's rules.
    (g) Reproduction of records. Copies of any material in the public 
inspection file shall be available for machine reproduction upon 
request made in person, provided the requesting party shall pay the 
reasonable cost of reproduction. Requests for machine copies shall be 
fulfilled at a location specified by the system operator, within a 
reasonable period of time, which in no event shall be longer than seven 
days. The system operator is not required to honor requests made by 
mail but may do so if it chooses.
0
13. Section 76.1709 is amended by revising paragraphs (a) and (b) to 
read as follows:


Sec.  76.1709  Availability of signals.

    (a) The operator of every cable television system shall maintain 
for public inspection a file containing a list of all broadcast 
television stations carried by its system in fulfillment of the must-
carry requirements pursuant to Sec.  76.56. Such list shall include the 
call sign, community of license, broadcast channel number, cable 
channel number, and in the case of a noncommercial educational 
broadcast station, whether that station was carried by the cable system 
on March 29, 1990.
    (b) Such records must be maintained in accordance with the 
provisions of Sec.  76.1700.
* * * * *
[FR Doc. 2015-02531 Filed 2-12-15; 8:45 am]
BILLING CODE 6712-01-P



                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                           8031

                                                         • Written Submissions: You may                       notice-files/NOT-OD-15-019.html. The                  SUMMARY:    In this document, the
                                                      submit written submissions by Fax at                    draft NIH Policy aims to promote broad                Commission proposes to expand to
                                                      301–402–0169, or by Mail/Hand                           and responsible dissemination of                      cable operators, satellite TV providers,
                                                      Delivery/Courier (For paper, disk, or                   information on clinical trials funded by              broadcast radio licensees, and satellite
                                                      CD–ROM submissions) to: Jerry Moore,                    the NIH through registration and                      radio licensees the requirement that
                                                      NIH Regulations Officer, Office of                      submission of summary results                         public inspection files be posted to the
                                                      Management Assessment, 6011                             information to ClinicalTrials.gov. The                FCC’s online database. In 2012, the
                                                      Executive Boulevard, Suite 601, MSC                     original deadline for written comments                Commission adopted online public file
                                                      7669, Rockville, MD 20852–7669.                         on the draft NIH Policy was February                  rules for broadcast television stations
                                                      FOR FURTHER INFORMATION CONTACT:                        19, 2015, but the deadline is also being              that required them to post public file
                                                         Regulatory Process: Jerry Moore, NIH                 extended until 5 p.m. EST on March 23,                documents to a central, FCC-hosted
                                                      Regulations Officer, Office of                          2015.                                                 online database rather than maintaining
                                                      Management Assessment, Telephone                           Instructions for Submitting                        the files locally at their main studios.
                                                      (301–496–4607) (not a toll-free number),                Comments: We welcome comments                         Now that television broadcasters have
                                                      Fax (301–402–0169), or by email at                      from the public on all issues set forth in            completed their transition to the online
                                                      jm40z@nih.gov.                                          the proposed rule, and on specific                    file, the Commission believes it is
                                                         Technical Information: Jerry Sheehan,                issues identified in the document. All                appropriate to commence the process of
                                                      Assistant Director for Policy                           submissions received must include the                 expanding the online file to other media
                                                      Development, National Library of                        agency name, the Docket No., and                      entities to extend the benefits of
                                                      Medicine, National Institutes of Health,                Regulatory Information Number (RIN)                   improved public access to public
                                                      Department of Health and Human                          for this rulemaking. All comments                     inspection files and, ultimately, reduce
                                                      Services, Telephone (301–496–6221)                      received at http://www.regulations.gov                the burden of maintaining these files.
                                                      (not a toll-free number), Fax (301–402–                 may be posted without change,                         DATES: Comments may be filed on or
                                                      2586), or by email at sheehanjr@                        including any personal information                    before March 16, 2015, and reply
                                                      nlm.nih.gov.                                            provided. The http://                                 comments may be filed April 14, 2015.
                                                      SUPPLEMENTARY INFORMATION: HHS                          www.regulations.gov Web site is an                    Written comments on the proposed
                                                      published a Notice of Proposed                          ‘‘anonymous access’’ system, which                    information collection requirements,
                                                      Rulemaking (NPRM) on Clinical Trials                    means NIH will not know your identity                 subject to the Paperwork Reduction Act
                                                      Registration and Results Submission in                  or contact information unless you                     (PRA) of 1995, Pub. L. 104–13, should
                                                      the Federal Register on November 21,                    provide it in the body of your comment.               be submitted on or before April 14,
                                                      2014 (79 FR 69566). The NPRM                            You can assist us in considering your                 2015.
                                                      proposes requirements for submitting                    comment by referencing the number
                                                                                                                                                                    ADDRESSES: You may submit comments,
                                                      registration and summary results                        assigned to each key issue discussed in
                                                                                                                                                                    identified by MB Docket No. 14–127, by
                                                      information, including adverse event                    section III.C of the preamble or the
                                                                                                                                                                    any of the following methods:
                                                      information, for specified clinical trials              number of the section of this proposed                   • Federal eRulemaking Portal: http://
                                                      of drugs (including biological products)                rule to which your comment relates. For               www.regulations.gov. Follow the
                                                      and devices and for pediatric                           access to background documents or                     instructions for submitting comments.
                                                      postmarket surveillances of a device to                 comments received, go to http://                      • Federal Communications
                                                      ClinicalTrials.gov, the clinical trial                  www.regulations.gov and insert the                    Commission’s Web site: http://
                                                      registry and results data bank operated                 docket number found in the brackets in                fjallfoss.fcc.gov/ecfs2/. Follow the
                                                      by the National Library of Medicine.                    the heading of this document into the                 instructions for submitting comments.
                                                      The proposed rule provides for the                      ‘‘Search’’ box and follow the prompts.                   • Mail: Filings can be sent by hand or
                                                      expanded registry and results data bank                   Dated: January 16, 2015.                            messenger delivery, by commercial
                                                      specified in Title VIII of the Food and                 Francis S. Collins,                                   overnight courier, or by first-class or
                                                      Drug Administration Amendments Act                      Director, National Institutes of Health.              overnight U.S. Postal Service mail. All
                                                      of 2007 (FDAAA) to enhance patient                        Approved: February 5, 2015.                         filings must be addressed to the
                                                      enrollment, provide a mechanism to                      Sylvia Mathews Burwell                                Commission’s Secretary, Office of the
                                                      track subsequent progress of clinical                                                                         Secretary, Federal Communications
                                                                                                              Secretary, HHS.
                                                      trials, provide more complete results                                                                         Commission.
                                                      information, and enhance patient access                 [FR Doc. 2015–02990 Filed 2–12–15; 8:45 am]
                                                                                                                                                                       • People with Disabilities: Contact the
                                                      to and understanding of the results of                  BILLING CODE 4140–01–P                                FCC to request reasonable
                                                      clinical trials. The deadline for written                                                                     accommodations (accessible format
                                                      comments was originally established as                                                                        documents, sign language interpreters,
                                                      February 19, 2015. Since the NPRM was                   FEDERAL COMMUNICATIONS                                CART, etc.) by email: FCC504@fcc.gov
                                                      published, the Department has received                  COMMISSION                                            or phone: (202) 418–0530 or TTY: (202)
                                                      requests to extend the period for the                                                                         418–0432.
                                                      public submission of comments.                          47 CFR Parts 25, 73, and 76                              In addition to filing comments with
                                                      Effective with this notice, we are                                                                            the Secretary, a copy of any comments
                                                      extending the comment period with a                     [MB Docket No. 14–127; FCC 14–209]                    on the Paperwork Reduction Act
wreier-aviles on DSK5TPTVN1PROD with PROPOSALS




                                                      deadline of 5 p.m. EST on March 23,                                                                           proposed information collection
                                                      2015.                                                   Expansion of Online Public File                       requirements contained herein should
                                                         NIH published a related request for                  Obligations to Cable and Satellite TV                 be submitted to the Federal
                                                      public comments on a draft NIH Policy                   Operators and Broadcast and Satellite                 Communications Commission via email
                                                      on Dissemination of NIH-Funded                          Radio Licensees                                       to PRA@fcc.gov and to Cathy.Williams@
                                                      Clinical Trial Information in the NIH                   AGENCY:  Federal Communications                       fcc.gov and also to Nicholas A. Fraser,
                                                      Guide for Contracts and Grants (NOT–                    Commission.                                           Office of Management and Budget, via
                                                      OD–15–019) on November 19, 2014. See                                                                          email to Nicholas-A.-Fraser@
                                                                                                              ACTION: Proposed rule.
                                                      http://grants.nih.gov/grants/guide/                                                                           omb.eop.gov. For detailed instructions


                                                 VerDate Sep<11>2014   13:53 Feb 12, 2015   Jkt 235001   PO 00000   Frm 00052   Fmt 4702   Sfmt 4702   E:\FR\FM\13FEP1.SGM   13FEP1


                                                      8032                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                      for submitting comments and additional                  further reduce the information                        Digital Audio Radio Services (SDARS)
                                                      information on the rulemaking process,                  collection burden for small business                  licensees, among other entities. The
                                                      see the supplementary information                       concerns with fewer than 25 employees.                Commission’s goal is to make
                                                      section of this document.                                  To view a copy of this information                 information that these entities are
                                                      FOR FURTHER INFORMATION CONTACT: Kim                    collection request (ICR) submitted to                 already required to make publicly
                                                      Matthews, Media Bureau, Policy                          OMB: (1) Go to the Web page http://                   available more accessible, by placing
                                                      Division, 202–418–2154, or email at                     www.reginfo.gov/public/do/PRAMain,                    this information online, while also
                                                      kim.matthews@fcc.gov.                                   (2) look for the section of the Web page              reducing costs both for the government
                                                      SUPPLEMENTARY INFORMATION: This is a
                                                                                                              called ‘‘Currently Under Review,’’ (3)                and the public sector. The public and
                                                      summary of the Commission’s Notice of                   click on the downward-pointing arrow                  FCC use the information in the public
                                                      Proposed Rulemaking (NPRM), FCC 14–                     in the ‘‘Select Agency’’ box below the                file to evaluate information about the
                                                      209, adopted on December 17, 2014 and                   ‘‘Currently Under Review’’ heading, (4)               DBS or SDARS entity’s performance and
                                                      released on December 18, 2014. The full                 select ‘‘Federal Communications                       to ensure that the entity is operating
                                                      text of this document is available for                  Commission’’ from the list of agencies                pursuant to the FCC’s rules. In addition,
                                                      public inspection and copying during                    presented in the ‘‘Select Agency’’ box,               maintenance of political files by DBS
                                                      regular business hours in the FCC                       (5) click the ‘‘Submit’’ button to the                and SDARS entities enables the public
                                                      Reference Center, Federal                               right of the ‘‘Select Agency’’ box, (6)               to assess money expended and time
                                                      Communications Commission, 445 12th                     when the list of FCC ICRs currently                   allotted to a political candidate and to
                                                      Street SW., Room CY–A257,                               under review appears, look for the Title              ensure that equal access was afforded to
                                                      Washington, DC 20554. This document                     of this ICR and then click on the ICR                 other legally qualified candidates for
                                                      will also be available via ECFS at                      Reference Number. A copy of the FCC                   public office.
                                                      http://fjallfoss.fcc.gov/ecfs/. Documents               submission to OMB will be displayed.                     OMB Control Numbers: 3060–0214.
                                                                                                                 OMB Control Numbers: 3060–xxxx.                       Title: Sections 73.3526 and 73.3527,
                                                      will be available electronically in ASCII,
                                                                                                                 Title: Sections 25.701, Other DBS                  Local Public Inspection Files; Sections
                                                      Microsoft Word, and/or Adobe Acrobat.
                                                                                                              Public Interest Obligations, and 25.702,              76.1701 and 73.1943, Political Files.
                                                      Alternative formats are available for
                                                                                                              Other SDARS Public Interest                              Form Numbers: None.
                                                      people with disabilities (Braille, large                                                                         Type of Review: Revision of a
                                                                                                              Obligations.
                                                      print, electronic files, audio format) by                  Form Number: None.                                 currently approved collection.
                                                      sending an email to fcc504@fcc.gov or                      Type of Review: New collection.                       Respondents: Business or other for
                                                      calling the Commission’s Consumer and                      Respondents: Business or other for                 profit entities; Not for profit institutions;
                                                      Governmental Affairs Bureau at (202)                    profit entities.                                      State, Local or Tribal government;
                                                      418–0530 (voice), (202) 418–0432                           Number of Respondents and                          Individuals or households.
                                                      (TTY).                                                  Responses: 3 respondents and 3                           Number of Respondents/Responses:
                                                      Paperwork Reduction Act of 1995                         responses.                                            24,961 respondents; 59,902 responses.
                                                      Analysis                                                   Estimated Hours per Response: 18 hrs.                 Estimated Hours per Response: 1–52
                                                                                                                 Frequency of Response: On occasion                 hours per response.
                                                        This NPRM contains proposed new                       reporting requirement, Recordkeeping                     Frequency of Response: On occasion
                                                      and modified information collection                     requirement, Third party disclosure                   reporting requirement, Recordkeeping
                                                      requirements. The Commission, as part                   requirement.                                          requirement, Third party disclosure
                                                      of its continuing effort to reduce                         Total Annual Burden: 54 hours.                     requirement.
                                                      paperwork burdens, invites the general                     Total Annual Cost: $592.                              Total Annual Burden: 1,860,656
                                                      public and the Office of Management                        Obligation to Respond: Required to be              hours.
                                                      and Budget (OMB) to comment on the                      obtained or retained for benefits. The                   Total Annual Cost: $3,653,372.
                                                      information collection requirements                     statutory authority for this information                 Obligation to Respond: Required to
                                                      contained in this document, as required                 collection is contained in sections 154,              obtain or retain benefits. The statutory
                                                      by the Paperwork Reduction Act of                       301, 302, 303, 307, 309, 319, 332, 605,               authority for this information collection
                                                      1995, Public Law 104–13. Comments                       and 721 of the Communications Act of                  is contained in sections 154, 303, 334,
                                                      should address: (a) Whether the                         1934, as amended.                                     336, and 339 of the Communications
                                                      proposed collection of information is                      Nature and Extent of Confidentiality:              Act of 1934, as amended.
                                                      necessary for the proper performance of                 There is no need for confidentiality with                Nature and Extent of Confidentiality:
                                                      the functions of the Commission,                        this collection of information.                       There is no need for confidentiality with
                                                      including whether the information shall                    Privacy Act Assessment: The                        this collection of information.
                                                      have practical utility; (b) the accuracy of             Commission prepared a system of                          Privacy Act Assessment: The
                                                      the Commission’s burden estimates; (c)                  records notice (SORN), FCC/MB–2,                      Commission prepared a system of
                                                      ways to enhance the quality, utility, and               ‘‘Broadcast Station Public Inspection                 records notice (SORN), FCC/MB–2,
                                                      clarity of the information collected; (d)               Files,’’ that covers the PII contained in             ‘‘Broadcast Station Public Inspection
                                                      ways to minimize the burden of the                      the broadcast station public inspection               Files,’’ that covers the PII contained in
                                                      collection of information on the                        files located on the Commission’s Web                 the broadcast station public inspection
                                                      respondents, including the use of                       site. The Commission will revise                      files located on the Commission’s Web
                                                      automated collection techniques or                      appropriate privacy requirements as                   site. The Commission will revise
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                                                      other forms of information technology;                  necessary to include any entities and                 appropriate privacy requirements as
                                                      and (e) ways to further reduce the                      information added to the online public                necessary to include any entities and
                                                      information collection burden on small                  file in this proceeding.                              information added to the online public
                                                      business concerns with fewer than 25                       Needs and Uses: In FCC 14–209, the                 file in this proceeding.
                                                      employees. In addition, pursuant to the                 Commission proposes to expand the                        Needs and Uses: In FCC 14–209, the
                                                      Small Business Paperwork Relief Act of                  requirement that public inspection files              Commission proposes to expand the
                                                      2002, Public Law 107–198, see 44 U.S.C.                 be posted to the FCC-hosted online                    requirement that public inspection files
                                                      3506(c)(4), the Commission seeks                        public file database to Direct Broadcast              be posted to the FCC-hosted online
                                                      specific comment on how it might                        Satellite (DBS) providers and Satellite               public file database to commercial and


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                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                            8033

                                                      noncommercial broadcast radio                           information added to the online public                the FCC’s online database. In 2012, we
                                                      licensees, among other entities. The                    file in this proceeding.                              adopted online public file rules for
                                                      Commission’s goal is to make                               Needs and Uses: In FCC 14–209, the                 broadcast television stations that
                                                      information that these entities are                     Commission proposes to expand the                     required them to post public file
                                                      already required to make publicly                       requirement that public inspection files              documents to a central, FCC-hosted
                                                      available more accessible, by placing                   be posted to the FCC-hosted online                    online database rather than maintaining
                                                      this information online, while also                     public file database to cable operators,              the files locally at their main studios.
                                                      reducing costs both for the government                  among other entities. The Commission’s                Standardized and Enhanced Disclosure
                                                      and the public sector. Among other                      goal is to make information that these                Requirements for Television Broadcast
                                                      things, the public and FCC use the                      entities are already required to make                 Licensee Public Interest Obligations,
                                                      information in the public file to evaluate              publicly available more accessible, by                Second Report and Order, 77 FR 27631
                                                      information about the broadcast                         placing this information online, while                (May 11, 2012) (‘‘Second Report and
                                                      licensee’s performance and to ensure                    also reducing costs both for the                      Order’’). Our goal was to modernize the
                                                      that the station is addressing issues                   government and the public sector.                     procedures television broadcasters use
                                                      concerning the community which it is                    Among other things, the public and FCC                to inform the public about how they are
                                                      licensed to serve. In addition,                         use the information in the public file to             serving their communities, to make
                                                      maintenance of political files by                       evaluate information about the                        information concerning broadcast
                                                      broadcast and cable entities enables the                broadcast licensee’s performance and to               service more accessible to the public
                                                      public to assess money expended and                     ensure that the station is addressing                 and, over time, to reduce the cost of
                                                      time allotted to a political candidate and              issues concerning the community which                 broadcasters’ compliance. We initiate
                                                      to ensure that equal access was afforded                it is licensed to serve. In addition,                 this proceeding to extend our
                                                      to other legally qualified candidates for               maintenance of political files by                     modernization effort to include the
                                                      public office.                                          broadcast and cable entities enables the              public file documents that cable
                                                         OMB Control Number: 3060–0316.                       public to assess money expended and                   operators, DBS providers, and broadcast
                                                         Title: 47 CFR Sections 76.1700,                      time allotted to a political candidate and            and satellite radio licensees are required
                                                      Records to be maintained locally by                     to ensure that equal access was afforded              to maintain. While the Commission first
                                                      Cable System Operators; 76.1702, Equal                  to other legally qualified candidates for             included only television broadcasters in
                                                      Employment Opportunity; 76.1703,                        public office. Section 76.1700 contains               its public file database to ‘‘ease the
                                                      Commercial Records on Children’s                        the recordkeeping requirements                        initial implementation of the online
                                                      Programs; 76.1707, Leased Access;                       applicable to cable systems, including                public file,’’ television broadcasters
                                                      76.1711, Emergency Alert System (EAS)                   public inspection file requirements.                  have successfully transitioned to the
                                                      Tests and Activation.                                   This NPRM proposes to revise Section                  online file over the past two years.
                                                         Form Number: Not applicable.                         76.1700 to reflect the requirement that               Accordingly, we now believe it is
                                                         Type of Review: Revision of a                        cable operators maintain their public                 appropriate to commence the process of
                                                      currently approved collection.                          inspection file online on the Web site                expanding the online file to other media
                                                         Respondents: Business or other for                   hosted by the FCC. In addition, this                  entities in order to extend the benefits
                                                      profit entities.                                        NPRM proposes a reorganization of                     of improved public access to public
                                                         Number of Respondents/Responses:                     Section 76.1700 to more clearly address               inspection files and, ultimately, reduce
                                                      3,000 respondents; 3,000 responses.                     which records must be maintained in                   the burden on these other entities of
                                                         Estimated Hours per Response: 18                     the public inspection file versus those               maintaining these files.
                                                      hours.                                                  that must be made available to the
                                                         Frequency of Response:                                                                                     II. Background
                                                                                                              Commission or franchising authority
                                                      Recordkeeping requirement.                              upon request. Among other changes, the
                                                         Total Annual Burden: 54,000 hours.                                                                            2. One of a broadcaster’s fundamental
                                                         Total Annual Cost: $591,840.                         Commission proposes to clarify that                   public interest obligations is to air
                                                         Obligation to Respond: Required to                   proof-of-performance test data and                    programming responsive to the needs
                                                      obtain or retain benefits. The statutory                signal leakage logs and repair data must              and interests of its community of
                                                      authority for this information collection               be made available only to the                         license. To ensure that stations meet
                                                      is contained in Sections 151, 152, 153,                 Commission and, in the case of proof-                 this obligation, the Commission relies
                                                      154, 301, 302, 302a, 303, 303a, 307, 308,               of-performance test data, also to the                 on viewers and listeners as an important
                                                      309, 312, 315, 317, 325, 339, 340, 341,                 franchisor, and not to the public.                    source of information about the nature
                                                      503, 521, 522, 531, 532, 534, 535, 536,                 Accordingly, this information would not               of a station’s programming, operations,
                                                      537, 543, 544, 544a, 545, 548, 549, 552,                be required to be included in the public              and compliance with Commission rules.
                                                      554, 556, 558, 560, 561, 571, 572, and                  inspection file or in the online public               To provide the public with access to
                                                      573 of the Communications Act of 1934,                  inspection file.                                      information about station operations,
                                                      as amended.                                             Summary of the Notice of Proposed                     the Commission’s rules have long
                                                         Nature and Extent of Confidentiality:                Rulemaking                                            required television and radio broadcast
                                                      There is no need for confidentiality with                                                                     stations to maintain a physical public
                                                      this collection of information.                         I. Introduction                                       inspection file, including a political file,
                                                         Privacy Act Assessment: The                             1. In this Notice of Proposed                      at their respective stations or
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                                                      Commission prepared a system of                         Rulemaking (‘‘NPRM’’), we propose to                  headquarters and to place in the file
                                                      records notice (SORN), FCC/MB–2,                        expand to cable operators, satellite TV               records that provide information about
                                                      ‘‘Broadcast Station Public Inspection                   (also referred to as ‘‘Direct Broadcast               station operations. The purpose of the
                                                      Files,’’ that covers the PII contained in               Satellite’’ or ‘‘DBS’’) providers,                    public inspection file requirement is to
                                                      the broadcast station public inspection                 broadcast radio licensees, and satellite              ‘‘make information to which the public
                                                      files located on the Commission’s Web                   radio (also referred to as ‘‘Satellite                already has a right more readily
                                                      site. The Commission will revise                        Digital Audio Radio Services’’ or                     available, so that the public will be
                                                      appropriate privacy requirements as                     ‘‘SDARS’’) licensees the requirement                  encouraged to play a more active part in
                                                      necessary to include any entities and                   that public inspection files be posted to             dialogue with broadcast licensees.’’


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                                                      8034                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                         3. The Commission promulgated its                    broadcast television, cable, and DBS.                 ensure greater public access. The INC
                                                      first political file rule in 1938. That                 The BCRA essentially codified the                     Report further suggested that
                                                      initial rule was essentially identical to               Commission’s existing political file                  governments at all levels collect and
                                                      our current political file regulation in its            obligations by requiring that                         publish data in forms that make it easy
                                                      requirement that the file be available for              information regarding any request to                  for citizens, entrepreneurs, software
                                                      public inspection and include both                      purchase advertising time made on                     developers, and reporters to access and
                                                      candidate requests for time and the                     behalf of a legally qualified candidate               analyze information to enable them to
                                                      disposition of those requests, including                for public office be placed in the                    present the data in more useful formats,
                                                      the ‘‘charges made’’ for the broadcast                  political file. In addition, the BCRA                 and noted that greater transparency by
                                                      time. In 1965, following action by                      expanded political file obligations by                government and media companies can
                                                      Congress to allow greater public                        requiring that television, cable, and DBS             help reduce the cost of reporting,
                                                      participation in the broadcast licensing                entities also place in the political file             empower consumers, and foster
                                                      process, the Commission adopted a                       information related to any                            innovation.
                                                      broader public inspection file rule to                  advertisements that discuss a ‘‘political                8. Based upon commenter
                                                      enable local inspection of broadcast                    matter of national importance,’’                      suggestions, in the Second Report and
                                                      applications, reports, and related                      including in the case of an issue                     Order the Commission determined that
                                                      documents. The Commission noted that                    advertisement the name of the person or               each television station’s entire public
                                                      Congress’ actions ‘‘zealously guarded                   entity purchasing the time and a list of              file would be hosted online by the
                                                      the rights of the general public to be                  the chief executive officers or members               Commission. The Commission took a
                                                      informed’’ and that the Commission’s                    of the executive committee or of the                  number of steps to minimize the burden
                                                      goal was to make ‘‘practically accessible               board of directors of any such entity.                of the online file on stations.
                                                      to the public information to which it is                                                                      Broadcasters were required to upload
                                                                                                              A. Online Public File                                 only those items required to be in the
                                                      entitled.’’
                                                         4. Cable, DBS, and SDARS entities                       6. In 2012 the Commission replaced                 public file but not otherwise filed with
                                                      also have public and political file                     the decades-old requirement that                      the Commission or available on the
                                                      requirements modeled, in large part, on                 commercial and noncommercial                          Commission’s Web site. Any document
                                                      the longstanding broadcast                              television stations maintain public files             or information required to be kept in the
                                                      requirements. In 1974, the Commission                   at their main studios with a requirement              public file and that is required to be
                                                      adopted a public inspection file                        to post most of the documents in those                filed with the Commission
                                                      requirement for cable, noting that ‘‘[i]f               files to a central, online public file                electronically in the Consolidated
                                                      the public is to play an informed role in               hosted by the Commission. See Second                  DataBase System (‘‘CDBS’’) is imported
                                                      the regulation of cable television, it                  Report and Order, 77 FR 27631 (May 11,                to the online public file and updated by
                                                      must have at least basic information                    2012). As noted above, the                            the Commission. In addition, television
                                                      about a local system’s operations and                   Commission’s goals were to modernize                  stations were not required to upload
                                                      proposals.’’ The Commission also noted                  the procedures television broadcasters                their existing political files to the online
                                                      that ‘‘[r]equiring cable systems to                     use to inform the public about how they               file; rather, stations were required only
                                                      maintain a public file merely follows                   are serving their communities, make                   to upload new political file content on
                                                      our policy for broadcast licensees and is               information concerning broadcast                      a going-forward basis. Because of
                                                      necessary for similar reasons’’ and that                service more accessible to the public,                privacy concerns, stations also were not
                                                      ‘‘[t]hrough greater disclosure we hope to               and reduce broadcasters’ cost of                      required to upload letters and emails
                                                      encourage a greater interaction between                 compliance. The television online                     from the public to the online file; rather,
                                                      the Commission, the public, and the                     public file rules were the culmination of             they must continue to retain them in a
                                                      cable industry.’’ With respect to DBS                   a more than decade-long effort to make                correspondence file at the main studio.
                                                      providers, the Commission adopted                       information regarding how a television                   9. In addition, to smooth the
                                                      public and political inspection file                    broadcast station serves the public                   transition for both television stations
                                                      requirements in 1998 in conjunction                     interest ‘‘easier to understand and more              and the Commission and to allow
                                                      with the imposition of certain public                   accessible,’’ ‘‘promote discussion                    smaller broadcasters additional time to
                                                      interest obligations, including political               between the licensee and its                          begin posting their political files online,
                                                      broadcasting requirements, on those                     community,’’ and ‘‘lessen the need for                the Commission phased-in the new
                                                      entities. DBS providers were required to                government involvement in ensuring                    political file posting requirement.
                                                      ‘‘abide by political file obligations                   that a station is meeting its public                  Stations affiliated with the top four
                                                      similar to those requirements placed on                 interest obligation.’’                                national networks (ABC, NBC, CBS, and
                                                      terrestrial broadcasters and cable                         7. In June 2011, the Commission staff              Fox) and licensed to serve communities
                                                      systems’’ and were also required to                     released ‘‘The Information Needs of                   in the top 50 Designated Market Areas
                                                      maintain a public file with records                     Communities’’ Report (‘‘INC Report’’), a              (‘‘DMAs’’) were required to begin
                                                      relating to other DBS public interest                   comprehensive report on the current                   posting their political file documents
                                                      obligations. Finally, the Commission                    state of the media landscape created by               online starting August 2, 2012, but other
                                                      imposed equal employment opportunity                    a working group including Commission                  stations were exempted from posting
                                                      and political broadcast requirements on                 staff, scholars, and consultants. See                 their political file documents online
                                                      SDARS licensees in 1997, noting that                    www.fcc.gov/infoneedsreport. The INC                  until July 1, 2014. In the Second Report
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                                                      the rationale behind imposing these                     Report discussed both the need to                     and Order, the Commission also
                                                      requirements on broadcasters also                       empower citizens to ensure that                       rejected several proposals in the FNPRM
                                                      applies to satellite radio.                             broadcasters serve their communities in               to increase public file requirements in
                                                         5. In 2002, Congress adopted the                     exchange for the use of public spectrum,              conjunction with implementation of the
                                                      Bipartisan Campaign Reform Act                          and the need to remove unnecessary                    online file. Rather, the Commission
                                                      (‘‘BCRA’’) which amended the political                  burdens on broadcasters who aim to                    determined that stations would be
                                                      file requirements in section 315 of the                 serve their communities. The INC                      required to place in their online files
                                                      Communications Act of 1934. 47 U.S.C.                   Report recommended an online system                   only material that is already required to
                                                      315. The amendments apply to                            for public inspection files in order to               be placed in their local files.


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                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                          8035

                                                         10. The Commission stated in the                     technology, satellite television providers            a number of commenters also argued
                                                      Second Report and Order that it was                     are preparing to sell household-specific              that extending the online public file to
                                                      deferring consideration of whether to                   ‘‘addressable advertising,’’ a feature that           radio at this time is premature and that,
                                                      adopt online posting for radio licensees                has attracted interest from advertising               at most, the Commission should first
                                                      and multichannel video programming                      campaigns. Petitioners assert that                    consider a voluntary online public file
                                                      distributors (‘‘MVPDs’’) until it had                   moving the television public file online              for radio before mandating online filing.
                                                      gained experience with online posting                   has resulted in ‘‘unquestionably                      III. Discussion
                                                      of public files of television broadcasters.             substantial’’ public benefits, which
                                                      The Commission noted that starting the                  would also arise if cable and satellite                  13. We propose to adopt a phased-in
                                                      online public file process with the much                systems were required to upload their                 approach to expanding the online file
                                                      smaller number of television licensees,                 public and political files online. In                 requirements to cable and DBS
                                                      rather than with all broadcasters and                   addition, Petitioners argue that                      providers and broadcast and satellite
                                                      MVPDs, would ‘‘ease the initial                         television broadcasters experienced few               radio entities. The implementation of
                                                      implementation of the online public                     problems moving to the online file, and               the television online file represents a
                                                      file.’’ In response to the FNPRM, a group               cable and satellite systems would also                significant achievement in the
                                                      of public television licensees requested                likely not be burdened by the online                  Commission’s ongoing effort to
                                                      that the Commission permit NCE radio                    filing requirement.                                   modernize disclosure procedures to
                                                      stations, or at least those licensed to the                                                                   improve access to public file material.
                                                                                                                 12. On August 7, 2014, the Media                   Since it was launched on August 2,
                                                      same entity as, or under common                         Bureau issued a Public Notice seeking
                                                      control with, an NCE–TV station, to                                                                           2012, more than 650,000 documents
                                                                                                              comment on the Petition and, in                       have been successfully uploaded into
                                                      maintain their public inspection files                  addition, on whether it should initiate
                                                      online on the Commission’s Web site on                                                                        the online file, and the site has
                                                                                                              a rulemaking to expand online public                  generated close to six million page
                                                      a voluntary basis. While the                            file obligations to broadcast radio
                                                      Commission declined to grant this                                                                             views. Despite initial concerns, NAB
                                                                                                              stations. See Public Notice, Commission               characterized the first wave of
                                                      request, it stated that ‘‘as we and the                 Seeks Comment on Petition for
                                                      broadcasting industry gain more                                                                               implementation as ‘‘uneventful.’’ As of
                                                                                                              Rulemaking Filed by the Campaign                      July 1, 2014, all television broadcast
                                                      experience with the online public file
                                                                                                              Legal Center, Common Cause, and the                   stations have fully transitioned to the
                                                      we will revisit the possibility of
                                                                                                              Sunlight Foundation Seeking Expansion                 online file and, with this transition now
                                                      allowing stations not required to use the
                                                                                                              of Online Public File Obligations to                  complete, it is time to seek comment on
                                                      online public file to use it on a
                                                                                                              Cable and Satellite TV Operators,                     expanding the online file to encompass
                                                      voluntary basis.’’ In addition, the
                                                                                                              Bureau Also Seeks Comment on                          cable, satellite, and radio public file
                                                      Commission delegated to the
                                                                                                              Expanding Online Public File                          material.
                                                      Commission staff ‘‘the authority to
                                                                                                              Obligations to Radio Licensees, 79 FR                    14. As the Commission stated in the
                                                      allow (but not require) radio stations to
                                                                                                              51136–01 (August 27, 2014)(‘‘Public                   Second Report and Order, this
                                                      voluntarily post their public files at
                                                                                                              Notice’’). The National Association of                modernization of the public inspection
                                                      such time the staff determines that such
                                                      an option is feasible and desirable.’’ To               Broadcasters (‘‘NAB’’) filed comments                 file is ‘‘plain common sense.’’ The
                                                      date, the Commission staff has not made                 supporting the extension of the online                evolution of the Internet and the spread
                                                      this option available to radio stations,                public file to cable and satellite                    of broadband infrastructure have
                                                      instead focusing initially on ensuring                  providers, stating that there is ‘‘no                 transformed the way society accesses
                                                      that the database was functioning                       rational basis’’ for requiring television             information today. It is no longer
                                                      smoothly and was capable of handling                    broadcasters, but not their competitors               reasonable to require the public to incur
                                                      the increase in volume once all                         in the video marketplace, to disclose                 the substantial expense and
                                                      television stations were required to use                public and political file material online.            inconvenience of traveling to a station
                                                      the online file beginning July 1, 2014.                 The National Cable &                                  or headquarters’ office to review the
                                                                                                              Telecommunications Association                        public file and make paper copies when
                                                      B. Petition for Rulemaking                              (‘‘NCTA’’) argued that, if the                        a centralized, online file would permit
                                                         11. In July 2014, the Campaign Legal                 Commission were to open a proceeding                  review with a quick and essentially
                                                      Center, Common Cause, and the                           to expand online file obligations, it                 costless Internet search.
                                                      Sunlight Foundation (collectively,                      should examine how to tailor any online
                                                                                                              posting requirements to minimize                      A. Benefits of Expanding the Online
                                                      ‘‘Petitioners’’ or ‘‘CLC’’) filed a joint
                                                                                                              burdens on cable operators and avoid                  Public File
                                                      Petition for Rulemaking requesting that
                                                      the Commission initiate a rulemaking to                 requiring them to upload files of little                 15. Our goal in this proceeding is to
                                                      expand to cable and satellite systems                   interest to the public. With respect to               modernize the outdated procedures for
                                                      the requirement that public and                         radio, while CLC and the American                     providing public access to cable, DBS,
                                                      political file documents be posted to the               Public Media Group supported the                      radio, and SDARS files in a manner that
                                                      FCC’s online database. See Campaign                     initiation of a rulemaking to require all             avoids unnecessary burdens on these
                                                      Legal Center, et al., Petition for                      radio stations to post their public and               entities. By taking advantage of the
                                                      Rulemaking, MB Docket No. 14–127, at                    political files to the FCC’s online                   efficiencies made possible by digital
                                                      1 (July 31, 2014) (‘‘Petition’’). The                   database, the majority of commenters                  technology, we intend to make
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                                                      Petitioners argue that cable and satellite              addressing this issue either objected to              information that cable and DBS
                                                      services have increasingly become                       extending the online filing requirement               providers and broadcast and satellite
                                                      outlets for political advertising.                      to radio and/or argued that the                       radio licensees are already required to
                                                      According to Petitioners, political                     Commission should carefully consider                  make publicly available more accessible
                                                      spending on cable is projected to                       the financial burden on struggling radio              while also reducing costs both for the
                                                      constitute as much as 25 percent of total               stations as well as the technical and                 government and the private sector. The
                                                      projected political television spending                 financial challenges to the FCC that                  Internet is an effective, low-cost means
                                                      in the 2014 election cycle. Petitioners                 would be posed by expanding the                       of maintaining contact with, and
                                                      also assert that, due to advances in                    online file to include radio. In addition,            distributing information to, viewers and


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                                                      8036                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                      listeners. Placing the public file online               information for their local file—we do                these complaints would further strain
                                                      will permit 24-hour access from any                     not propose new or modified public                    stations’ limited resources.
                                                      location, without requiring a visit to the              inspection file requirements in this                     20. In the television online public file
                                                      site where the paper file is maintained,                proceeding. Our goal is simply to adapt               proceeding, the Commission rejected
                                                      thereby improving access to information                 our existing public file requirements to              similar arguments regarding the burden
                                                      about how cable, satellite, and radio                   an online format. We seek comment on                  an online file requirement would pose
                                                      entities are serving their communities                  this approach. While we propose to                    and concluded that the benefits of the
                                                      and meeting their public interest                       place the entire public file online, we               online file outweighed any potential
                                                      obligations. As the Commission stated                   invite comment on whether we should                   burden. The Commission also took a
                                                      in the Second Report and Order, the                     instead require only that certain                     number of steps to minimize the costs
                                                      public benefits of posting public file                  components of the public file be placed               of moving public files online, most of
                                                      information online, while difficult to                  on the Commission’s online database.                  which we propose to take in this
                                                      quantify with exactitude, are                           We note that limiting online file                     proceeding as well. With respect to
                                                      unquestionably substantial.                             requirements to certain components of                 radio, we recognize that concerns
                                                         16. Expansion of the online public file              the public file would require entities to             regarding the potential cost of an online
                                                      to more media is particularly important                 upload certain documents and maintain                 public file requirement carry more
                                                      with respect to improving public access                 others in the local public file, thereby              weight, particularly for very small radio
                                                      to political files. As Petitioners point                potentially imposing a greater burden                 stations, which may struggle financially
                                                      out, political advertising is increasingly              than moving documents to the online                   and have fewer resources than small
                                                      shifting from broadcast television to                   file over time. We seek comment on                    television stations. While we believe
                                                      cable and satellite television, and the                 these issues. One benefit of this                     that moving toward an online public file
                                                      advent of technological advances such                   proceeding, however, is to ensure that,               makes sense in today’s world for all
                                                      as addressable advertising are likely to                within a short timeframe, there will be               entities that currently have public file
                                                      further this trend. Political advertising               less need for the public to visit the                 requirements, we are committed to
                                                      on radio is also on the rise. According                 affected entities, which will enable such             considering carefully all concerns raised
                                                      to CLC, political advertising                           entities to improve security and                      in this proceeding with respect to
                                                      expenditures on radio in 2012 ranked                    minimize risks to employees. We seek                  potential online file requirements. With
                                                      third behind spending on broadcast                      comment on these issues, including                    respect to broadcast radio licensees, as
                                                      television and cable and could reach as                 ways to further reduce the burdens of                 discussed further below, we propose to
                                                      high as 7 percent of overall spending on                the public file and limit visits to the               commence the transition to an online
                                                      political advertising in 2014. Adding                   affected entities.                                    file with commercial stations in larger
                                                      cable, satellite television, and broadcast                                                                    markets with five or more full-time
                                                      and satellite radio political file material             B. Expansion of the Online File to                    employees, while postponing
                                                      to the existing television online                       Broadcast Radio                                       temporarily all online file requirements
                                                      database would facilitate public access                                                                       for other radio stations. We believe that
                                                      to disclosure records for all these media                  19. While no commenter responding                  this approach addresses the concerns
                                                      and allow the public to view and                        to the Public Notice opposed the                      raised by commenters and will help
                                                      analyze political advertising                           extension of the online public file to                ensure that the transition to the online
                                                      expenditures more easily in each market                 cable or DBS providers, as discussed                  file is not unduly burdensome.
                                                      as well as nationwide.                                  above a number of commenters either                      21. We reject the argument that we
                                                         17. We propose to take the same                      opposed imposing online public file                   should not expand the online file
                                                      general approach to transitioning cable,                obligations on broadcast radio or urged               requirement to broadcast radio because
                                                      DBS, broadcast radio, and SDARS to the                  the Commission carefully to consider a                doing so will benefit only non-local
                                                      online file that the Commission took                    number of obstacles unique to radio                   advocacy groups. Making the file
                                                      with television broadcasters, tailoring                 before requiring radio stations to use the            available online will make it easier for
                                                      the requirements as necessary to the                    online file. In general, these commenters             the public generally to access the file,
                                                      different services. We also propose to                  argue that many radio stations are very               including local listeners, and will give
                                                      take similar measures to minimize the                   small and have limited financial                      the Commission and the public the
                                                      effort and cost entities must undertake                 resources and small staffs. Some argue                information needed to evaluate whether
                                                      to move their public files online.                      that, for many stations, the additional               stations are meeting their
                                                      Specifically, we propose to require                     responsibility of maintaining an online               responsibilities to their local
                                                      entities only to upload to the online file              file would take time and resources that               community.
                                                      public file documents that are not                      would be better devoted to providing
                                                                                                              local programming and information.                    C. Online File Capacity and Technical
                                                      already on file with the Commission or
                                                      that the Commission maintains in its                    Other commenters note that many small                 Issues
                                                      own database. We also propose to                        stations already face significant                        22. We recognize that adding cable,
                                                      exempt existing political file material                 economic challenges simply to stay on                 DBS, broadcast radio, and SDARS
                                                      from the online file requirement and to                 the air and might be unable to withstand              entities to the Commission’s online file
                                                      require only that political file                        any additional financial pressure an                  will greatly increase the number of users
                                                      documents be uploaded on a going-                       online public file obligation would                   of the file and the volume of material
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                                                      forward basis.                                          impose. Finally, some commenters                      that must be uploaded. NAB notes that,
                                                         18. With only minor exceptions—                      argue that local radio listeners that                 if radio stations are required to use the
                                                      requiring cable operators to provide                    might be interested in accessing the                  online file, there could be more than
                                                      information about the geographic areas                  current public file can do so easily.                 17,500 broadcast entities uploading
                                                      they serve, clarifying the documents                    These commenters contend that moving                  quarterly issues/programs lists on the
                                                      required to be included in the cable                    the public file online would not                      same four dates in a year. In addition,
                                                      public file, and requiring cable, DBS,                  improve access for current listeners but              we recognize that there is likely to be a
                                                      broadcast radio, and SDARS entities to                  only encourage complaints from                        heavy demand on the online file during
                                                      provide the location and contact                        advocacy groups and that responding to                peak political seasons, when many


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                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                            8037

                                                      broadcast stations take new advertising                 connection between this database and                  online political file immediately absent
                                                      orders and modify existing orders on a                  the online file database as appropriate               unusual circumstances. We seek
                                                      daily basis. NAB urges the Commission                   and plans to complete that process                    comment generally on these proposals.
                                                      to consider increasing its online                       before the effective date of any cable                    27. Organization. In light of the
                                                      capacity to accommodate the significant                 online filing requirement that may be                 expansion of the online file we propose
                                                      increase in network traffic that will                   adopted in this proceeding.                           herein, we invite comment on any steps
                                                      occur when a large number of filings                                                                          we might take to improve the
                                                                                                              D. Proposed Online File Rules for Cable,              organization of the online file and
                                                      must be uploaded on the same date and
                                                                                                              DBS, Broadcast Radio, and SDARS                       facilitate the uploading and
                                                      consider ways to stagger filings to
                                                      relieve network congestion. Other                          25. In general, we propose to adopt a              downloading of material. With respect
                                                      commenters argue the Commission                         similar approach with respect to cable,               to the television online political file, the
                                                      should consider expanding the                           DBS, broadcast and satellite radio                    Commission designed an organizational
                                                      traditional 10-day filing window for                    online file requirements as we did for                structure of folders and subfolders that
                                                      many broadcast reports to a 30-day                      the television online file. Specifically,             ensures that the contents of the files are
                                                      filing window to place less stress on the               we propose that these entities’ entire                orderly as required by our rules. Each
                                                      database. We seek comment on these                      public files be hosted online by the                  political file is first organized by year,
                                                      proposals to stagger or otherwise alter                 Commission and that entities be                       then by type. Beyond that, we
                                                      filing deadlines and any other                          responsible for uploading only items                  ‘‘populated’’ some additional subfolders
                                                      suggestions for ways in which the                       now required to be in the public file but             by creating folders for major races and
                                                      Commission could improve                                not otherwise filed with the                          jurisdictions. The Commission then
                                                      performance of its online public file                   Commission or available on the                        provided stations with the ability to
                                                      database.                                               Commission’s Web site. As with the                    create additional subfolders and
                                                         23. The Commission noted in the                      television online file, we propose that               subcategories for specific candidates, or
                                                      Second Report and Order that allowing                   the Commission itself upload to the                   other organizing structure, in
                                                      the use of private web hosting services                 online public file material that is                   compliance with their own practices.
                                                      in connection with the online file would                already on file with the Commission or                We intend to take the same approach in
                                                      allow for greater station efficiencies. As              that currently resides in a Commission                designing the online political file for
                                                      several commenters note, work to                        database.                                             cable, DBS, broadcast radio, and SDARS
                                                      establish an interface between the                         26. Political file. With respect to the            entities, and invite comment on this
                                                      online file database and web hosting                    political file, we also propose that cable            approach. We expect entities required to
                                                      services has not yet been finished. Once                operators, broadcast radio licensees,                 upload material to the online political
                                                      work on this interface is completed, we                 DBS operators, and SDARS entities not                 file to do so in an organized manner so
                                                      anticipate that this would enable an                    be required to upload their existing                  that candidates and members of public
                                                      entity to establish a link between its                  political files to the online file. Instead,          seeking information can easily navigate
                                                      own privately-maintained electronic file                as we required with television licensees,             it.
                                                      database at the system or station to                    we propose that these entities be                         28. Compliance dates. We intend to
                                                      enable automatic synchronization with                   permitted to maintain at the station                  give entities sufficient time to
                                                      the database hosted at the FCC. We                      those documents already in place in                   familiarize themselves with the online
                                                      recognize that web hosting services                     their political file at the time the new              public file before the effective date of
                                                      could assist many entities with their                   rules become effective, and only upload               any posting requirement. With respect
                                                      obligation to maintain the online public                documents to the online political files               to documents required to be placed in
                                                      file, particularly smaller entities, and                on a going-forward basis. Under this                  the file on a ‘‘going forward’’ basis,
                                                      continue to examine issues related to                   proposal, existing political file material            television stations were required to
                                                      implementation of such services. We                     must be retained in the local political               begin using the online public file upon
                                                      also intend to investigate adding the                   file at the station or cable system for the           the effective date of the Second Report
                                                      capability to permit entities to upload                 remainder of the two-year retention                   and Order, which was 30 days after the
                                                      documents to multiple online files using                period. Exempting existing political file             Commission announced in the Federal
                                                      a single upload.                                        material from the online file will                    Register that OMB had completed its
                                                         24. Television stations are not                      substantially reduce the burden of                    review under the Paperwork Reduction
                                                      required to upload material to the                      transitioning to the online public file               Act and had approved the information
                                                      online file that is already filed with the              while allowing online access to the                   collection. Should we follow the same
                                                      Commission or available on a                            political file material most likely to be             timeline for documents required to be
                                                      Commission database, and we propose                     of interest to the public. The retention              placed in the file on a ‘‘going forward’’
                                                      to take a similar approach with respect                 period for the political file for cable,              basis in this proceeding?
                                                      to cable, DBS, broadcast radio, and                     DBS, and radio is two years, similar to                   29. With respect to existing public file
                                                      SDARS entities. Broadcast radio                         the political file retention period for               materials, we also seek comment on the
                                                      licensees, like television broadcasters,                television stations. Consequently, as the             amount of time we should provide
                                                      file material electronically with the                   Commission noted in the Second Report                 entities to upload these documents to
                                                      Commission via CDBS (which is                           and Order, exempting the existing                     the online public file. Television
                                                      currently being migrated to LMS),                       political file will require entities to               stations were given six months from the
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                                                      which is already connected to the                       continue to maintain this file locally                effective date of the Second Report and
                                                      online public file. Filings and data                    only for a relatively short period.                   Order to complete the uploading
                                                      concerning cable systems, however, are                  Consistent with the requirement we                    process. Is this amount of time sufficient
                                                      currently maintained in the                             imposed on television broadcasters in                 for cable, DBS, and broadcast and
                                                      Commission’s Cable Operations and                       the Second Report and Order, we also                  satellite radio? Should we adopt a
                                                      Licensing System (‘‘COALS’’) database,                  propose that, following the effective                 staggered date by service (cable, DBS,
                                                      which does not currently interface with                 date of the new rules, cable, DBS,                    broadcast radio, and SDARS) or by some
                                                      the Commission’s online file database.                  broadcast radio, and SDARS entities be                other basis? Should any of these entities
                                                      The Commission intends to create a                      required to upload new records to their               be given more time to upload existing


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                                                      8038                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                      files? We note that we propose below to                 extent technically feasible. We seek                  page on the Commission’s Web site. We
                                                      temporarily exempt radio stations in                    comment on these proposals.                           seek comment on this proposal.
                                                      smaller markets from online public file                    32. Announcements and links.                          35. No major changes to public file
                                                      requirements, and seek comment on                       Consistent with the Commission’s                      obligations. Finally, with only minor
                                                      whether also to temporarily exempt                      approach in the Second Report and                     exceptions, we do not propose to
                                                      stations with few employees. We                         Order, we propose to require cable                    impose new public file obligations on
                                                      propose to permit these stations to                     operators, DBS providers, and broadcast               cable, DBS, or broadcast or satellite
                                                      commence uploading material to the                      and satellite radio licensees that have               radio entities in connection with this
                                                      online file early on a voluntary basis.                 Web sites to place a link to the online               transition to the online public file.
                                                      This would provide these radio stations                 public file on their home pages. We also              While we propose below a
                                                      with more time to upload existing                       propose that these entities that have                 reorganization of the existing cable
                                                      public file material and to budget for                  Web sites include on their home page                  public file rules for purposes of
                                                      any additional cost or staff resources                  contact information for a representative              clarification and seek comment on other
                                                      necessary to accomplish this task.                      who can assist any person with                        minor changes to those rules, our
                                                         30. Back-up files. In addition,                      disabilities with issues related to the               intention for purposes of the initial
                                                      consistent with the approach the                        content of the public file. We do not                 transition to a centralized, online file for
                                                      Commission took in the Second Report                    propose that cable and DBS operators or               cable operators, DBS providers, and
                                                      and Order, we propose that cable, DBS,                  broadcast or satellite radio stations be              broadcast and satellite radio licensees is
                                                      and broadcast and satellite radio entities              required to make on-air announcements                 to simply adapt our existing
                                                      not be required to maintain back-up                     regarding the change in location of their             requirements to the online file format.
                                                      copies of all public file materials.                    public file. As required of television                We seek comment generally on these
                                                      Instead, as we do for the television                    stations in the Second Report and                     proposals.
                                                      online file, the Commission itself will                 Order, however, we propose to require                    36. OVS. We note that Open Video
                                                      create a mirror copy of each public file                radio stations to revise their on-air pre-            System (‘‘OVS’’) operators have several
                                                      daily to ensure that, if the data in the                and post-filing renewal announcements                 public file obligations. Should OVS
                                                      online public file are compromised, the                 to reflect the availability of a station’s            operators be required to make this
                                                      file can be reconstituted using the back-               renewal application on the                            information available on the
                                                      up copy. If the Commission’s online file                Commission’s Web site, as reflected in                Commission’s online public file
                                                                                                              Appendix B. We invite comment on                      database, or is it sufficient that this
                                                      becomes temporarily inaccessible for
                                                                                                              these proposals.                                      information be made available by the
                                                      the uploading of new documents, we
                                                                                                                 33. Location of public inspection file             operator locally? How can we identify
                                                      will require entities to maintain those                 and designated contact information. As
                                                      documents and upload them to the file                                                                         those entities that do not have Physical
                                                                                                              the Commission required with respect
                                                      once it is available again for upload.                                                                        System IDs (‘‘PSIDs’’) or facility ID
                                                                                                              to television stations, we also propose
                                                      However, consistent with the approach                                                                         numbers?
                                                                                                              that cable and DBS operators and
                                                      taken with respect to television                        broadcast and satellite radio licensees               E. Requirements and Issues Unique to
                                                      broadcasters, we propose that cable,                    be required to provide information in                 Each Service
                                                      DBS, and all radio entities be required                 the online public file about the location
                                                      to maintain local back-up files for the                                                                         37. Certain issues related to the online
                                                                                                              of the local public file and the                      public file requirement are unique to
                                                      political file to ensure that they can                  individual who may be contacted for
                                                      comply with their statutory obligation to                                                                     each service. Accordingly, we address
                                                                                                              questions about the file. This                        each service separately below and also
                                                      make that information available to                      information would be provided when
                                                      candidates, the public, and others as                                                                         address whether and how to phase-in
                                                                                                              the operator or licensee first establishes
                                                      soon as possible. Stations will only be                                                                       certain requirements for each service.
                                                                                                              its online public file, but should be
                                                      required to make these backups                          updated if and when staffing or location              1. Cable Public Inspection File
                                                      available if and during such rare times                 changes occur. We believe this
                                                      as the Commission’s online public file                                                                        a. Current Rules
                                                                                                              information is necessary to inform the
                                                      is unavailable and the Commission has                   public of the location of the existing                   38. The FCC’s rules regarding records
                                                      tools available to entities that will                   political file (until its retention period            to be maintained by cable systems
                                                      minimize any burden caused by this                      expires in two years), which will be                  distinguish between records that must
                                                      requirement. We seek comment on this                    publicly available at the local public file           be retained for inspection by the public
                                                      approach.                                               location, as well as the correspondence               and those that must be made available
                                                         31. Format. The Commission                           folder retained by commercial                         to Commission representatives or local
                                                      determined in the Second Report and                     broadcasters. We seek comment on this                 franchisors only. The rules also impose
                                                      Order that it would not establish                       proposal.                                             different recordkeeping requirements
                                                      specific formatting requirements for                       34. EEO materials. In the Second                   based on the number of subscribers to
                                                      documents posted to the online file and                 Report and Order, we continued to                     the cable system. Operators of cable
                                                      we do not anticipate changes to that                    require that television stations make                 systems with fewer than 1,000
                                                      approach at this time. We propose to                    their EEO materials available on their                subscribers are exempt from many
                                                      require cable, DBS, and broadcast and                   Web sites, if they have one, and we                   public inspection file requirements,
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                                                      satellite radio entities to upload any                  propose to take the same approach in                  including the political file, sponsorship
                                                      electronic documents in their existing                  this proceeding with respect to cable                 identification, EEO records, and records
                                                      format to the extent feasible; we will                  operators, DBS providers, and broadcast               regarding children’s commercial
                                                      then display the documents in both the                  and satellite radio licensees. Similar to             programming. Operators of systems with
                                                      uploaded format and in a pdf version.                   television stations, we propose to permit             between 1,000 and 5,000 subscribers
                                                      To the extent that a required document                  these entities to fulfill this Web site               must provide certain information ‘‘upon
                                                      already exists in a searchable format, we               posting requirement by providing, on                  request’’ but must also ‘‘maintain for
                                                      propose to require these entities to                    their own Web site, a link to the EEO                 public inspection’’ a political file, while
                                                      upload the filing in that format to the                 materials on their online public file                 operators of systems having 5,000 or


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                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                           8039

                                                      more subscribers must ‘‘maintain for                    in their public inspection files, most                this information must be made available
                                                      public inspection’’ a political file and                documents in the cable online file will               only to the Commission and, in the case
                                                      records regarding, among other things,                  be required to be uploaded by cable                   of proof-of-performance test data, also to
                                                      sponsorship identification, EEO, and                    operators themselves.                                 the franchisor, and not to the public.
                                                      children’s programming commercials.                        42. Certain information that must be               Accordingly, this information would not
                                                      The rules state that the public                         included in cable operators’ public files             be required to be included in the online
                                                      inspection file must be maintained ‘‘at                 is collected through FCC Form 325                     public inspection file, thereby reducing
                                                      the office which the system operator                    (Annual Cable Operator Report), which                 the amount of material cable operators
                                                      maintains for the ordinary collection of                is filed annually by cable systems with               would be required to upload to the file.
                                                      subscriber charges, resolution of                       20,000 or more subscribers. For                          45. We propose that cable systems be
                                                      subscriber complaints, and other                        example, operators must maintain at the               required to upload other material
                                                      business or at any accessible place in                  ‘‘local office’’ a ‘‘current’’ listing of the         currently required to be maintained for
                                                      the community served by the system                      cable television channels delivered to                public inspection or made available to
                                                      unit(s).’’                                              subscribers and must ‘‘maintain for                   the public ‘‘upon request.’’ For cable
                                                         39. Cable system political file                      public inspection’’ a list of all broadcast           systems with 1,000 or more subscribers,
                                                      requirements are similar to those for                   television stations carried in fulfillment            this material would include new
                                                      television stations. The political file                 of the must-carry requirements. Some of               political file material, sponsorship
                                                      must contain a ‘‘complete and orderly                   this information is also collected on                 identification information, commercial
                                                      record . . . of all requests for cablecast              FCC Form 325. Cable operators required                records on children’s programs, certain
                                                      time made by or on behalf of a                          to file the form are required to identify             EEO materials, leased access policy
                                                      candidate for public office’’ including                 on the form whether a broadcast station               information, records concerning
                                                      the disposition of such requests. The file              is carried pursuant to must-carry                     operator interests in video
                                                      must also show the ‘‘schedule of time                   obligations, but the form does not                    programming, and copies of requests for
                                                      purchased, when spots actually aired,                   request all of the specific information               waiver of the prohibition on scrambling/
                                                      the rates charged, and the classes of                   about the system’s must-carry channels                encryption. While cable systems with
                                                      time purchased.’’ With respect to issue                 that is required to be placed in the                  1,000 or more subscribers but fewer
                                                      advertisements, the file must disclose                  public file pursuant to 47 CFR 76.1709.               than 5,000 subscribers are currently
                                                      the name of the purchasing organization                 We invite comment on whether the                      required to provide certain materials to
                                                      and a list of the board of directors.                   Commission should make FCC Form                       the public only ‘‘upon request,’’ we
                                                      These records must be filed                             325 available in the online file for those            believe these systems should be
                                                      ‘‘immediately absent unusual                            systems required to file this form                    required to place these materials in the
                                                      circumstances,’’ and must be retained                   annually. We also invite comment on                   online file as this will facilitate public
                                                      for at least two years.                                 any other ways we can import to the                   access to these materials. We believe
                                                                                                              online file information cable operators               this requirement will be no more
                                                      b. Proposed Online Public File                          would otherwise be required to upload                 burdensome than placing the materials
                                                      Requirements                                            to the file themselves in order to reduce             in a physical file and should be less
                                                      (i) Content Required To Be Maintained                   the burden on operators of uploading                  burdensome over time. We invite
                                                      in the Online File                                      information to the online file.                       comment on this approach.
                                                                                                                 43. NCTA requests that the                            46. We also propose to exempt cable
                                                         40. As discussed above, consistent                   Commission review the ongoing need                    systems with fewer than 1,000
                                                      with the rules we adopted for television                for channel lineups to be placed in the               subscribers from all online public file
                                                      broadcasters, we propose to require that                public inspection file as this                        requirements, either permanently or at
                                                      cable operators upload to the online                    information is provided to consumers in               least initially. As discussed above, these
                                                      public file all documents and                           paper format and, according to NCTA, is               systems have far fewer public file
                                                      information that are required to be in                  available on operators’ Web sites. We                 requirements than larger systems and
                                                      the public file but which are not also                  seek comment on this request. If most                 are not required to maintain a political
                                                      filed in COALS or maintained by the                     operators maintain this information                   file. Alternatively, we could exempt
                                                      Commission on its own Web site. The                     electronically, we believe it would not               systems with fewer than 1,000
                                                      Commission proposes to import these                     be burdensome to require operators to                 subscribers that maintain public file
                                                      latter documents or information into the                upload this information to the online                 information on their own Web sites. We
                                                      online public file itself.                              public file. We seek comment on this                  seek comment on these possible
                                                         41. We note that the only document                   view. If we were to require all cable                 approaches and any other suggestions
                                                      that cable operators file with the                      systems to upload channel lineups to                  for ways we should provide regulatory
                                                      Commission that must also be retained                   the online file, should we require this               relief to very small cable systems.
                                                      in their public inspection files is the                 information to be uploaded or updated                    47. Political file. As discussed above,
                                                      EEO program annual report, which we                     annually or on some other schedule? To                consistent with the approach we
                                                      propose that the Commission upload to                   the extent an operator maintains the                  adopted for television broadcasters, we
                                                      the online file. Cable operators are not                required information on a channel                     propose that cable operators not be
                                                      required to maintain in their public                    lineup its own Web site, we also seek                 required to upload their existing
                                                      inspection files documents similar to                   comment on whether the operator                       political files to the online file; rather,
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                                                      The Public and Broadcasting manual,                     should be permitted to provide a link                 we propose that they be permitted to
                                                      which television and radio broadcasters                 directly to this channel lineup in lieu of            maintain existing material in their
                                                      must retain in their public files and                   uploading this information to the public              physical political file and only upload
                                                      which the Commission makes available                    file.                                                 documents to the online political file on
                                                      to the online file for television stations                 44. As discussed below, we propose                 a going-forward basis. We believe this
                                                      and will make available to the online                   to clarify our rules regarding proof-of-              approach will minimize the burden of
                                                      file for radio stations. Accordingly, as                performance test data and signal leakage              transitioning to the online file for cable
                                                      the Commission maintains very few                       logs and repair data. Specifically, we                operators, while providing convenient
                                                      documents cable operators must retain                   propose to make it clear in our rules that            access to the information most likely to


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                                                      8040                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                      be of interest to the public, and invite                systems’ political files are included in              systems in the cable online file? Are
                                                      comment on this proposal. We note that                  the online file, and which are exempt,                there other ways in which systems can
                                                      Time Warner Cable, which is not                         either temporarily or permanently?                    be identified to consumers so that they
                                                      currently required to maintain its public                  49. While we are proposing to delay                can quickly find the information they
                                                      file online, already posts its political                the transition to the online political file           are seeking?
                                                      files online to save costs and expedite                 for small cable systems, we propose to
                                                                                                              allow these systems to commence                       (ii) Clarification and Streamlining of
                                                      access to this material. We invite                                                                            Current Recordkeeping Requirements
                                                      comment on whether there are any                        uploading documents to the online
                                                      aspects of our current cable political file             political file on a voluntary basis at the               52. NCTA argues that we should
                                                      requirements that are unclear and that                  same time that online political file                  streamline cable public file
                                                      should be clarified in connection with                  requirements become effective for larger              requirements to avoid requiring cable
                                                      our proposal to transition to an online                 cable systems. In addition, if we were to             operators to incur the cost of posting
                                                      political file.                                         decide to exempt systems with fewer                   unnecessary material. While we decline
                                                                                                              than 1,000 subscribers from all online                to undertake a comprehensive review of
                                                         48. To smooth the transition for both
                                                                                                              public file obligations, we propose to                cable public inspection file
                                                      cable operators and the Commission and
                                                                                                              allow these systems to participate in the             requirements in this proceeding, we
                                                      to allow smaller cable systems
                                                                                                              online file database on a voluntary                   seek comment on several issues raised
                                                      additional time to begin posting their
                                                                                                              basis. Regardless of whether we                       by NCTA and propose to clarify certain
                                                      political files online, we propose to                                                                         requirements. First, NCTA asks that we
                                                                                                              determine to delay or exempt small
                                                      phase-in the requirement to commence                                                                          eliminate the requirement that proof-of-
                                                                                                              systems from online filing requirements,
                                                      uploading political file documents to                                                                         performance and signal leakage
                                                                                                              we believe it is appropriate to permit
                                                      the online file for smaller cable systems.                                                                    information be retained in the public
                                                                                                              any system that desires to participate in
                                                      We invite comment on ways in which                                                                            inspection file. We note that the current
                                                                                                              the online database to do so voluntarily.
                                                      this phase-in period should be                                                                                recordkeeping rules regarding this
                                                                                                              We invite comment on this proposal.
                                                      structured. One approach would be to                       50. Geographic information. We                     information are unclear. While 47 CFR
                                                      start by requiring cable systems with                   propose to require cable operators,                   76.1700(a), which sets out
                                                      5,000 or more subscribers to post new                   when first establishing their online                  recordkeeping requirements, includes
                                                      political file materials online, while                  public file, to provide a list of the                 ‘‘proof-of-performance test data’’ and
                                                      exempting systems with fewer than                       geographic areas served by the system.                ‘‘signal leakage logs and repair records’’
                                                      5,000 subscribers for some period of                    The Commission currently lacks precise                in the list of items either to be made
                                                      time. As cable systems with fewer than                  information about the geographic areas                available ‘‘upon request’’ (for systems
                                                      1,000 subscribers are exempt from all                   served by cable systems and we believe                with 1,000 or more but fewer than 5,000
                                                      political file requirements, this                       that making this information available                subscribers) or to be maintained in the
                                                      temporary exemption would apply to                      in the online public file will make the               public inspection file (for systems with
                                                      systems with 1,000 or more subscribers                  information in the file, and especially               5,000 or more subscribers), the rule
                                                      but fewer than 5,000 subscribers. As                    the political file, more useful to                    sections specifically addressing these
                                                      discussed above, the rules currently                    subscribers, advertisers, candidates, and             requirements require only that this
                                                      exempt systems with fewer than 5,000                    others. We propose to require cable                   information be maintained for
                                                      subscribers from some recordkeeping                     systems to provide information                        inspection by the Commission and local
                                                      requirements, and we invite comment                     regarding the ZIP Codes served by the                 franchisor. We agree with NCTA that
                                                      on whether this 5,000 subscriber cutoff                 system and the Designated Market Area                 this information is unlikely to be of
                                                      should also be used to provide                          (‘‘DMA’’) or areas it serves, and we seek             interest to the general public and does
                                                      regulatory relief in this context. Another              comment on this proposal. We also seek                not need to be made available online.
                                                      approach would be to define ‘‘small                     comment on alternative proposals for                  Accordingly, we propose to clarify that
                                                      cable system’’ for purposes of the                      collecting geographic information, such               this information must be maintained
                                                      exemption as a system with fewer than                   as Census Block or Census Tract                       and made available to the Commission
                                                      15,000 subscribers that is not affiliated               information. We note that operators                   and franchisor upon request, but does
                                                      with a larger operator serving more than                would have to provide this information                not need to be maintained in the
                                                      10 percent of all MVPD subscribers. The                 when they first establish their public                system’s public inspection file or
                                                      Commission used this definition for                     files on the Commission’s database, and               uploaded to the online file. We seek
                                                      purposes of determining eligibility for a               update it only to reflect changes.                    comment on this proposal.
                                                      streamlined financial hardship waiver                   Therefore, we do not believe this                        53. Second, NCTA requests that the
                                                      in the CALM Act Report and Order. The                   requirement would be burdensome.                      Commission evaluate whether it should
                                                      Commission explained in that Order                         51. We also invite comment on any                  exclude headend location information
                                                      that it believed that the streamlined                   ways to facilitate access to the online               from any online public inspection file as
                                                      waiver ‘‘should be available only to                    database by consumers. Cable operators                it is of no interest to the general public
                                                      those systems that are most likely to                   are currently required to maintain their              and revealing this information in a
                                                      face financial hardships in complying                   public files on a per-system basis and                centralized database available to
                                                      with’’ the Commission’s CALM Act                        we tentatively conclude that the same                 Internet users ‘‘raises potentially serious
                                                      requirements. We invite comment on                      should apply to the online database.                  security risks.’’ We propose to exclude
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                                                      the appropriate definition of ‘‘small                   However, as NCTA notes, cable public                  headend location information from the
                                                      cable system’’ for purposes of the                      files cannot be organized by call sign                online public file and seek comment on
                                                      political file exemption and on the                     and the analogous unit, a physical                    this proposal.
                                                      appropriate period of time we should                    system identifier, is not readily known                  54. Third, NCTA requests that the
                                                      exempt small systems from the                           by consumers. If we require cable                     Commission consider eliminating the
                                                      requirement to commence posting                         operators to provide information on the               current requirement that cable operators
                                                      political file material online. Should                  geographic area served by the system,                 post certain EEO materials on the
                                                      there be a means of providing the public                should we use that geographic                         system’s own Web site, if it has one, as
                                                      with information regarding which                        information to help identify cable                    these materials would be available on


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                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                           8041

                                                      the Commission’s online public file. As                 regarding compliance with the carriage                about how to access the contents of the
                                                      discussed above, in the Second Report                   obligation for noncommercial                          DBS providers’ political files. DBS
                                                      and Order, we continued to require that                 programming (the ‘‘noncommercial set-                 providers may require individuals
                                                      television stations make certain EEO                    aside’’); information regarding                       requesting documents to pay for
                                                      materials available on their Web sites, if              compliance with the commercial limits                 photocopying if the requester prefers
                                                      they have one, and we propose to take                   in children’s programming; certain EEO                delivery by mail, but the DBS provider
                                                      the same approach in this proceeding                    materials; and a political file. With                 must pay for postage. DBS providers are
                                                      with respect to cable operators, DBS                    respect to the noncommercial set-aside,               encouraged to put their political files on
                                                      providers, and broadcast and satellite                  the rules require that DBS providers                  their respective Web sites but must
                                                      radio licensees. Consistent with the                    ‘‘keep and permit public inspection of a              provide alternatives for individuals who
                                                      rules for television stations, however,                 complete and orderly record of,’’ among               do not have Internet access. In view of
                                                      we propose to permit these entities to                  other things, measurements of channel                 these requirements and expectations, we
                                                      fulfill this Web site posting requirement               capacity, a record of entities to whom                do not find it necessary to require that
                                                      by providing, on their own Web site, a                  noncommercial capacity is being                       a provider maintain a public file in
                                                      link to the EEO materials on their online               provided, the rates paid by the entity to             every community that receives its
                                                      public file page on the Commission’s                    whom capacity is provided, and a                      signal. We do, however, require, that
                                                      Web site.                                               record of entities requesting capacity                DBS providers prominently disclose the
                                                                                                              and the disposition of those requests.                toll-free telephone number and email
                                                      (iii) Reorganization of the Cable Public                                                                      address of the department responsible
                                                                                                              With respect to compliance with the
                                                      Inspection File Rules                                                                                         for responding to requests for access to
                                                                                                              children’s programming commercial
                                                         55. We believe that a limited                        limits, DBS providers airing children’s               the political file. In addition, because
                                                      reorganization and clarification of the                 programming must maintain records                     DBS experience with the political
                                                      public inspection file rules would make                 sufficient to verify compliance with the              broadcasting rules is relatively new, and
                                                      them easier to locate and understand.                   rules and ‘‘make such records available               to facilitate a future Staff Report, we
                                                      The public inspection file rules for                    to the public.’’ With respect to EEO                  will require that DBS providers
                                                      broadcasters are contained in two rule                  materials, DBS operators are required to              maintain all requests for time from
                                                      sections that identify all public                       maintain in their public file EEO reports             candidates or individuals on behalf of
                                                      inspection file requirements for                        and certain EEO program information.                  candidates, including general requests
                                                      commercial and noncommercial                                                                                  for availabilities and rate information. In
                                                                                                                 57. DBS providers are also required to
                                                      educational broadcasters, with                                                                                addition, and for the same reasons, DBS
                                                                                                              ‘‘keep and permit public inspection of a
                                                      references to other rule sections as                                                                          providers will be required to retain
                                                                                                              complete and orderly political file’’ and
                                                      appropriate. In contrast, the cable                                                                           information in their political files for
                                                                                                              to ‘‘prominently disclose the physical
                                                      recordkeeping requirements are spread                                                                         four years, until 2006, and thereafter for
                                                                                                              location of the file and the telephonic
                                                      over several rule sections in part 76,                                                                        two years, as is required of cable
                                                                                                              and electronic means to access’’ it. The
                                                      subpart U (Documents to be Maintained                                                                         operators and terrestrial broadcast
                                                                                                              file must include, among other things,                stations.
                                                      for Inspection), with some requirements                 records of ‘‘all requests for DBS
                                                      contained in a separate rule subpart.                   origination time’’ and the schedule of                b. Proposed Online Public File
                                                      While 47 CFR 76.1700 of the rules                       time purchased, when spots actually                   Requirements
                                                      includes references to many of these                    aired, the rates charged, and the classes                58. We propose to treat DBS providers
                                                      recordkeeping requirements it does not                  of time purchased for each request.                   in the same manner as television, cable,
                                                      cite them all. Revising our rules to                    These records must be placed in the file              and broadcast and satellite radio entities
                                                      identify all cable recordkeeping                        ‘‘as soon as possible’’ and must be                   by requiring them to upload to the
                                                      requirements in a single rule section,                  retained for at least two years. Unlike               online file only material that is not
                                                      with references to other sections as                    broadcasters and cable systems, DBS                   already on file at the Commission.
                                                      appropriate, would make these                           providers must ‘‘make available via fax,              Similar to cable operators, the only
                                                      requirements easier to locate and                       email, or by mail upon telephone                      document that DBS providers file with
                                                      facilitate compliance. Moreover, as                     request, photocopies of documents in                  the Commission that must also be
                                                      confirmed by our discussion above                       their political files and shall assist                retained in their public inspection files
                                                      regarding maintenance of proof-of-                      callers by answering questions about the              is the EEO program annual report,
                                                      performance and signal leakage                          contents of their political files.’’ In 2004,         which we propose that the Commission
                                                      information, some of the current rules                  the Commission explained that it was                  upload to the online file. Like cable
                                                      are confusing and inconsistent. We                      requiring DBS providers to abide by                   operators, the other information DBS
                                                      propose to revise 47 CFR 76.1700 to                     political file obligations similar to those           providers are required to maintain in
                                                      include references to all public                        requirements placed on terrestrial                    their public inspection files is not
                                                      inspection file requirements and to                     broadcasters and cable systems. Because               currently filed with or maintained by
                                                      more clearly address which records                      DBS is a national service and each                    the Commission. Accordingly, most
                                                      must be maintained in the file versus                   provider’s headquarters is not                        material required to be kept in the
                                                      those that must be made available to the                necessarily readily accessible to most of             online file would have to be uploaded
                                                      Commission or franchising authority.                    its viewers and to candidates, we                     by DBS providers themselves, which
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                                                      We invite comment on these proposed                     require DBS providers to make their                   includes channel capacity
                                                      revisions, which are set out in                         political files available upon telephone              measurements and other records related
                                                      Appendix B.                                             or electronic request. They may provide               to the use of and requests for
                                                      2. DBS Public Inspection File                           access to the file by fax, email, via                 noncommercial capacity, records related
                                                                                                              Internet Web site access, or, if so                   to compliance with children’s
                                                      a. Current Rules                                        requested, by mailing photocopies of the              commercial limits, certain EEO
                                                        56. DBS providers are required to                     documents in their political files. We                materials, and political file material.
                                                      maintain a public file containing four                  expect that DBS providers will assist                    59. We do not believe that requiring
                                                      categories of information: Information                  callers by promptly answering questions               DBS providers to upload this material to


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                                                      8042                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                      the online file would be onerous. As                    to those for television broadcasters.                 Inquiry and other investigative requests
                                                      compared to television and radio                        Every permittee or licensee of an AM or               from the Commission, unless otherwise
                                                      broadcasters and cable operators, DBS                   FM station in the commercial or                       directed by the inquiry itself.
                                                      providers have the fewest number of                     noncommercial educational broadcast                      64. While all stations will have
                                                      public file requirements. In addition,                  service must maintain a public                        issues/programs lists and materials
                                                      there are currently only two U.S. DBS                   inspection file containing, among other               related to local public notice
                                                      operators, each of which has sufficient                 things, FCC authorizations,                           announcements, few will have time
                                                      financial resources to comply with any                  applications, contour maps, ownership                 brokerage agreements and very few will
                                                      online file requirements we ultimately                  reports, EEO materials, issues/programs               have citizen agreements or materials
                                                      adopt in this proceeding. We agree with                 lists, and time brokerage (also known as              related to an FCC investigation or
                                                      Petitioners that the transition to an                   ‘‘local marketing’’) and joint sales                  complaint. While many stations will
                                                      online file is particularly important for               agreements. The file must be maintained               have political file material, in general
                                                      DBS because of that service’s                           at the station’s main studio.                         we expect that these files will be smaller
                                                      nationwide reach. Each DBS provider is                     62. Radio stations must maintain a                 for radio stations than for television
                                                      required to maintain only one public                    political file as part of the public                  stations as fewer political
                                                      and political file for the entire U.S. at its           inspection file. The political file must              advertisements air on radio. In addition,
                                                      headquarters, making in-person access                   contain a ‘‘complete and orderly record’’             radio stations with fewer than five full-
                                                      very difficult. While staff members must                of requests for broadcast time made by                time employees are exempt from many
                                                      copy and mail public and political file                 or on behalf of a candidate for public                of the EEO recordkeeping requirements.
                                                      documents upon request under the                        office.’’ The file must also show the                 We seek comment on these issues.
                                                      current rules, making this material                     ‘‘schedule of time purchased, when                       65. Political file. As discussed above,
                                                      available online would considerably                     spots actually aired, the rates charged,              consistent with the approach we
                                                      improve public access. Moreover, we                     and the classes of time purchased.’’                  adopted for television broadcasters and
                                                      believe that, for DBS providers,                        With respect to issue advertisements,                 that we propose herein for cable
                                                      maintaining an online file hosted by the                stations must disclose the name of the                operators, we propose that broadcast
                                                      Commission will prove to be more                        purchasing organization and a list of the             radio licensees not be required to
                                                      efficient and less expensive over time                  board of directors. These records must                upload their existing political files to
                                                      than maintaining a local file,                          be filed ‘‘as soon as possible, meaning               the online file, but rather that they be
                                                      particularly in light of the extra steps                immediately, absent unusual                           permitted to maintain existing material
                                                      DBS providers are required to take to                   circumstances,’’ and must be retained                 in their local political file and only
                                                      assist callers requesting materials from                for at least two years.                               upload documents to the online
                                                                                                                                                                    political file on a going-forward basis.
                                                      the file.                                               b. Proposed Online Public File
                                                         60. We tentatively conclude,                                                                               We believe this approach will minimize
                                                                                                              Requirements                                          the burden of transitioning to the online
                                                      consistent with our approach for
                                                      television stations and our proposal                    (i) Content Required To Be Maintained                 file for radio licensees. We seek
                                                      herein for cable systems and broadcast                  in the Online File                                    comment on this approach.
                                                                                                                                                                       66. Delay in implementation for small
                                                      radio licensees, that DBS providers                        63. As discussed above, consistent                 market stations. We propose to
                                                      should not be required to upload their                  with the rules we adopted for television              implement the online public file for
                                                      existing political files to the online file             broadcasters we propose to require that               broadcast radio stations by imposing
                                                      but rather should be permitted to                       radio broadcast licensees upload to the               requirements, at first, only on stations
                                                      maintain existing material in their                     online public file all documents and                  with more resources. We propose to
                                                      physical political file and only upload                 information that are required to be in                delay all mandatory online filing for
                                                      documents to the online political file on               the public file but that are not also filed           other radio stations for some period of
                                                      a going-forward basis. If we require DBS                in CDBS (or LMS) or otherwise                         time. As discussed above, several
                                                      providers to upload their political files,              maintained by the Commission on its                   commenters express concern about
                                                      we propose to eliminate the requirement                 own Web site. Under this proposal,                    whether radio stations have sufficient
                                                      that they mail photocopies of                           radio stations would be required to                   resources to implement and maintain an
                                                      documents in that file to individuals                   upload citizen agreements, certain EEO                online public file, particularly small
                                                      requesting copies, as these materials                   materials, issues/programs lists, local               stations with limited financial resources
                                                      would be available online Additionally,                 public notice announcements, time                     and small staffs. Some commenters
                                                      to the extent that political file materials             brokerage agreements, joint sales                     argue that we should postpone any
                                                      relate to ads shown on a local or hyper-                agreements, materials related to FCC                  consideration of moving to an online
                                                      local basis, we seek comment on how                     investigations or complaints (other than              file for broadcast radio or, if we do
                                                      DBS providers can indicate in their                     investigative information requests from               adopt online file obligations for that
                                                      public files the area in which such ads                 the Commission), and any new political                medium in this proceeding, that we
                                                      were or will be shown. We also invite                   file material. We propose that any                    exempt smaller stations and/or NCE
                                                      comment on whether there are any                        document or information required to be                stations. Those advocating an
                                                      aspects of our current DBS political file               in the public file that is electronically             exemption for NCE stations argue that
                                                      requirements that are unclear and that                  filed with CDBS (or LMS) will be                      many of these stations have very small
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                                                      should be clarified in connection with                  imported to the online file by the                    staffs and limited resources and that
                                                      our proposal to transition to an online                 Commission. For radio broadcasters,                   compliance with an online requirement
                                                      political file.                                         under this proposal the documents the                 would create a severe financial and
                                                      3. Broadcast Radio Public Inspection                    Commission would upload to the online                 staffing hardship. Ampers and NFCB
                                                      File                                                    file include authorizations, applications             also note that NCEs are prohibited from
                                                                                                              and related materials, contour maps,                  accepting funds from political
                                                      a. Current Rules                                        ownership reports and related materials,              candidates and organizations advocating
                                                         61. The public inspection file rules for             EEO Reports, The Public and                           on behalf of a candidate or political
                                                      radio broadcasters are generally similar                Broadcasting manual, and Letters of                   issue, making online access to the


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                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                           8043

                                                      political file less important for these                 online file, we believe it makes sense to             delaying implementation of online file
                                                      stations. Other commenters argue that,                  proceed in stages to include radio                    requirements for these stations.
                                                      in order to minimize the risk of online                 stations in the Commission’s online                      70. While we are proposing to delay
                                                      public file requirements becoming the                   database.                                             the transition to the online public file
                                                      ‘‘proverbial straw that breaks the                         69. We seek comment generally on                   for certain radio stations, we also
                                                      camel’s back’’ for already struggling                   this approach. Is it appropriate to                   propose to allow these stations to
                                                      small radio stations, the Commission                    temporarily exempt a certain category of              commence uploading all or part of their
                                                      should not require small stations to                    radio stations from all online public file            public file documents to the online file
                                                      upload the contents of their existing                   requirements or should we instead                     on a voluntary basis before the delayed
                                                      public files, or at least should provide                temporarily exempt some stations from                 effective date of any online file
                                                      stations with an extended period of time                only the online political file? How                   requirement for these stations. As
                                                      during which they could incrementally                   should we define the category of                      discussed above, public television
                                                      add those materials to the online file.                 stations that should be eligible for a                licensees in the television online file
                                                         67. Another issue raised by radio                    temporary exemption? We note that, in                 proceeding requested that we allow NCE
                                                      commenters is the lack of computer or                   the television online file proceeding, we             radio stations, or at least those licensed
                                                      Internet access at some small, rural                    implemented the online political file                 to the same entity as, or under common
                                                      stations. According to NAB, some radio                  first with television stations in the top             control with, an NCE television station,
                                                      stations in remote locations, including                 50 DMAs that were also affiliated with                to maintain their public inspection files
                                                      Alaska, Maine, and areas of the                                                                               online on the Commission’s Web site on
                                                                                                              the top four networks. With respect to
                                                      Southwest, do not have access to                                                                              a voluntary basis. Public television
                                                                                                              radio, however, network affiliation is
                                                      reliable Internet service or even are                                                                         licensees argued that this would allow
                                                                                                              not a useful way to identify stations
                                                      without Internet access altogether. Other                                                                     radio stations that were jointly owned or
                                                                                                              with more resources. Accordingly, we
                                                      stations have no in-house computing                                                                           operated with television stations to
                                                                                                              propose to begin implementation of
                                                      resources or broadband capacity.                                                                              avoid duplicative efforts from having to
                                                                                                              online public file requirements for radio
                                                      According to Native Public Media,                                                                             maintain two separate public file
                                                                                                              with commercial stations in markets 1
                                                      many Native-owned NCE radio stations                                                                          systems, involving some of the same
                                                                                                              through 50, as defined by Nielsen Audio
                                                      operate on Tribal lands where                                                                                 documents. If we decide to delay
                                                                                                              (formerly Arbitron), that have five or
                                                      broadband penetration rates are between                                                                       implementation of online file
                                                                                                              more full-time employees. We propose                  requirements for all or some NCEs in
                                                      five and 10 percent. Moreover,
                                                      according to these commenters, in                       that these stations commence                          this proceeding, we believe it is
                                                      communities where broadband is                          compliance with online public file                    appropriate to allow them and any other
                                                      theoretically available actual access is                requirements at the same time as cable,               smaller radio station to voluntarily
                                                      often severely hampered by high                         DBS, and SDARS entities. With respect                 transition to the Commission’s online
                                                      latency, slow dial-up speeds, and                       to all other radio stations, we propose to            file early. We seek comment on this
                                                      unreliable coverage. Native Public                      delay all online public file requirements             proposal.
                                                      Media argues that it would be difficult,                for two years. This two-year delay is the                71. We believe our proposal addresses
                                                      if not impossible, to require stations                  same length of time we delayed, in the                many of the concerns raised regarding
                                                      facing these circumstances to upload                    television online file proceeding, the                radio stations that may have fewer
                                                      large files to the Commission’s online                  implementation of political file                      resources and, therefore, might find
                                                      database. In addition, these commenters                 obligations for television stations in                transitioning to the online file more
                                                      argue that the cost of maintaining an                   smaller markets and those unaffiliated                burdensome. These stations would not
                                                      online file would significantly outweigh                with the top four networks. We propose                be required to commence uploading
                                                      the benefits in communities where                       to initially exempt NCE radio stations as             documents to the Commission’s
                                                      listeners have limited Internet access.                 well as those with fewer than five full-              database until stations with more
                                                         68. We recognize that some radio                     time employees from the online public                 resources have completed part or all of
                                                      stations may face financial or other                    file to help ensure that we commence                  their transition to the online file. This
                                                      obstacles that could make the transition                online file requirements for radio with               delayed transition will assist small
                                                      to an online public file more difficult.                stations with greater resources. With                 stations to budget for any initial costs to
                                                      Accordingly, we believe that it is                      respect to radio stations with fewer than             upload documents to the file and any
                                                      reasonable to commence the transition                   five full-time employees, as noted above              extra staff time required for this effort.
                                                      to an online public file for radio with                 our rules exempt these stations from                  In the meantime, stations may
                                                      stations with more resources while                      many EEO requirements. One advantage                  commence uploading documents to the
                                                      delaying, for some period of time, all                  of tying an exemption for small radio                 online database early on a voluntary
                                                      mandatory online public file                            stations to this EEO exemption is that                basis. We invite comment on this
                                                      requirements for other stations. We                     information regarding the stations that               approach and on ways we can help
                                                      propose that other stations be permitted                are exempt from EEO requirements is                   ensure that permitting stations to
                                                      to voluntarily transition to the online                 readily available to the public, as this              commence uploading documents early
                                                      file early, but not be required to                      information is filed with the FCC and is              on a voluntary basis is not confusing to
                                                      participate until we have gained some                   available via the FCC’s Web site. We                  members of the public trying to locate
                                                      experience with the inclusion of                        seek comment on this and any other                    and access public file material.
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                                                      stations with greater resources. Adding                 possible approach to structuring the
                                                      radio stations to the online file                       temporary delay in online file                        (ii) Contour Map and Main Studio
                                                      incrementally over time will give us                    requirements for certain radio stations.              Information
                                                      more time to address any technical                      We also seek comment on whether we                       72. Radio stations are currently
                                                      issues that may arise in connection with                should permanently exclude certain                    required to include in their public
                                                      our online file database as the volume                  radio stations, such as NCEs and                      inspection files ‘‘any service contour
                                                      of users increases. Given the large                     stations with fewer than five full-time               maps submitted with any application’’
                                                      number of radio stations and the volume                 employees, from all online public file                together with ‘‘any other information in
                                                      of material they will be uploading to the               requirements, rather than simply                      the application showing service


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                                                      8044                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                      contours and/or main studio and                         inspection file rules, this file should               file requirements for the noncommercial
                                                      transmitter location.’’ We propose to                   include all letters and emails from the               set-aside for DBS providers.
                                                      have the Commission create contour                      public regarding operation of the station
                                                      maps for the online file based upon                     unless the letter writer has requested                b. Proposed Online Public File
                                                      existing data. Given the complexities of                that the letter not be made public or the             Requirements
                                                      AM contour mapping, we may not be                       licensee feels that it should be excluded                77. We propose to treat satellite radio
                                                      able to use the same tools that we used                 due to the nature of its content. Finally,            licensees in the same manner as
                                                      to map TV contours and that we                          the Commission determined that it
                                                                                                                                                                    television, cable, DBS, and broadcast
                                                      anticipate using to map FM contours.                    would not require stations to retain
                                                      We seek comment on ways to address                                                                            radio entities by requiring them to
                                                                                                              social media messages in their
                                                      this issue. Should AM stations be                                                                             upload to the online file only material
                                                                                                              correspondence file. We propose to take
                                                      required to upload contour maps to the                  the same approach with respect to                     that is not already on file at the
                                                      online file?                                            broadcast radio stations and the letters              Commission. We seek comment on this
                                                         73. We also propose to require                       and emails they receive from the public,              proposal. Similar to cable operators and
                                                      stations to provide information to the                  and seek comment on this proposal.                    DBS providers, the only document that
                                                      online file regarding the location of the                                                                     SDARS entities file with the
                                                      station’s main studio. The Commission’s                 (iv) Donor Lists                                      Commission that must be retained in the
                                                      rules do not currently require the                         75. NCE stations are required to retain            public inspection file is the EEO
                                                      reporting of this information and it is                 in the public inspection file lists of                program annual report, which we
                                                      not included on contour maps. We                        donors supporting specific programs.                  propose that the Commission upload to
                                                      believe that information regarding the                  Native Public Media asks that, for the                the online file. We do not believe that
                                                      location of the main studio would help                  same reason the Commission excluded                   requiring SDARS licensees to upload to
                                                      members of the public to engage in an                   letters and emails from the public from               the online file other material required to
                                                      active dialogue with radio licensees                    the television online file requirement,               be maintained in the public file would
                                                      regarding their service, which is one of                donor lists also be excluded from any                 be burdensome as the number of public
                                                      the goals of this proceeding. In addition,              NCE online file requirements to ensure                file requirements for this service is
                                                      we believe this information is necessary                the privacy of donors. In the Second                  fewer than for other services and
                                                      to inform the public of the location of                 Report and Order we required NCE
                                                      the correspondence file and existing                                                                          entities discussed in this item and
                                                                                                              television broadcasters to include donor              because the current, sole U.S. SDARS
                                                      political file (until its retention period              lists in their online public files, and we
                                                      expires in two years), both of which will                                                                     licensee has ample financial resources
                                                                                                              propose to take the same approach with                to comply with any online file
                                                      be publicly available at the station.                   respect to radio. We seek comment on
                                                      Therefore, consistent with the approach                                                                       requirement we ultimately adopt in this
                                                                                                              this issue. Is there a reason to treat NCE
                                                      we took in the television station online                                                                      proceeding. We also believe that, similar
                                                                                                              radio station donor lists differently from
                                                      file proceeding, we propose to require                  NCE television station donor lists?                   to DBS, the transition to an online file
                                                      stations to include in the online public                                                                      is particularly important for satellite
                                                      file the station’s main studio address                  4. Satellite Radio Public Inspection File             radio because of that service’s
                                                      and telephone number, and the email                     a. Current Requirements                               nationwide reach and the fact that the
                                                      address of the station’s designated                                                                           current licensee maintains only one
                                                      contact for questions about the public                     76. Licensees in the satellite radio
                                                                                                                                                                    public and political file for the entire
                                                      file. In addition, we propose that                      service are required to maintain a public
                                                                                                                                                                    U.S., making in-person access very
                                                      stations with a main studio located                     file with two categories of material.
                                                                                                              First, as discussed above, SDARS                      difficult.
                                                      outside of their community of license be
                                                      required to list the location of the                    licensees are required to comply with                    78. With respect to the political file,
                                                      correspondence file and existing                        EEO requirements similar to those                     we propose to treat satellite radio
                                                      political file, as well as the required                 imposed on broadcasters, including the                similar to DBS, as they are both
                                                      local or toll free number. We seek                      requirement to file EEO reports and to                nationwide services with few licensed
                                                      comment on this proposal.                               maintain those reports in their public                service providers. As we do with respect
                                                                                                              file together with other EEO program                  to the DBS political file herein, we
                                                      (iii) Letters From the Public                           information. Second, also as discussed                tentatively conclude, consistent with
                                                         74. In the Second Report and Order,                  above, satellite radio licensees are                  our approach for television stations and
                                                      the Commission exempted letters and                     required to maintain a political file. In             our proposal herein for cable systems
                                                      emails from the public from the online                  addition, SiriusXM, the current, sole                 and radio broadcasters, that SDARS
                                                      public file and instead required that                   U.S. SDARS licensee, is required to                   licensees should not be required to
                                                      such material be maintained at the                      retain a third category of material in the            upload their existing political files to
                                                      station in a correspondence file. The                   public file. SiriusXM made a voluntary                the online file but rather should be
                                                      Commission determined that including                    commitment to make capacity available                 permitted to maintain existing material
                                                      these documents in the online file could                for noncommercial educational and                     in their physical political file, and only
                                                      risk exposing personally identifiable                   informational programming, similar to
                                                                                                                                                                    upload documents to the online
                                                      information and that requiring stations                 the requirement imposed on DBS
                                                                                                                                                                    political file on a going-forward basis. In
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                                                      to redact such information prior to                     providers, in connection with its merger
                                                      uploading these documents would be                      application. As part of its approval of               addition, to the extent that political file
                                                      overly burdensome. The Commission                       the merger, the Commission required                   materials relate to ads shown on a local
                                                      determined that letters and emails from                 that the merged entity reserve channels               or hyper-local basis, we seek comment
                                                      the public should be maintained at the                  for educational and informational                     on how satellite radio licensees can
                                                      station’s main studio either in a paper                 programming, offer those channels to                  indicate in their public files the area in
                                                      file or electronically on a computer.                   qualified programmers, and comply                     which such ads were or will be shown.
                                                      Further, the Commission clarified that,                 with the public file requirements of 47
                                                      as required under the current public                    CFR 25.701(f)(6), which sets forth public


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                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                           8045

                                                      IV. Procedural Matters                                  cable, DBS, and broadcast and satellite               purpose of cable rate regulation. Under
                                                                                                              radio online file requirements as we did              the Commission’s rules, a ‘‘small cable
                                                      A. Initial Regulatory Flexibility Act
                                                                                                              for the television online file.                       company’’ is one serving 400,000 or
                                                      Analysis
                                                                                                              Specifically, we propose that these                   fewer subscribers nationwide. Industry
                                                         1. As required by the Regulatory                     entities’ entire public files be hosted               data shows that there were are currently
                                                      Flexibility Act of 1980, as amended                     online by the Commission and that                     660 cable operators. Of this total, all but
                                                      (‘‘RFA’’), the Commission has prepared                  entities be responsible for uploading                 ten cable operators nationwide are small
                                                      this Initial Regulatory Flexibility                     only items now required to be in the                  under this size standard. In addition,
                                                      Analysis (‘‘IRFA’’) concerning the                      public file but not otherwise filed with              under the Commission’s rate regulation
                                                      possible significant economic impact on                 the Commission or available on the                    rules, a ‘‘small system’’ is a cable system
                                                      small entities of the policies and rules                Commission’s Web site. As with the                    serving 15,000 or fewer subscribers.
                                                      proposed in this Notice of Proposed                     television online file, we propose that               Current Commission records show 4,629
                                                      Rulemaking (‘‘NPRM’’). Written public                   the Commission itself upload to the                   cable systems nationwide. Of this total,
                                                      comments are requested on this IRFA.                    online public file material that is                   4,057 cable systems have less than
                                                      Comments must be identified as                          already on file with the Commission or                20,000 subscribers, and 572 systems
                                                      responses to the IRFA and must be filed                 that currently resides in a Commission                have 20,000 or more subscribers, based
                                                      by the deadlines for comments provided                  database. With respect to the political               on the same records. Thus, under this
                                                      on the first page of this NPRM. The                     file, we also propose that cable, DBS,                standard, we estimate that most cable
                                                      Commission will send a copy of this                     broadcast radio, and satellite radio                  systems are small entities.
                                                      NPRM, including this IRFA, to the Chief                 entities not be required to upload their                 7. Cable System Operators (Telecom
                                                      Counsel for Advocacy of the Small                       existing political files to the online file.          Act Standard). The Communications
                                                      Business Administration (‘‘SBA’’). In                   Instead, as we required with television               Act of 1934, as amended, also contains
                                                      addition, this NPRM and IRFA (or                        licensees, we propose that these entities             a size standard for small cable system
                                                      summaries thereof) will be published in                 be permitted to maintain at the station               operators, which is ‘‘a cable operator
                                                      the Federal Register.                                   those documents already in place in                   that, directly or through an affiliate,
                                                         2. This NPRM proposes to expand to                   their political file at the time the new              serves in the aggregate fewer than 1
                                                      cable and Direct Broadcast Satellite                    rules become effective, and only upload               percent of all subscribers in the United
                                                      (‘‘DBS’’) operators and broadcast and                   documents to the online political file on             States and is not affiliated with any
                                                      satellite radio (‘‘SDARS’’) licensees the               a going-forward basis. With respect to                entity or entities whose gross annual
                                                      requirement that public and political                   radio, this NPRM proposes to commence                 revenues in the aggregate exceed
                                                      files be posted to the online public file               the transition to the online file with                $250,000,000.’’ There are approximately
                                                      database hosted by the Commission. In                   commercial stations in larger markets                 54 million cable video subscribers in the
                                                      2012, the Commission adopted online                     with five or more full-time employees.                United States today. Accordingly, an
                                                      public file rules for broadcast television              In addition, the item invites comment                 operator serving fewer than 540,000
                                                      stations which required them to post                    on whether to temporarily delay the                   subscribers shall be deemed a small
                                                      public file documents to a central, FCC-                requirement to upload new political file              operator if its annual revenues, when
                                                      hosted online database rather than                      material to the online file for small cable           combined with the total annual
                                                      maintaining the files locally at their                  systems.                                              revenues of all its affiliates, do not
                                                      main studios. The Commission’s goal                        4. The proposed action is authorized               exceed $250 million in the aggregate.
                                                      was to modernize the procedures                         pursuant to sections 1, 2, 4(i), 303, 315,            Based on available data, we find that all
                                                      television broadcasters use to inform the               317, 335, 601, 611, 651 and 653 of the                but ten incumbent cable operators are
                                                      public about how they are serving their                 Communications Act, 47 U.S.C. 151,                    small entities under this size standard.
                                                      communities by harnessing current                       152, 154(i), 303, 315, 317, 335, 601, 611,            We note that the Commission neither
                                                      technology to make information more                     651, and 653.                                         requests nor collects information on
                                                      accessible to the public and, over time,                   5. The RFA directs agencies to                     whether cable system operators are
                                                      to reduce the cost of compliance. We are                provide a description of, and where                   affiliated with entities whose gross
                                                      initiating this proceeding to extend our                feasible, an estimate of the number of                annual revenues exceed $250 million.
                                                      modernization effort to include the                     small entities that may be affected by                Although it seems certain that some of
                                                      public file documents required to be                    the proposed rules, if adopted. The RFA               these cable system operators are
                                                      maintained by cable operators, DBS                      generally defines the term ‘‘small                    affiliated with entities whose gross
                                                      providers, broadcast radio licensees,                   entity’’ as having the same meaning as                annual revenues exceed $250,000,000,
                                                      and SDARS licensees. While the                          the terms ‘‘small business,’’ ‘‘small                 we are unable at this time to estimate
                                                      Commission first included only                          organization,’’ and ‘‘small governmental              with greater precision the number of
                                                      television broadcasters in its public file              jurisdiction.’’ In addition, the term                 cable system operators that would
                                                      database to ‘‘ease the initial                          ‘‘small business’’ has the same meaning               qualify as small cable operators under
                                                      implementation of the online public                     as the term ‘‘small business concern’’                the definition in the Communications
                                                      file,’’ television broadcasters have now                under the Small Business Act. A small                 Act.
                                                      successfully transitioned to the online                 business concern is one which: (1) Is                    8. Direct Broadcast Satellite (DBS)
                                                      file over the past two years.                           independently owned and operated; (2)                 Service. DBS service is a nationally
                                                      Accordingly, we now believe it is                       is not dominant in its field of operation;            distributed subscription service that
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                                                      appropriate to commence the process of                  and (3) satisfies any additional criteria             delivers video and audio programming
                                                      expanding the online file to other media                established by the SBA. Below, we                     via satellite to a small parabolic ‘‘dish’’
                                                      in order to extend the benefits of                      provide a description of such small                   antenna at the subscriber’s location.
                                                      improved public access to public                        entities, as well as an estimate of the               DBS, by exception, is now included in
                                                      inspection files and, ultimately, reduce                number of such small entities, where                  the SBA’s broad economic census
                                                      the burden on these other entities of                   feasible.                                             category, Wired Telecommunications
                                                      maintaining those files.                                   6. Cable Companies and Systems. The                Carriers, which was developed for small
                                                         3. In general, this NPRM proposes to                 Commission has developed its own                      wireline businesses. Under this
                                                      adopt a similar approach with respect to                small business size standards for the                 category, the SBA deems a wireline


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                                                      8046                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                      business to be small if it has 1,500 or                 which it is based does not include or                 require that these files be maintained
                                                      fewer employees. Census data for 2007                   aggregate revenues from affiliated                    online in the database hosted by the
                                                      shows that there were 3,188 firms that                  companies.                                            Commission. Entities subject to this
                                                      operated for that entire year. Of this                     10. In addition, an element of the                 requirement would be required to
                                                      total, 2,940 firms had fewer than 100                   definition of ‘‘small business’’ is that the          upload certain documents currently
                                                      employees, and 248 firms had 100 or                     entity not be dominant in its field of                maintained in their local files to the
                                                      more employees. Therefore, under this                   operation. The Commission is unable at                online database.
                                                      size standard, the majority of such                     this time to define or quantify the                      14. The RFA requires an agency to
                                                      businesses can be considered small                      criteria that would establish whether a               describe any significant alternatives that
                                                      entities. However, the data we have                     specific radio station is dominant in its             it has considered in reaching its
                                                      available as a basis for estimating the                 field of operation. Accordingly, the                  proposed approach, which may include
                                                      number of such small entities were                      estimate of small businesses to which                 the following four alternatives (among
                                                      gathered under a superseded SBA small                   rules may apply does not exclude any                  others): (1) The establishment of
                                                      business size standard formerly titled                  radio station from the definition of a                differing compliance or reporting
                                                      ‘‘Cable and Other Program                               small business on this basis and                      requirements or timetables that take into
                                                      Distribution.’’ As of 2002, the SBA                     therefore may be over-inclusive to that               account the resources available to small
                                                      defined a small Cable and Other                         extent. Also, as noted, an additional                 entities; (2) the clarification,
                                                      Program Distribution provider as one                    element of the definition of ‘‘small                  consolidation, or simplification of
                                                      with $12.5 million or less in annual                    business’’ is that the entity must be                 compliance or reporting requirements
                                                      receipts. Currently, only two entities                  independently owned and operated.                     under the rule for small entities; (3) the
                                                      provide DBS service, which requires a                   The Commission notes that it is difficult             use of performance, rather than design,
                                                      great investment of capital for operation:              at times to assess these criteria in the              standard; and (4) an exemption from
                                                      DIRECTV and DISH Network. Each                          context of media entities and the                     coverage of the rule, or any part thereof,
                                                      currently offers subscription services.                 estimates of small businesses to which                for small entities.
                                                      DIRECTV and DISH Network each                           they apply may be over-inclusive to this                 15. This NPRM proposes a number of
                                                      report annual revenues that are in                      extent.                                               measures to minimize the effort and cost
                                                      excess of the threshold for a small                        11. Satellite Radio. The rules                     entities must undertake to move their
                                                      business. Because DBS service requires                  proposed in this NPRM would affect the                pubic files online. Specifically, we
                                                      significant capital, we believe it is                   sole, current U.S. provider of satellite              propose to require entities only to
                                                      unlikely that a small entity as defined                 radio (‘‘SDARS’’) services, XM-Sirius,                upload to the online file public file
                                                      under the superseded SBA size standard                  which offers subscription services. XM-               documents that are not already on file
                                                                                                              Sirius reported revenue of $3.8 billion               with the Commission or that the
                                                      would have the financial wherewithal to
                                                                                                              in 2013 and a net income of $377                      Commission maintains in its own
                                                      become a DBS service provider.
                                                                                                              million. In light of these figures, we                database. We also propose to exempt
                                                         9. Radio Broadcasting. The SBA                       believe it is unlikely that this entity               existing political file material from the
                                                      defines a radio broadcast station as a                  would be considered small.                            online file requirement and to require
                                                      small business if such station has no                      12. Open Video Systems. The open                   only that political file documents be
                                                      more than $38.5 million in annual                       video system (OVS) framework was                      uploaded on a going-forward basis. In
                                                      receipts. Business concerns included in                 established in 1996, and is one of four               addition, with only minor exceptions—
                                                      this industry are those ‘‘primarily                     statutorily recognized options for the                requiring cable operators to provide
                                                      engaged in broadcasting aural programs                  provision of video programming                        information about the geographic areas
                                                      by radio to the public.’’ According to                  services by local exchange carriers. The              they serve, clarifying the documents
                                                      review of the BIA Publications, Inc.                    OVS framework provides opportunities                  required to be included in the cable
                                                      Master Access Radio Analyzer Database                   for the distribution of video                         public file, and requiring cable, DBS,
                                                      as of November 26, 2013, about 11,331                   programming other than through cable                  broadcast radio, and SDARS entities to
                                                      (or about 99.9 percent) of the then                     systems. Because OVS operators provide                provide the location and contact
                                                      number of commercial radio stations                     subscription services, OVS falls within               information for their local file—we do
                                                      (11,341) have revenues of $35.5 million                 the SBA small business size standard                  not propose new or modified public
                                                      or less and thus qualify as small entities              covering cable services, which is                     inspection file requirements in this
                                                      under the SBA definition. The                           ‘‘Wired Telecommunications Carriers.’’                proceeding. Our goal is simply to adapt
                                                      Commission has estimated the number                     The SBA has developed a small                         our existing public file requirements to
                                                      of licensed noncommercial radio                         business size standard for this category,             an online format. While we recognize
                                                      stations to be 4,082. The Commission                    which is: All such businesses having                  that entities may incur a modest, one-
                                                      does not compile and otherwise does                     1,500 or fewer employees. Census data                 time transitional cost to upload some
                                                      not have access to information on the                   for 2007 shows that there were 3,188                  portions of their existing public file to
                                                      revenue of NCE stations that would                      firms that operated for that entire year.             the online database, we believe this
                                                      permit it to determine how many such                    Of this total, 2,940 firms had fewer than             initial expense will be offset by the
                                                      stations would qualify as small entities.               100 employees, and 248 firms had 100                  public benefits of online disclosure. We
                                                      These stations rely primarily on grants                 or more employees. Therefore, under                   also believe that, over time, entities will
                                                      and contributions for their operations,                 this size standard, we estimate that the              benefit from the lower costs of sending
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                                                      so we will assume that all of these                     majority of these businesses can be                   documents electronically to the
                                                      entities qualify as small businesses. We                considered small entities.                            Commission as opposed to creating and
                                                      note that in assessing whether a                           13. Certain rule changes proposed in               maintaining a paper file at the local or
                                                      business entity qualifies as small under                this NPRM would affect reporting,                     headquarters’ office or main studio and
                                                      the above definition, business control                  recordkeeping, or other compliance                    assisting the public in accessing it.
                                                      affiliations must be included. This                     requirements. Cable, DBS, radio, and                  While we propose to place the entire
                                                      estimate, therefore, likely overstates the              SDARS entities are currently required to              public file online, we invite comment
                                                      number of small entities that might be                  maintain a ‘‘local’’ copy of their public             on whether we should instead require
                                                      affected, because the revenue figure on                 inspection files. This NPRM proposes to               only that certain components of the


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                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                           8047

                                                      public file be placed on the                            memoranda summarizing the                             filings must be addressed to the
                                                      Commission’s online database. We note                   presentation must (1) list all persons                Commission’s Secretary, Office of the
                                                      that limiting online file requirements to               attending or otherwise participating in               Secretary, Federal Communications
                                                      certain components of the public file                   the meeting at which the ex parte                     Commission.
                                                      would require entities to upload certain                presentation was made, and (2)                           D All hand-delivered or messenger-
                                                      documents and maintain others in the                    summarize all data presented and                      delivered paper filings for the
                                                      local public file, thereby potentially                  arguments made during the                             Commission’s Secretary must be
                                                      imposing a greater burden than moving                   presentation. If the presentation                     delivered to FCC Headquarters at 445
                                                      documents to the online file over time.                 consisted in whole or in part of the                  12th St. SW., Room TW–A325,
                                                         16. In addition, with respect to radio               presentation of data or arguments                     Washington, DC 20554. The filing hours
                                                      licensees this NPRM proposes to                         already reflected in the presenter’s                  are 8:00 a.m. to 7:00 p.m. All hand
                                                      commence the transition to an online                    written comments, memoranda or other                  deliveries must be held together with
                                                      file with commercial stations in larger                 filings in the proceeding, the presenter              rubber bands or fasteners. Any
                                                      markets with five or more full-time                     may provide citations to such data or                 envelopes and boxes must be disposed
                                                      employees, while postponing                             arguments in his or her prior comments,               of before entering the building.
                                                      temporarily all online file requirements                memoranda, or other filings (specifying                  D Commercial overnight mail (other
                                                      for other radio stations. This NPRM also                the relevant page and/or paragraph                    than U.S. Postal Service Express Mail
                                                      proposes to exempt small cable systems                  numbers where such data or arguments                  and Priority Mail) must be sent to 9300
                                                      temporarily from the requirement to                     can be found) in lieu of summarizing                  East Hampton Drive, Capitol Heights,
                                                      commence uploading new political file                   them in the memorandum. Documents                     MD 20743.
                                                      material to the online public file and                  shown or given to Commission staff                       D U.S. Postal Service first-class,
                                                      proposes to exempt very small cable                     during ex parte meetings are deemed to                Express, and Priority mail must be
                                                      systems from all requirements to upload                 be written ex parte presentations and                 addressed to 445 12th Street SW.,
                                                      documents to the Commission’s online                    must be filed consistent with rule                    Washington, DC 20554.
                                                      database. Finally, this NPRM also seeks                 § 1.1206(b). In proceedings governed by                  D People with Disabilities: To request
                                                      comment on whether we should                            rule § 1.49(f) or for which the                       materials in accessible formats for
                                                      exclude certain radio stations from all                 Commission has made available a                       people with disabilities (braille, large
                                                      online public file requirements, rather                 method of electronic filing, written ex               print, electronic files, audio format),
                                                      than simply delaying implementation of                  parte presentations and memoranda                     send an email to fcc504@fcc.gov or call
                                                      certain requirements.                                   summarizing oral ex parte                             the Consumer & Governmental Affairs
                                                                                                              presentations, and all attachments                    Bureau at 202–418–0530 (voice), 202–
                                                      Federal Rules That May Duplicate,                       thereto, must be filed through the
                                                      Overlap, or Conflict With the Proposed                                                                        418–0432 (tty).
                                                                                                              electronic comment filing system                         20. Additional Information. For
                                                      Rule                                                    available for that proceeding, and must               additional information on this
                                                        None.                                                 be filed in their native format (e.g., .doc,          proceeding, please contact Kim
                                                      B. Paperwork Reduction Act Analysis                     .xml, .ppt, searchable.pdf). Participants             Matthews of the Media Bureau, Policy
                                                                                                              in this proceeding should familiarize                 Division, Kim.Matthews@fcc.gov, (202)
                                                        17. This document contains proposed                   themselves with the Commission’s ex
                                                      information collection requirements.                                                                          418–2154.
                                                                                                              parte rules.
                                                      The Commission, as part of its                                                                                V. Ordering Clauses
                                                      continuing effort to reduce paperwork                   D. Filing Requirements
                                                                                                                                                                      21. Accordingly, it is ordered that,
                                                      burdens, invites the general public and                    19. Comments and Replies. Pursuant
                                                                                                                                                                    pursuant to the authority contained in
                                                      the Office of Management and Budget                     to §§ 1.415 and 1.419 of the
                                                                                                                                                                    sections 1, 4(i), 4(j), 303(r), and 335 of
                                                      (OMB) to comment on the information                     Commission’s rules, 47 CFR 1.415,
                                                                                                                                                                    the Communications Act of 1934, as
                                                      collection requirements contained in                    1.419, interested parties may file
                                                                                                                                                                    amended, 47 U.S.C. 151, 154(i), 154(j),
                                                      this document, as required by the                       comments and reply comments on or
                                                                                                                                                                    303(r), and 335 this Notice of Proposed
                                                      Paperwork Reduction Act of 1995. In                     before the dates indicated on the first
                                                                                                                                                                    Rulemaking is adopted.
                                                      addition, pursuant to the Small                         page of this document. Comments may
                                                                                                                                                                      22. It is further ordered that the
                                                      Business Paperwork Relief Act of 2002,                  be filed using the Commission’s
                                                                                                                                                                    Commission’s Consumer and
                                                      we seek specific comment on how we                      Electronic Comment Filing System
                                                                                                                                                                    Governmental Affairs Bureau, Reference
                                                      might ‘‘further reduce the information                  (ECFS). See Electronic Filing of
                                                                                                                                                                    Information Center, shall send a copy of
                                                      collection burden for small business                    Documents in Rulemaking Proceedings,
                                                                                                                                                                    this Notice of Proposed Rulemaking,
                                                      concerns with fewer than 25                             63 FR 24121 (1998).
                                                                                                                                                                    including the Initial Regulatory
                                                      employees.’’                                               D Electronic Filers: Comments may be
                                                                                                                                                                    Flexibility Analysis, to the Chief
                                                                                                              filed electronically using the Internet by
                                                      C. Ex Parte Rules                                                                                             Counsel for Advocacy of the Small
                                                                                                              accessing the ECFS: http://
                                                        18. Permit-But-Disclose. This                                                                               Business Administration.
                                                                                                              fjallfoss.fcc.gov/ecfs2/.
                                                      proceeding will be treated as a ‘‘permit-                  D Paper Filers: Parties who choose to                23. It is further ordered that the
                                                      but-disclose’’ proceeding in accordance                 file by paper must file an original and               Petition for Rulemaking filed by the
                                                      with the Commission’s ex parte rules.                   one copy of each filing. If more than one             Campaign Legal Center, Common Cause,
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                                                      Persons making ex parte presentations                   docket or rulemaking number appears in                and the Sunlight Foundation is granted.
                                                      must file a copy of any written                         the caption of this proceeding, filers                List of Subjects
                                                      presentation or a memorandum                            must submit two additional copies for
                                                      summarizing any oral presentation                       each additional docket or rulemaking                  47 CFR Part 25
                                                      within two business days after the                      number.                                                 Direct Broadcast Satellite, Satellite
                                                      presentation (unless a different deadline                  D Filings can be sent by hand or                   radio.
                                                      applicable to the Sunshine period                       messenger delivery, by commercial
                                                      applies). Persons making oral ex parte                  overnight courier, or by first-class or               47 CFR Part 73
                                                      presentations are reminded that                         overnight U.S. Postal Service mail. All                  Broadcast radio.


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                                                      8048                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                      47 CFR Part 76                                          aired, the rates charged, and the classes             if the provider has a Web site, and
                                                        Cable television.                                     of time purchased; and                                provide on its Web site contact
                                                                                                                 (ii) A record of the free time provided            information for a representative who
                                                      Federal Communications Commission.                      if free time is provided for use by or on             can assist any person with disabilities
                                                      Marlene H. Dortch,                                      behalf of candidates.                                 with issues related to the content of the
                                                      Secretary.                                                 (2) All records required to be retained            public files. Each DBS provider also
                                                      Proposed Rules                                          by this section must be placed in the                 must include in the online public file
                                                                                                              political file as soon as possible and                the address of the provider’s local
                                                        For the reasons discussed in the                      must be retained for a period of two                  public file and the name, phone
                                                      preamble, the Federal Communications                    years. After the effective date of this               number, and email address of the
                                                      Commission proposes to amend 47 CFR                     section, DBS providers shall place all                provider’s designated contact for
                                                      parts 25, 73, and 76 as follows:                        new political file material required to be            questions about the public file.
                                                      PART 25—SATELLITE                                       retained by this section in the online file           *      *    *    *      *
                                                      COMMUNICATIONS                                          hosted by the Commission.                             ■ 4. Section 25.702 is added to read as
                                                                                                                 (3) DBS providers shall assist callers             follows:
                                                      ■ 1. The Authority citation for Part 25                 by answering questions about the
                                                                                                              contents of their political files.                    § 25.702 Other SDARS Public interest
                                                      continues to read as follows:
                                                                                                                                                                    obligations.
                                                        Authority: Interprets or applies sections 4,
                                                                                                                 (e) * * *
                                                                                                                 (3) DBS providers airing children’s                   (a) Political broadcasting
                                                      301, 302, 303, 307, 309, 319, 332, 705, and                                                                   requirements. The following political
                                                      721 of the Communications Act, as amended,              programming must maintain in the
                                                      47 U.S.C. 154, 301, 302, 303, 307, 309, 319,            online file hosted by the Commission                  broadcasting rules shall apply to all
                                                      332, 605, and 721, unless otherwise noted.              records sufficient to verify compliance               SDARS licensees: 47 CFR 73.1940
                                                      ■ 2. Section 25.601 is revised to read as               with this rule. Such records must be                  (Legally qualified candidates for public
                                                      follows:                                                maintained for a period sufficient to                 office), 73.1941 (Equal opportunities),
                                                                                                              cover the limitations period specified in             and 73.1944 (Reasonable access).
                                                      § 25.601   Equal employment opportunities.              47 U.S.C. 503(b)(6)(B).                                  (b) Political file. Each SDARS licensee
                                                        Notwithstanding other EEO                                                                                   shall maintain a complete and orderly
                                                                                                              *       *     *     *      *                          political file.
                                                      provisions within these rules, an entity                   (f) * * *
                                                      that uses an owned or leased Fixed-                                                                              (1) The political file shall contain, at
                                                                                                                 (6) Public file. (i) In addition to the            a minimum:
                                                      Satellite Service or Direct Broadcast                   political file requirements in § 25.701,
                                                      Satellite Service or 17/24 GHz                                                                                   (i) A record of all requests for SDARS
                                                                                                              each DBS provider shall maintain in the               origination time, the disposition of
                                                      Broadcasting-Satellite Service facility                 online file hosted by the Commission a
                                                      (operating under this part) to provide                                                                        those requests, and the charges made, if
                                                                                                              complete and orderly record of:                       any, if the request is granted. The
                                                      video programming directly to the                          (A) Quarterly measurements of
                                                      public on a subscription basis must                                                                           ‘‘disposition’’ includes the schedule of
                                                                                                              channel capacity and yearly average                   time purchased, when spots actually
                                                      comply with the equal employment                        calculations on which it bases its four
                                                      opportunity requirements set forth in                                                                         aired, the rates charged, and the classes
                                                                                                              percent reservation, as well as its                   of time purchased; and
                                                      part 76, subpart E, of this chapter, if                 response to any capacity changes;                        (ii) A record of the free time provided
                                                      such entity exercises control (as defined                  (B) A record of entities to whom                   if free time is provided for use by or on
                                                      in part 76, subpart E, of this chapter)                 noncommercial capacity is being                       behalf of candidates.
                                                      over the video programming it                           provided, the amount of capacity being                   (2) SDARS licensees shall place all
                                                      distributes. Notwithstanding other EEO                  provided to each entity, the conditions               records required by this section in the
                                                      provisions within these rules, a licensee               under which it is being provided and                  political file as soon as possible and
                                                      or permittee of a direct broadcast                      the rates, if any, being paid by the                  shall retain the records for a period of
                                                      satellite station operating as a                        entity;                                               two years. After the effective date of this
                                                      broadcaster, and a licensee or permittee                   (C) A record of entities that have                 section, SDARS licensees shall place all
                                                      in the satellite DARS service, must                     requested capacity, disposition of those              new political file material required to be
                                                      comply with the equal employment                        requests and reasons for the disposition.             retained by this section in the online file
                                                      opportunity requirements set forth in                      (ii) All records required by paragraph             hosted by the Commission.
                                                      part 73.                                                (f)(6)(i) of this section shall be placed in             (c) Public inspection file. Each SDARS
                                                      ■ 3. Section 25.701 is amended by
                                                                                                              the online file hosted by the                         applicant or licensee must also place in
                                                      revising the section heading and
                                                                                                              Commission as soon as possible and                    the online file hosted by the
                                                      paragraphs (d), (e)(3), and (f)(6) to read
                                                                                                              shall be retained for a period of two                 Commission the records required to be
                                                      as follows:
                                                                                                              years.                                                placed in the public inspection file by
                                                      § 25.701 Other DBS public interest                         (iii) Each DBS provider must also                  47 CFR 25.601 and 73.2080 (equal
                                                      obligations.                                            place in the online file hosted by the                employment opportunities (EEO)) and
                                                      *      *     *      *     *                             Commission the records required to be                 retain those records for the period
                                                         (d) Political file. Each DBS provider                placed in the public inspection file by               required by those rules. Each SDARS
                                                      shall maintain a complete and orderly                   § 25.701(e) (commercial limits in                     licensee must provide a link to the
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                                                      political file.                                         children’s programs) and by § 25.601                  public inspection file hosted on the
                                                         (1) The political file shall contain, at             and 47 CFR part 76, subpart E (equal                  Commission’s Web site from the home
                                                      a minimum:                                              employment opportunity requirements)                  page of its own Web site, if the licensee
                                                         (i) A record of all requests for DBS                 and retain those records for the period               has a Web site, and provide on its Web
                                                      origination time, the disposition of                    required by those rules.                              site contact information for a
                                                      those requests, and the charges made, if                   (iv) Each DBS provider must provide                representative who can assist any
                                                      any, if the request is granted. The                     a link to the public inspection file                  person with disabilities with issues
                                                      ‘‘disposition’’ includes the schedule of                hosted on the Commission’s Web site                   related to the content of the public files.
                                                      time purchased, when spots actually                     from the home page of its own Web site,               Each SDARS licensee also must include


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                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                            8049

                                                      in the online public file the address of                station in the manner discussed in                    by the Commission, while the material
                                                      the licensee’s local public file and the                paragraph (b)(1) of this section; and the             in the political file as of July 1, 2014, if
                                                      name, phone number, and email address                   political file as required by paragraph               not placed in the Commission’s Web
                                                      of the licensee’s designated contact for                (e)(6) of this section, as discussed in               site, shall continue to be retained at the
                                                      questions about the public file.                        paragraph (b)(3) of this section. Any                 station in the manner discussed in
                                                                                                              radio station not in the top 50 Nielsen               paragraph (b)(1) of this section until the
                                                      PART 73—RADIO BROADCAST                                 Audio markets, and any radio station                  end of its retention period. However,
                                                      SERVICES                                                with fewer than five full-time                        any station that is not required to place
                                                      ■ 5. The Authority citation for Part 73                 employees, shall continue to retain the               its political file in the online file hosted
                                                      continues to read as follows:                           public inspection file at the station in              by the Commission before July 1, 2014
                                                                                                              the manner discussed in paragraph                     may choose to do so, instead of
                                                        Authority: 47 U.S.C. 154, 303, 334, 336,              (b)(1) of this section until [2 years                 retaining the political file at the station
                                                      and 339.                                                following the effective date of the                   in the manner discussed in paragraph
                                                      ■ 6. Section 73.1943 is amended by                      Report and Order in MB Docket No. 14–                 (b)(1) of this section.
                                                      revising paragraph (d) to read as                       127]. However, any radio station that is                 (iii) Any radio station not in the top
                                                      follows:                                                not required to place its public                      50 Nielsen Audio markets, and any
                                                                                                              inspection file in the online file hosted             radio station with fewer than five full-
                                                      § 73.1943   Political file.                             by the Commission before [2 years                     time employees, shall continue to retain
                                                      *      *     *     *    *                               following the effective date of the                   the political file at the station in the
                                                         (d) Location of the file. A licensee or              Report and Order in MB Docket No. 14–                 matter discussed in paragraph (b)(1) of
                                                      applicant must post all of the contents                 127] may choose to do so, instead of                  this section until [2 years following the
                                                      added to its political file after the                   retaining the public inspection file at               effective date of the Report and Order in
                                                      effective date of this subsection in the                the station in the manner discussed in                MB Docket No. 14–127]. For these
                                                      political file component of its online                  paragraph (b)(1) of this section.                     stations, effective [2 years following the
                                                      public file hosted by the Commission. A                    (ii) A station must provide a link to              effective date of the Report and Order in
                                                      station must retain in its political file               the public inspection file hosted on the              MB Docket No. 14–127], any new
                                                      maintained at the station, at the location              Commission’s Web site from the home                   political file material shall be placed in
                                                      specified in § 73.3526(b) or § 73.3527(b),              page of its own Web site, if the station              the online file hosted by the
                                                      all material required to be included in                 has a Web site, and provide contact                   Commission, while the material in the
                                                      the political file and added to the file                information on its Web site for a station             political file as of [2 years following the
                                                      prior to the effective date of this                     representative that can assist any person             effective date of the Report and Order in
                                                      subsection. The online political file                   with disabilities with issues related to              MB Docket No. 14–127], if not placed in
                                                      must be updated in the same manner as                   the content of the public files. A station            the online file hosted by the
                                                      paragraph (c) of this section.                          also is required to include in the online             Commission, shall continue to be
                                                      ■ 7. Section 73.3526 is amended by                      public file the station’s main studio                 retained at the station in the manner
                                                      revising paragraph (b) to read as follows:              address and telephone number, and the                 discussed in paragraph (b)(1) of this
                                                                                                              email address of the station’s designated             section until the end of its retention
                                                      § 73.3526 Local public inspection file of               contact for questions about the public
                                                      commercial stations.                                                                                          period. However, any station that is not
                                                                                                              file. To the extent this section refers to            required to place its political file on the
                                                      *      *     *     *     *                              the local public inspection file, it refers
                                                         (b) Location of the file. The public                                                                       Commission’s Web site before [2 years
                                                                                                              to the public file of an individual
                                                      inspection file shall be located as                                                                           following the effective date of the
                                                                                                              station, which is either maintained at
                                                      follows:                                                                                                      Report and Order in MB Docket No. 14–
                                                                                                              the station or on the Commission’s Web
                                                         (1) For radio licensees temporarily                                                                        127] may choose to do so, instead of
                                                                                                              site, depending upon where the
                                                      exempt from the online file, as                                                                               retaining the political file at the station
                                                                                                              documents are required to be
                                                      discussed in paragraph (b)(2) of this                                                                         in the manner discussed in paragraph
                                                                                                              maintained under the Commission’s
                                                      section, a hard copy of the public                                                                            (b)(1) of this section.
                                                                                                              rules.
                                                      inspection file shall be maintained at                     (3)(i) A licensee or applicant shall                  (4) The Commission will
                                                      the main studio of the station. For all                 place the contents required by                        automatically link the following items
                                                      licensees, letters and emails from the                  paragraph (e)(6) of this section of its               to the electronic version of all licensee
                                                      public, as required by paragraph (e)(9)                 political inspection file in the online file          and applicant public inspection files, to
                                                      of this section, shall be maintained at                 hosted by the Commission. Political                   the extent that the Commission has
                                                      the main studio of the station. An                      inspection file material in existence 30              these items electronically:
                                                      applicant for a new station or change of                days after the effective date of this                 Authorizations, applications, contour
                                                      community shall maintain its file at an                 provision shall continue to be retained               maps; ownership reports and related
                                                      accessible place in the proposed                        at the station in the manner discussed                materials; portions of the Equal
                                                      community of license or at its proposed                 in paragraph (b)(1) of this section until             Employment Opportunity file held by
                                                      main studio.                                            the end of its retention period.                      the Commission; ‘‘The Public and
                                                         (2)(i) A television station licensee or                 (ii) Any television station not in the             Broadcasting’’; Letters of Inquiry and
                                                      applicant, and any radio station licensee               top 50 DMAs, and any station not                      other investigative information requests
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                                                      or applicant not temporarily exempt as                  affiliated with one of the top four                   from the Commission, unless otherwise
                                                      described in this paragraph, shall place                broadcast networks, regardless of the                 directed by the inquiry itself; Children’s
                                                      the contents required by paragraph (e) of               size of the market it serves, shall                   television programming reports; and
                                                      this section, of its public inspection file             continue to retain the political file at the          DTV transition education reports. In the
                                                      on the online file hosted by the                        station in the manner discussed in                    event that the online public file does not
                                                      Commission, with the exception of                       paragraph (b)(1) of this section until July           reflect such required information, the
                                                      letters and emails from the public as                   1, 2014. For these stations, effective July           licensee will be responsible for posting
                                                      required by paragraph (e)(9) of this                    1, 2014, any new political file material              such material.
                                                      section, which shall be retained at the                 shall be placed in the online file hosted             *       *    *      *     *


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                                                      8050                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                      ■ 8. Section 73.3527 is amended by                      years following the effective date of the             1st and 16th day of each calendar
                                                      revising paragraph (b) to read as follows:              Report and Order in MB Docket No. 14–                 month. Stations broadcasting primarily
                                                                                                              127], if not placed in the online file                in a foreign language should broadcast
                                                      § 73.3527 Local public inspection file of               hosted by the Commission, shall                       the announcements in that language.
                                                      noncommercial educational stations.
                                                                                                              continue to be retained at the station in                Radio announcement: On (date of last
                                                      *       *     *    *     *                              the manner discussed in paragraph                     renewal grant) (Station’s call letters) was
                                                         (b) Location of the file. The public                 (b)(1) of this section until the end of its           granted a license by the Federal
                                                      inspection file shall be located as                     retention period. However, any radio                  Communication Commission to serve
                                                      follows:                                                station that is not required to place its             the public interest as a public trustee
                                                         (1) For radio licensees, a hard copy of              public inspection file in the online file             until (expiration date).
                                                      the public inspection file shall be                     hosted by the Commission before [2
                                                      maintained at the main studio of the                                                                             Our license will expire on (date). We
                                                                                                              years following the effective date of the             must file an application for renewal
                                                      station until [2 years following the                    Report and Order in MB Docket No. 14–
                                                      effective date of the Report and Order in                                                                     with the FCC (date four calendar
                                                                                                              127] may choose to do so, instead of                  months prior to expiration date). When
                                                      MB Docket No. 14–127] except that, as                   retaining the public inspection file at
                                                      discussed in paragraph (b)(2)(ii) of this                                                                     filed, a copy of this application will be
                                                                                                              the station in the manner discussed in                available for public inspection at
                                                      section, any radio station may                          paragraph (b)(1) of this section.
                                                      voluntarily place its public inspection                                                                       www.fcc.gov. It contains information
                                                                                                                 (iii) A station must provide a link to             concerning this station’s performance
                                                      file online before [2 years following the               the public inspection file hosted on the
                                                      effective date of the Report and Order in                                                                     during the last (period of time covered
                                                                                                              Commission’s Web site from the home                   by the application).
                                                      MB Docket No. 14–127] if it chooses to                  page of its own Web site, if the station
                                                      do so instead of retaining the file at the                                                                       Individuals who wish to advise the
                                                                                                              has a Web site, and provide contact                   FCC of facts relating to our renewal
                                                      station. An applicant for a new station                 information for a station representative
                                                      or change of community shall maintain                                                                         application and to whether this station
                                                                                                              on its Web site that can assist any                   has operated in the public interest
                                                      its file at an accessible place in the                  person with disabilities with issues
                                                      proposed community of license or at its                                                                       should file comments and petitions with
                                                                                                              related to the content of the public files.           the FCC by (date first day of last full
                                                      proposed main studio.                                   A station also is required to include in
                                                         (2)(i) A noncommercial educational                                                                         calendar month prior to the month of
                                                                                                              the online public file the station’s main             expiration).
                                                      television station licensee or applicant
                                                                                                              studio address and telephone number,                     Further information concerning the
                                                      shall place the contents required by
                                                                                                              and the email address of the station’s                FCC’s broadcast license renewal process
                                                      paragraph (e) of its public inspection
                                                                                                              designated contact for questions about                is available at (address of location of the
                                                      file in the online file hosted by the
                                                                                                              the public file. To the extent this section           station’s public inspection file) or may
                                                      Commission, with the exception of the
                                                                                                              refers to the local public inspection file,           be obtained from the FCC, Washington,
                                                      political file as required by paragraph
                                                                                                              it refers to the public file of an                    DC 20554.
                                                      (e)(5) of this section, which may be
                                                                                                              individual station, which is either                      Television announcement: On (date of
                                                      retained at the station in the manner
                                                                                                              maintained at the station or on the                   last renewal grant) (Station’s call letters)
                                                      discussed in paragraph (b)(1) of this
                                                                                                              Commission’s Web site, depending                      was granted a license by the Federal
                                                      section until July 1, 2014. Effective July
                                                                                                              upon where the documents are required                 Communication Commission to serve
                                                      1, 2014, any new political file material
                                                                                                              to be maintained under the                            the public interest as a public trustee
                                                      shall be placed in the online file hosted
                                                                                                              Commission’s rules.                                   until (expiration date).
                                                      by the Commission, while the material                      (3) The Commission will
                                                      in the political file as of July 1, 2014, if                                                                     Our license will expire on (date). We
                                                                                                              automatically link the following items                must file an application for renewal
                                                      not placed on the Commission’s Web                      to the electronic version of all licensee
                                                      site, shall continue to be retained at the                                                                    with the FCC (date four calendar
                                                                                                              and applicant public inspection files, to             months prior to expiration date). When
                                                      station in the manner discussed in                      the extent that the Commission has
                                                      paragraph (b)(1) of this section until the                                                                    filed, a copy of this application will be
                                                                                                              these items electronically:                           available for public inspection at
                                                      end of its retention period. However,                   Authorizations; applications; contour
                                                      any noncommercial educational station                                                                         www.fcc.gov. It contains information
                                                                                                              maps; ownership reports and related                   concerning this station’s performance
                                                      that is not required to place its political             materials; portions of the Equal
                                                      file in the online file hosted by the                                                                         during the last (period of time covered
                                                                                                              Employment Opportunity file held by                   by the application).
                                                      Commission before July 1, 2014 may                      the Commission; and ‘‘The Public and
                                                      choose to do so instead of retaining the                                                                         Individuals who wish to advise the
                                                                                                              Broadcasting’’.                                       FCC of facts relating to our renewal
                                                      political file at the station in the manner
                                                      discussed in paragraph (b)(1) of this                   *       *     *    *     *                            application and to whether this station
                                                                                                              ■ 9. Section 73.3580 is amended by                    has operated in the public interest
                                                      section.
                                                         (ii) Beginning [2 years following the                revising paragraphs (d)(4)(i) and (ii) to             should file comments and petitions with
                                                      effective date of the Report and Order in               read as follows:                                      the FCC by (date first day of last full
                                                      MB Docket No. 14–127], noncommercial                    § 73.3580 Local public notice of filing of            calendar month prior to the month of
                                                      educational radio station licensees and                 broadcast applications.                               expiration).
                                                      applicants shall place the contents                     *     *      *    *     *                                Further information concerning the
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                                                      required by paragraph (e) of this section                 (d) * * *                                           FCC’s broadcast license renewal process
                                                      in the online public inspection file                      (4) * * *                                           is available at (address of location of the
                                                      hosted by the Commission. For these                       (i) Pre-filing announcements. During                station) or may be obtained from the
                                                      stations, effective [2 years following the              the period and beginning on the first                 FCC, Washington, DC 20554.
                                                      effective date of the Report and Order in               day of the sixth calendar month prior to              *       *     *     *   *
                                                      MB Docket No. 14–127], any new                          the expiration of the license, and                       (ii) Post-filing announcements. During
                                                      political file material shall be placed on              continuing to the date on which the                   the period beginning of the date on
                                                      the Commission’s Web site, while the                    application is filed, the following                   which the renewal application is filed to
                                                      material in the political file as of [2                 announcement shall be broadcast on the                the sixteenth day of the next to last full


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                                                                              Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules                                           8051

                                                      calendar month prior to the expiration                  PART 76—MULTICHANNEL VIDEO                            are in existence 30 days after the
                                                      of the license, all applications for                    AND CABLE TELEVISION SERVICE                          effective date of this provision shall
                                                      renewal of broadcast station licenses                                                                         continue to be retained at the system
                                                      shall broadcast the following                           ■ 10. The Authority citation for Part 76              and made available to the public in the
                                                      announcement on the 1st and 16th day                    continues to read as follows:                         manner discussed in paragraph (e) of
                                                      of each calendar month. Stations                          Authority: 47 U.S.C. 151, 152, 153, 154,            this section until the end of the
                                                      broadcasting primarily in a foreign                     301, 302, 302a, 303, 303a, 307, 308, 309, 312,        retention period. In addition, any cable
                                                      language should broadcast the                           315, 317, 325, 339, 340, 341, 503, 521, 522,          system with fewer than 5,000
                                                                                                              531, 532, 534, 535, 536, 537, 543, 544, 544a,         subscribers shall continue to retain the
                                                      announcements in that language.                         545, 548, 549, 552, 554, 556, 558, 560, 561,
                                                         Television announcement: On (date of                 571, 572, 573.                                        political file at the system in the manner
                                                      last renewal grant) (Station’s call letters)                                                                  discussed in paragraph (e) of this
                                                                                                              ■ 11. Section 76.630 is amended by
                                                      was granted a license by the Federal                                                                          section until [2 years following the
                                                                                                              revising paragraph (a)(2) to read as
                                                      Communications Commission to serve                                                                            effective date of the Report and Order in
                                                                                                              follows:                                              MB Docket No. 14–127]. For these
                                                      the public interest as a public trustee
                                                      until (expiration date).                                § 76.630 Compatibility with consumer                  systems, effective [2 years following the
                                                                                                              electronics equipment.                                effective date of the Report and Order in
                                                         Our license will expire on (date). We                   (a) * * *                                          MB Docket No. 14–127], any new
                                                      have filed an application for renewal                      (2) Requests for waivers of this                   political file material shall be placed in
                                                      with the FCC.                                           prohibition must demonstrate either a                 the online file hosted by the
                                                         A copy of this application is available              substantial problem with theft of basic               Commission, while the material in the
                                                      for public inspection at www.fcc.gov. It                tier service or a strong need to scramble             political file as of [2 years following the
                                                      contains information concerning this                    basic signals for other reasons. As part              effective date of the Report and Order in
                                                      station’s performance during the last                   of this showing, cable operators are                  MB Docket No. 14–127], if not placed on
                                                      (period of time covered by application).                required to notify subscribers by mail of             the Commission’s Web site, shall
                                                         Individuals who wish to advise the                   waiver requests. The notice to                        continue to be retained at the system in
                                                      FCC of facts relating to our renewal                    subscribers must be mailed no later than              the manner discussed in paragraph (e)
                                                      application and to whether this station                 30 calendar days from the date the                    of this section until the end of its
                                                      has operated in the public interest                     request for waiver was filed with the                 retention period. However, any system
                                                      should file comments and petitions with                 Commission, and cable operators must                  that is not required to place its political
                                                      the FCC by (date first day of last full                 inform the Commission in writing, as                  file on the Commission’s Web site
                                                      calendar month prior to the month of                    soon as possible, of that notification                before [2 years following the effective
                                                      expiration).                                            date. The notification to subscribers                 date of the Report and Order in MB
                                                                                                              must state:                                           Docket No. 14–127] may choose to do
                                                         Further information concerning the                                                                         so, instead of retaining the political file
                                                      FCC’s broadcast license renewal process                    On (date of waiver request was filed with
                                                                                                              the Commission), (cable operator’s name)              at the system in the manner discussed
                                                      is available at (address of location of the                                                                   in paragraph (e) of this section.
                                                                                                              filed with the Federal Communications
                                                      station) or may be obtained from the                    Commission a request for waiver of the rule              (1) Political file. All requests for
                                                      FCC, Washington, DC 20554.                              prohibiting scrambling of channels on the             cablecast time made by or on behalf of
                                                         Radio announcement: On (date of last                 basic tier of service. 47 CFR 76.630(a). The          a candidate for public office and all
                                                      renewal grant) (Station’s call letters) was             request for waiver states (a brief summary of         other information required to be
                                                      granted a license by the Federal                        the waiver request). A copy of the request for        maintained pursuant to § 76.1701;
                                                                                                              waiver shall be available for public                     (2) Equal employment opportunity.
                                                      Communications Commission to serve                      inspection at www.fcc.gov.
                                                      the public interest as a public trustee                                                                       All EEO materials described in
                                                                                                                 Individuals who wish to comment on this
                                                      until (expiration date).                                request for waiver should mail comments to
                                                                                                                                                                    § 76.1702 except for any EEO program
                                                                                                              the Federal Communications Commission by              annual reports, which the Commission
                                                         Our license will expire on (date). We
                                                                                                              no later than 30 days from (the date the              will link to the electronic version of all
                                                      have filed an application for renewal
                                                                                                              notification was mailed to subscribers).              systems’ public inspection files;
                                                      with the FCC.                                                                                                    (3) Commercial records on children’s
                                                                                                              Those comments should be addressed to the:
                                                         A copy of this application is available              Federal Communications Commission, Media              programs. Sufficient records to verify
                                                      for public inspection at www.fcc.gov. It                Bureau, Washington, DC 20554, and should              compliance with § 76.225 in accordance
                                                      contains information concerning this                    include the name of the cable operator to             with § 76.1703;
                                                      station’s performance during the last                   whom the comments are applicable.                        (4) Performance tests (channels
                                                      (period of time covered by application).                Individuals should also send a copy of their
                                                                                                                                                                    delivered). The operator of each cable
                                                                                                              comments to (the cable operator at its local
                                                         Individuals who wish to advise the                   place of business).                                   television system shall maintain at its
                                                      FCC of facts relating to our renewal                       Cable operators may file comments in reply         local office a current listing of the cable
                                                      application and to whether this station                 no later than 7 days from the date subscriber         television channels which that system
                                                      has operated in the public interest                     comments must be filed.                               delivers to its subscribers in accordance
                                                      should file comments and petitions with                 *     *     *    *    *                               with § 76.1705;
                                                      the FCC by (date first day of last full                 ■ 12. Section 76.1700 is revised to read                 (5) Leased access. If a cable operator
                                                      calendar month prior to the month of                    as follows:                                           adopts and enforces written policy
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                                                      expiration).                                                                                                  regarding indecent leased access
                                                                                                              § 76.1700 Records to be maintained by                 programming, such a policy shall be
                                                         Further information concerning the                   cable system operators.                               published in accordance with § 76.1707;
                                                      FCC’s broadcast license renewal process                    (a) Public inspection file. The                       (6) Principal headend. The operator of
                                                      is available at (address of location of the             following records must be placed in the               every cable system shall maintain the
                                                      station’s public inspection file) or may                online public file hosted by the                      designation and location of its principal
                                                      be obtained from the FCC, Washington,                   Commission, except as indicated in                    headend in accordance with § 76.1708;
                                                      DC 20554.                                               § 76.1700(d) and except that the records                 (7) Availability of signals. The
                                                      *      *    *     *     *                               listed in 76.1700(1) (political file) that            operator of every cable television system


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                                                      8052                    Federal Register / Vol. 80, No. 30 / Friday, February 13, 2015 / Proposed Rules

                                                      shall maintain a list of all broadcast                  The test is performed pursuant to the                 home page of its own Web site, if the
                                                      television stations carried by its system               procedures and requirements of part 11                system has a Web site, and provide
                                                      in fulfillment of the must-carry                        of this chapter and the EAS Operating                 contact information on its Web site for
                                                      requirements in accordance with                         Handbook. The records are kept in                     a system representative who can assist
                                                      § 76.1709;                                              accordance with part 11 and § 76.1711                 any person with disabilities with issues
                                                         (8) Operator interests in video                      of this chapter;                                      related to the content of the public files.
                                                      programming. Cable operators shall                         (4) Complaint resolution. Cable                    A system also is required to include in
                                                      maintain records regarding the nature                   system operators shall establish a                    the online public file the address of the
                                                      and extent of their attributable interests              process for resolving complaints from
                                                                                                                                                                    system’s local public file and the name,
                                                      in all video programming services as                    subscribers about the quality of the
                                                                                                                                                                    phone number, and email address of the
                                                      well as information regarding their                     television signal delivered. Aggregate
                                                                                                              data based upon these complaints shall                system’s designated contact for
                                                      carriage of such vertically integrated
                                                                                                              be made available for inspection in                   questions about the public file. In
                                                      video programming services on cable
                                                      systems in which they have an                           accordance with § 76.1713;                            addition, a system must provide on the
                                                      attributable interests in accordance with                  (5) Subscriber records and public                  online public file a list of the geographic
                                                      § 76.1710;                                              inspection file. The operator of a cable              areas served by the system. To the
                                                         (9) Sponsorship identification.                      television system shall make the system,              extent this section refers to the local
                                                      Whenever sponsorship announcements                      its public inspection file, and its records           public inspection file, it refers to the
                                                      are omitted pursuant to § 76.1615(f) of                 of subscribers available for inspection               public file of a physical system, which
                                                      subpart T, the cable television system                  upon request in accordance with                       is either maintained at the location
                                                      operator shall maintain a list in                       § 76.1716.                                            described in paragraph (e) of this
                                                      accordance with § 76.1715;                                 (d) Exceptions to the public                       section or on the Commission’s Web
                                                         (10) Compatibility with consumer                     inspection file requirements. The                     site, depending upon where the
                                                      electronics equipment. Cable system                     operator of every cable television system             documents are required to be
                                                      operators generally may not scramble or                 having fewer than 1,000 subscribers is                maintained under the Commission’s
                                                      otherwise encrypt signals carried on the                exempt from the online public file and                rules.
                                                      basic service tier. Copies of requests for              from the public record requirements
                                                                                                              contained in § 76.1701 (political file);                 (g) Reproduction of records. Copies of
                                                      waivers of this prohibition must be
                                                      available in the public inspection file in              § 76.1702 (EEO records available for                  any material in the public inspection
                                                      accordance with § 76.630.                               public inspection); § 76.1703                         file shall be available for machine
                                                         (b) Information available to the                     (commercial records for children’s                    reproduction upon request made in
                                                      franchisor. These records must be made                  programming); § 76.1704 (proof-of-                    person, provided the requesting party
                                                      available by cable system operators to                  performance test data); § 76.1706 (signal             shall pay the reasonable cost of
                                                      local franchising authorities on                        leakage logs and repair records);                     reproduction. Requests for machine
                                                      reasonable notice and during regular                    § 76.1714 (FCC rules and regulations);                copies shall be fulfilled at a location
                                                      business hours, except as indicated in                  and § 76.1715 (sponsorship                            specified by the system operator, within
                                                      § 76.1700(d).                                           identification).                                      a reasonable period of time, which in no
                                                         (1) Proof-of-performance test data.                     (e) Location of records. Political file            event shall be longer than seven days.
                                                      The proof of performance tests shall be                 material that continues to be retained at             The system operator is not required to
                                                      made available upon request in                          the system shall be retained in a public              honor requests made by mail but may
                                                      accordance with § 76.1704;                              inspection file maintained at the office
                                                                                                                                                                    do so if it chooses.
                                                         (2) Complaint resolution. Cable                      in the community served by the system
                                                                                                              that the system operator maintains for                ■ 13. Section 76.1709 is amended by
                                                      system operators shall establish a
                                                      process for resolving complaints from                   the ordinary collection of subscriber                 revising paragraphs (a) and (b) to read
                                                      subscribers about the quality of the                    charges, resolution of subscriber                     as follows:
                                                      television signal delivered. Aggregate                  complaints, and other business and, if
                                                                                                              the system operator does not maintain                 § 76.1709    Availability of signals.
                                                      data based upon these complaints shall
                                                      be made available for inspection in                     such an office in the community, at any                  (a) The operator of every cable
                                                      accordance with § 76.1713.                              accessible place in the communities                   television system shall maintain for
                                                         (c) Information available to the                     served by the system (such as a public                public inspection a file containing a list
                                                      Commission. These records must be                       registry for documents or an attorney’s               of all broadcast television stations
                                                      made available by cable system                          office). Public file locations will be open           carried by its system in fulfillment of
                                                      operators to the Commission on                          at least during normal business hours                 the must-carry requirements pursuant to
                                                      reasonable notice and during regular                    and will be conveniently located. The                 § 76.56. Such list shall include the call
                                                      business hours, except as indicated in                  public inspection file shall be available             sign, community of license, broadcast
                                                      § 76.1700(d).                                           for public inspection at any time during
                                                                                                                                                                    channel number, cable channel number,
                                                         (1) Proof-of-performance test data.                  regular business hours for the facility
                                                                                                                                                                    and in the case of a noncommercial
                                                      The proof of performance tests shall be                 where they are kept. All or part of the
                                                                                                                                                                    educational broadcast station, whether
                                                      made available upon request in                          public inspection file may be
                                                                                                              maintained in a computer database, as                 that station was carried by the cable
                                                      accordance with § 76.1704;
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                                                         (2) Signal leakage logs and repair                   long as a computer terminal capable of                system on March 29, 1990.
                                                      records. Cable operators shall maintain                 accessing the database is made                           (b) Such records must be maintained
                                                      a log showing the date and location of                  available, at the location of the file, to            in accordance with the provisions of
                                                      each leakage source in accordance with                  members of the public who wish to                     § 76.1700.
                                                      § 76.1706;                                              review the file.                                      *      *    *     *     *
                                                         (3) Emergency alert system and                          (f) Links and contact and geographic               [FR Doc. 2015–02531 Filed 2–12–15; 8:45 am]
                                                      activations. Every cable system shall                   information. A system must provide a
                                                                                                                                                                    BILLING CODE 6712–01–P
                                                      keep a record of each test and activation               link to the public inspection file hosted
                                                      of the Emergency Alert System (EAS).                    on the Commission’s Web site from the


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Document Created: 2015-12-18 13:18:18
Document Modified: 2015-12-18 13:18:18
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionProposed rule.
DatesComments may be filed on or before March 16, 2015, and reply comments may be filed April 14, 2015. Written comments on the proposed information collection requirements, subject to the Paperwork Reduction Act (PRA) of 1995, Pub. L. 104-13, should be submitted on or before April 14, 2015.
ContactKim Matthews, Media Bureau, Policy Division, 202-418-2154, or email at [email protected]
FR Citation80 FR 8031 
CFR Citation47 CFR 25
47 CFR 73
47 CFR 76
CFR AssociatedDirect Broadcast Satellite; Satellite Radio; Broadcast Radio and Cable Television

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