83_FR_20099 83 FR 20011 - 4.9 GHz Band

83 FR 20011 - 4.9 GHz Band

FEDERAL COMMUNICATIONS COMMISSION

Federal Register Volume 83, Issue 88 (May 7, 2018)

Page Range20011-20031
FR Document2018-09416

In 2002, the Commission allocated the 4940-4990 MHz (4.9 GHz) band for fixed and mobile use and designated the band for public safety broadband communications. Since then, the band has experienced relatively light usage compared to the heavy use of other public safety bands. In this document, the Commission proposes several rule changes and seeks comment on alternatives with the goal of promoting increased public safety use of the band while opening up the spectrum to additional uses that will encourage a more robust market for equipment and greater innovation. The Commission proposes rules on channel aggregation, aeronautical mobile use, frequency coordination, site- based licensing, regional planning, and technical rule changes with the goal of promoting increased use of the band. The Commission seeks comment on alternatives such as expanding eligibility, spectrum leasing, sharing, and redesignating the band for commercial use.

Federal Register, Volume 83 Issue 88 (Monday, May 7, 2018)
[Federal Register Volume 83, Number 88 (Monday, May 7, 2018)]
[Proposed Rules]
[Pages 20011-20031]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-09416]


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FEDERAL COMMUNICATIONS COMMISSION

47 CFR Parts 0, 2, 90

[WP Docket No. 07-100; FCC 18-33]


4.9 GHz Band

AGENCY: Federal Communications Commission.

ACTION: Proposed rule.

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SUMMARY: In 2002, the Commission allocated the 4940-4990 MHz (4.9 GHz) 
band for fixed and mobile use and designated the band for public safety 
broadband communications. Since then, the band has experienced 
relatively light usage compared to the heavy use of other public safety 
bands. In this document, the Commission proposes several rule changes 
and seeks comment on alternatives with the goal of promoting increased 
public safety use of the band while opening up the spectrum to 
additional uses that will encourage a more robust market for equipment 
and greater innovation. The Commission proposes rules on channel 
aggregation, aeronautical mobile use, frequency coordination, site-
based licensing, regional planning, and technical rule changes with the 
goal of promoting increased use of the band. The Commission seeks 
comment on alternatives such as expanding eligibility, spectrum 
leasing, sharing, and redesignating the band for commercial use.

DATES: Submit comments on or before July 6, 2018. Submit reply comments 
August 6, 2018.

ADDRESSES: You may submit comments, identified by WP Docket No. 07-100 
by any of the following methods:
     Federal Communications Commission's website: http://apps.fcc.gov/ecfs/. Follow the instructions for submitting comments.
     Mail: U.S. Postal Service first-class, Express, and 
Priority mail must be addressed to 445 12th Street SW, Washington, DC 
20554. Commercial overnight mail (other than U.S. Postal Service 
Express Mail and Priority Mail) must be sent to 9050 Junction Drive, 
Annapolis Junction, MD 20701.
     Hand or Messenger Delivery: 445 12th St., SW, Room TW-
A325, Washington, DC 20554.
     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.
    For detailed instructions for submitting comments and additional 
information on the rulemaking process, see the SUPPLEMENTARY 
INFORMATION section of this document.

FOR FURTHER INFORMATION CONTACT: Thomas Eng, Policy and Licensing 
Division, Public Safety and Homeland Security Bureau, Federal 
Communications Commission, 445 12th Street SW, Washington, DC 20554, at 
(202) 418-0019, TTY (202) 418-7233, or via email at [email protected].

SUPPLEMENTARY INFORMATION: This is a summary of the Commission's Sixth 
Further Notice of Proposed Rulemaking (Sixth FNPRM) in WP Docket No. 
07-100, adopted on March 22, 2018 and released as FCC 18-33 on March 
23, 2018. The complete text of this document is available for 
inspection and copying during normal business hours in the FCC 
Reference Information Center, Portals II, 445 12th Street SW, Room CY-
A257, Washington, DC 20554. Alternative formats (computer diskette, 
large print, audio cassette, and Braille) are available to persons with 
disabilities or by sending an email to [email protected] or calling the 
Consumer and Governmental Affairs Bureau at (202) 418-0530, TTY (202) 
418-0432. This document is also available on the Commission's website 
at http://www.fcc.gov.

Comments

    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, May 1 (1998).
     Electronic Filers: Comments may be filed electronically 
using the internet by accessing the ECFS: http://apps.fcc.gov/ecfs/.
     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.
    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.
     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.
     Commercial overnight mail (other than U.S. Postal Service 
Express Mail and Priority Mail) must be sent to 9050 Junction Drive, 
Annapolis Junction, MD 20701.
     U.S. Postal Service first-class, Express, and Priority 
mail must be addressed to 445 12th Street, SW, Washington DC 20554.

Introduction

    The Commission has allocated and designated 50 megahertz of 
spectrum in the 4.9 GHz band (4940-4990 MHz) to public safety. Although 
nearly 90,000 public safety entities are eligible under our rules to 
obtain licenses in the band, there were only 2,442 licenses in use in 
2012 and only 3,174 licenses in use nearly six years later in 2018. 
With no more than 3.5% of potential licensees using the band, we remain 
concerned that, as the Commission stated in 2012, the band has ``fallen 
short of its potential.''
    Public safety entities have offered several reasons why the band 
has seen less use than expected. One reason cited is the difficulty of 
acquiring equipment and the cost of deployment. According

[[Page 20012]]

to the Association of Public-Safety Communications Officials 
International's (APCO) 4.9 GHz Task Force Report (APCO Report), ``the 
public safety user community remains small relative to the greater 
consumer marketplace,'' which ``has historically resulted in a limited 
vendor ecosystem, specialized devices, and higher costs.'' We also 
believe that a lack of available equipment for mobile applications has 
impeded widespread use of the band by public safety. The National 
Public Safety Telecommunications Council (NPSTC) has argued that 
interference concerns have also suppressed use of the 4.9 GHz band. In 
its 4.9 GHz NPSTC Plan Recommendations Final Report (NPSTC Plan), NPSTC 
notes that because the Commission's current rules ``allow 
geographically based licensing with little documentation on system 
design and transmitter location,'' public safety ``contemplating new 
service in this band cannot determine if other agencies in their area 
might cause harmful interference today or in the future.''
    In this Sixth FNPRM, we seek comment on several alternatives to 
stimulate expanded use of and investment in the 4.9 GHz band, drawing 
on comments in the record as well as the NPSTC Plan submitted in 2013 
and the APCO Report submitted in 2015. Our goal is to ensure that 
public safety continues to have priority in the band while opening up 
the band to additional uses that will facilitate increased usage, 
including more prominent mobile use, and encourage a more robust market 
for equipment and greater innovation, while protecting primary users 
from harmful interference. We believe that with an appropriate sharing 
mechanism in place, which we discuss in further detail below, our 
proposed approach will promote more opportunistic use of the 4.9 GHz 
band without compromising the integrity and security of public safety 
operations.

Background

    In June 2012, the Commission released the Fifth Further Notice of 
Proposed Rulemaking (Fifth FNPRM) in which it sought comment on rule 
changes intended to establish frequency coordination procedures for 4.9 
GHz operations and to encourage spectrum efficiency and greater use of 
the 4.9 GHz band. It sought comment on how 4.9 GHz licensees currently 
use this spectrum, what applications and uses are best suited for the 
band, and what are the most cost-effective ways to improve 
accessibility to the band while minimizing adverse impact on incumbent 
operations. The Commission sought views on alternative frequency 
coordination proposals for 4.9 GHz licensees. The Commission also 
sought comment on specific proposals regarding expanded eligibility for 
critical infrastructure industry (CII) entities, for commercial 
entities on a secondary basis, subject to a shutdown feature, and for 
the First Responder Network Authority (FirstNet). The Commission also 
sought comment about the impact of the Middle Class Tax Relief and Job 
Creation Act of 2012 (Spectrum Act) on broadband uses of the 4.9 GHz 
band by public safety entities. Finally, the Commission sought comment 
on whether to allow aeronautical mobile use in the 4.9 GHz band.
    The responsive comments to the Fifth FNPRM illustrate the wide 
variety of existing systems operating in the 4.9 GHz band and 
underscore the importance of developing rules that promote flexible use 
and maximize spectrum efficiency. Since the Fifth FNPRM the Commission 
has continued to build the record on the 4.9 GHz band. In October 2013, 
NPSTC submitted detailed recommendations in the NPSTC Plan, and the 
Public Safety and Homeland Security Bureau (Bureau) released a Public 
Notice seeking comment on the proposals in the NPSTC Plan. In September 
2015, the APCO Report provided additional recommendations on how to 
increase public safety use of the band, reduce equipment costs, and 
drive investment in up-to-date technology in the band.

Sixth Further Notice of Proposed Rulemaking

    Taking into consideration the record in response to the Fifth 
FNPRM, comments on the NPSTC Plan, the APCO Report, and more recent ex 
parte filings, we now propose a limited set of rules for the 4.9 GHz 
band to promote more flexible and intensive use of this spectrum while 
preventing interference. We also seek comment on current usage and what 
types of services are being provided. Our goals are (a) to support the 
needs of public safety while opening the band to other compatible uses, 
(b) to maximize spectral efficiency and usage, (c) to promote a common 
equipment ecosystem that will drive down equipment costs and stimulate 
investment through economies of scale, (d) to encourage innovation, and 
(e) to ensure that secondary users do not cause interference to primary 
users.
    In this Sixth FNPRM, we review the major issues previously 
identified in the Fifth FNPRM; in the NPSTC Plan and the APCO Report 
and in comments on both of these evaluations; and in subsequent ex 
parte proposals. We then propose and seek comment on specific rules and 
policies intended to address each issue, and seek comment on and 
solicit alternative proposals.

Band Plan

    In the Fifth FNPRM, the Commission sought comment on the current 
4.9 GHz band plan, which divides the band into ten one-megahertz 
channels (Channels 1-5 and 14-18) and eight five-megahertz channels 
(Channels 6-13), and limits channel aggregation bandwidth to 20 
megahertz. The NPSTC Plan proposes to keep this channelization, but 
recommends aggregating Channels 1-5 into a single 5 megahertz channel 
designated for air-to-ground communications and robotic use and 
proposes to reduce the current channel aggregation limit from 20 to 10 
megahertz. The APCO Report proposes no band plan changes but calls for 
relaxing the 20 megahertz channel aggregation limit, arguing that this 
would enable the band to accommodate 40 megahertz products that are 
currently available only outside the U.S., which relaxation could 
``create a better business case for manufacturers,'' and would 
``provide more options for rural deployments.''
    Discussion. Most commenters express support for the NPSTC band plan 
proposal. Based in part on the NPSTC band plan, we propose to retain 
the existing channelization plan for the band, but we seek comment 
below on more flexible aggregation limits, and in the Aeronautical 
Mobile and Robotic Use section, we propose to modify the 4.9 GHz band 
plan by aggregating Channels 1-5 to form a five-megahertz bandwidth 
channel for aeronautical mobile and robotic use. Although current 
geographic licenses authorize use of the entire 50 megahertz by all 
qualified services, we envision that under our revised rules we would 
grant licenses for specific uses that would authorize specific 
channels. We are concerned that the current geographic licensing model 
does not provide sufficient information on specific channel usage to 
facilitate effective frequency coordination, which we propose below for 
the 4.9 GHz band. For example, we seek comment on licensing base 
stations and hot spots site-by-site rather than blanket geographic 
licensing, and licensing these stations and mobiles for a specific 
channel or channels instead of the entire band, to the extent that 
channel use is static. Does 4.9 GHz equipment dynamically change 
channels as needed throughout

[[Page 20013]]

the band to avoid interference? We seek comment on these proposals.
    We further propose to expand the existing channel aggregation 
bandwidth limit to 40 megahertz and seek comment on that proposal, 
which could provide more options of the type advocated in the APCO 
Report, such as new rural deployments, and may enable public-safety 
access to 5G technologies. We seek comment on this proposal. We are 
concerned that narrowing the limit to 10 megahertz as proposed in the 
NPSTC Plan would constrain flexibility and discourage use of innovative 
broadband technologies. We nonetheless propose to allow Regional 
Planning Committees (RPCs) to submit plans to limit aggregations to 20 
megahertz. We solicit alternative band plan suggestions or 
modifications to the above. For example, should we permanently 
aggregate Channels 6-9 and 10-13 to form two 20-megahertz channels? We 
seek comment about the relative costs and benefits of wider channels. 
Are wider channels needed to drive innovation of equipment in the band, 
or are the current aggregation limits sufficient?
    We agree with commenters that any reconfiguration or repurposing of 
the 4.9 GHz band should not force incumbent licensees to modify, 
abandon, or replace existing 4.9 GHz facilities, which would impose 
technical, operational, and financial burdens on those incumbents. 
Therefore, we propose to grandfather all incumbent users as of the date 
any final rules become effective. As we discuss below in the Database 
and Existing Licensees section, we further propose that those incumbent 
licensees whose authorizations currently encompass the entire 4.9 GHz 
band must certify the channels they actually use when they input their 
transmitter and receiver parameters into the Commission's Universal 
Licensing System (ULS) database. Only those channels for which 
operating parameters have been supplied would receive protection. We 
seek comment on this approach, under which all new primary and 
secondary users of the band will be required to coordinate around and 
protect incumbent users. We also seek comment on whether a temporary 
licensing freeze before the release date of a report and order in this 
proceeding and lasting until the effective date of the final rules 
would be necessary to prevent the filing of applications for systems 
that are incompatible with the modified band plan.

Aeronautical Mobile and Robotic Use

    In the Fifth FNPRM, the Commission sought comment on whether to 
lift the general prohibition on aeronautical mobile operations in the 
4.9 GHz band. The Commission proposed to revise Sec.  90.1205(c) to 
permit aeronautical mobile operation in the band on a secondary, non-
interference basis to 4.9 GHz terrestrial services and subject to 
demonstrating interference protection to radio astronomy (RAS) 
operations. The Commission sought comment on whether to impose 
restrictions or conditions on aeronautical mobile use, such as an 
altitude limit of 1500 feet above ground.
    Eight parties filed comments to the Fifth FNPRM in support of 
allowing aeronautical mobile operations under such conditions. The 
National Academy of Sciences Committee on Radio Frequencies (CORF), an 
organization representing RAS observatories, requests the following 
conditions: (1) Make the aeronautical use secondary to terrestrial 
services, including RAS; (2) limit the altitude of use of this band to 
1500 feet above the altitude of the observatory and limit operation to 
greater than 50 miles from observatories; (3) require aeronautical 
mobile applicants within 50 miles of protected observatories to 
demonstrate that the former will protect the latter from interference; 
and (4) require applicants within 50 miles of protected observatories 
to certify that they have served a copy of their application on such 
observatories. AASHTO recommends that air-to-ground operations that 
employ omnidirectional antennas should be limited to low power, while 
operations using steerable directional antennas that minimize 
interference to terrestrial users could employ higher power. FCCA/IAFC/
IMSA recommend a maximum altitude of ``500 feet above ground for 
direct, non-directional air-to-ground video feeds,'' a maximum 
bandwidth of five megahertz for a video feed, and a requirement that 
``aircraft providing video feeds to fixed remote receive sites must use 
steerable antennas and be limited to 1500 feet above ground level.''
    The NPSTC Plan recommends aggregating Channels 1-5 into a five-
megahertz channel to be used for air-to-ground communications and 
robotic communications. The NPSTC Plan would permit transmissions at 
altitudes up to 400 feet above ground level, and at higher altitudes if 
the licensee has a waiver. The proposal would require aeronautical 
mobile operations with an area of operation less than 80.5 km from 
listed RAS sites to obtain concurrence from the affected RAS site. 
NPSTC proposes licensing robotic operations on Channels 1-5 on a shared 
basis with air-to-ground operations, not allowing Channels 1-5 to be 
used for point-to-point (P-P) communications, and migrating existing 
users to other channels. APCO also supports these proposals, noting 
that ``modification of the existing rules, using the guidelines 
proposed in the NPSTC recommendations, would allow use of the 4.9 GHz 
band for air to ground communications, would add to the available 
public safety portfolio, and would assist with increasing public safety 
use of the spectrum.'' APCO also supports ``following the proposal 
contained in the NPSTC report with regard to robotic operations to 
allow for use of 4.9 GHz spectrum on a controlled and limited basis for 
robotic applications.''
    Discussion. We propose to designate Channels 1-5 as aeronautical 
mobile channels in the 4.9 GHz band. The proposed channel selection 
provides spectral separation from RAS operations in the 4950-4990 MHz 
band. As NPSTC notes, the 4.9 GHz band is an ideal short range band 
with the bandwidth required to transmit video from air to ground. 
Moreover, many law enforcement agencies operate helicopters and planes 
using video cameras and so could benefit from this rule change.
    We also propose to designate Channels 1-5 for robotic use. Although 
law enforcement has been using robots for several years, these devices 
currently operate on an unlicensed basis and are unprotected from 
interference. Modifying our rules to allow robotic operations could 
thus improve public safety. We seek comment on the relative costs and 
benefits of adding robotic use to this band. Is interference likely to 
be a problem for public safety robots? We propose to limit aerial 
transmitted information to video payload and to prohibit use of the 4.9 
GHz band for aircraft (including unmanned aircraft systems) command and 
control. We seek comment on these proposals and also request commenting 
parties to address whether similar restrictions on payload and command 
and control frequencies should be imposed on robotic uses.
    One of the potential cost of these rules would be that, for other 
than grandfathered licensees, the public safety use of Channels 1-5 
would be limited to aeronautical mobile and robotic operations. We seek 
comment on the extent to which limiting the flexibility of spectrum use 
in this manner imposes costs by, e.g., creating cumbersome regulatory 
obstacles to repurposing the spectrum for alternative public safety 
needs that may become more pressing as circumstances change. Are there 
any countervailing benefits in

[[Page 20014]]

establishing these proposed use restrictions? We also seek comment on 
the potential benefits of the proposed rule apart from such 
restrictions. Such benefits, which may be significant, would include 
that aeronautical mobile functionality would provide to first 
responders, who could use Channels 1-5 to transmit airborne video of 
emergency scenes such as wildfires, vehicle pursuits, and other events 
to assist in response and recovery efforts. A benefit of using these 
channels for robotic operations would be to enhance first responder 
safety by allowing users to send remote controlled, camera-equipped 
mobile devices into potentially dangerous situations. We seek comment 
on the magnitude of these and any other relative costs and benefits.
    Because we decline to propose mandatory relocation of incumbent 
terrestrial users on Channels 1-5, we therefore propose to require 
aeronautical mobile and robotic operations to be frequency coordinated 
around incumbent terrestrial users of Channels 1-5, consistent with the 
frequency coordination procedures proposed in the Coordination section 
below, including RPC review. We seek comment on the relative costs and 
benefits of this coordination requirement. Once aeronautical mobile and 
robotic operations are licensed, we propose to grant them co-primary 
status on Channels 1-5. Therefore, during an incident or emergency 
requiring such use, they would be able to operate on an equal basis 
with terrestrial users, around which they have already been 
coordinated, presenting a minimal risk of interference. To prevent 
future terrestrial licensing in the 4940-4945 MHz segment, we propose 
to revise Sec.  90.1207 so terrestrial-based licenses are only 
available in the 4945-4990 MHz segment rather than the entire band. We 
seek comment on the relative costs and benefits of these proposals and 
alternative approaches.
    While we propose to allow manned aeronautical use of Channels 1-5, 
we believe it would be premature at this time to permit unmanned aerial 
systems (UAS) to transmit in the 4.9 GHz band. The Federal Aviation 
Administration's (FAA) part 107 rules limit small UAS operations to 400 
feet altitude above ground, require visual line of sight aircraft 
operation, prohibit operations over people, and prohibit operation in 
certain airspace, among other restrictions. The FAA's UAS altitude 
limit is well below our proposal of 1500 feet above ground, and the 
other restrictions may present impediments to effective public safety 
use of UAS. Moreover, the Commission has not yet issued service rules 
for UAS operations in any specific spectrum band. Nevertheless, we seek 
comment on the potential for the 4.9 GHz band to support possible 
future UAS payload operations.
    We propose to establish a maximum altitude limit of 1500 feet (457 
meters) above ground level (AGL) for manned airborne operations on 
Channels 1-5. We believe this limit allows greater flexibility than 
NPSTC's proposal of 400 feet and is consistent with the altitude limit 
adopted for air-to-ground communications in the 700 MHz narrowband 
spectrum. However, because FAA rules require fixed-wing aircraft to 
maintain certain clearances around structures, we propose to allow 
fixed-wing aircraft to transmit at altitudes exceeding 1500 feet AGL, 
but only to avoid obstructions, and then only in the immediate area of 
the obstruction. We seek comment on the terrestrial interference 
potential and coverage of fixed-wing aircraft compared to the 
interference potential and coverage of helicopters, and whether any 
restrictions or prohibitions should apply to either group of aircraft.
    We propose to allow air-to-ground and robotic transmissions only 
from low power devices as defined in Sec.  90.1215 of our rules, which 
limits maximum conducted output power to 14 dBm per 5 megahertz 
bandwidth and use of a directional antenna to confine radiation to the 
direction of the associated receiving antenna. We seek comment on this 
proposed power limit, as well as on other techniques to minimize 
interference. For example, AASHTO and LA County propose to allow use of 
higher powered steerable directional antennas for air-to-ground 
communications, while Vislink contends that some air-ground 
communications will require omnidirectional antennas. We seek comment 
on the current state of aerial steerable directional antenna technology 
and the associated cost of such equipment.
    To minimize the impact of 4.9 GHz aeronautical and robotic 
operations on the important work being done by RAS observatories, we 
propose that aeronautical mobile and robotic operations, as with all 
other 4.9 GHz band operations, make every effort to protect the RAS 
observatories listed in our rules. We propose that aeronautical mobile 
use shall generally be prohibited within 80.5 kilometers from a listed 
RAS site. Public safety entities seeking authorization for aeronautical 
mobile operations fewer than 80.5 kilometers from a listed RAS site 
would be required to submit a waiver request and notify and obtain 
concurrence from the affected observatory. Next, we propose to apply 
the L emission mask to aeronautical mobile devices on Channels 1-5, 
which will provide attenuation of 40 dB at 4950 MHz and above to 
minimize emissions into RAS. We do not propose to require robotic 
operations to maintain 80.5 km spacing to RAS sites. Robotic operations 
are transient and, because of their lower antenna elevations relative 
to airborne operations, do not pose an equivalent interference issue. 
Moreover, RAS sites are typically located in remote areas where robotic 
operations are unlikely to take place. We seek comment on our 
conclusion concerning the interference potential of robotic operations 
to RAS operations and on any burdens that these proposed RAS protection 
rules would impose, including the burden placed on small entities.
    Next, we propose to amend Sec.  2.106 of the Commission's rules to 
remove the prohibition on aeronautical mobile service use from the 
4940-4950 MHz band in the non-Federal Table of Frequency Allocations, 
i.e., we propose to reallocate the lower 10 megahertz segment of the 
4940-4990 MHz band from the ``mobile except aeronautical mobile'' 
service to the ``mobile'' service. This action would parallel the 
International Table and provide the Commission with additional 
flexibility with regard to the future use of the mobile service. We 
request comment on this proposal.
    Finally, we remind commenters that the United States has border 
agreements with Canada and Mexico for the 4.9 GHz band that limit 
potential air-ground operations in border areas. In the Canada 
Agreement, the Commission agrees not to authorize aeronautical mobile 
stations within 160 kilometers of the border area without the written 
consent of Innovation, Science and Economic Development Canada (ISED). 
In the Mexico Agreement, for stations operated in aircraft, power flux 
density shall not exceed -114 dBW/m2 in any 1 MHz bandwidth at or 
beyond the common border. Thus, any rules we may adopt authorizing 
aeronautical use will be subject to these restrictions in border areas. 
However, we retain the option of seeking future revision of these 
cross-border agreements through appropriate international channels. The 
limits arising from these international agreements would continue to 
apply to all licensees in the 4.9 GHz band, including aeronautical and 
robotic uses.

[[Page 20015]]

Coordination

    Our rules currently require 4.9 GHz licensees to ``cooperate in the 
selection and use of channels in order to reduce interference and make 
the most effective use of the authorized facilities,'' but do not 
require prior frequency coordination. We note that current 4.9 GHz band 
licenses authorize use of the entire band and are geographic rather 
than site-based. Thus, they allow licensees to deploy base stations, 
mobile units, and temporary fixed stations anywhere within the 
licensee's jurisdiction using any part of the spectrum band by 
informally coordinating with other uses, and without having to obtain 
prior clearance from the Commission. In the 2009 FNPRM in this 
proceeding, the Commission expressed concern that informal self-
coordination ``may not ensure that applicants for primary permanent 
fixed stations offer sufficient protection to other primary permanent 
fixed stations and other co-primary users.'' Accordingly, the 
Commission proposed a notice-and-response coordination procedure 
conducted among applicants and licensees similar to the procedure used 
for point-to-point (P-P) microwave applications under part 101 of the 
Commission's rules. However, in the Fifth FNPRM, the Commission 
acknowledged the views of the majority of commenters that notice-and-
response coordination ``may not be appropriate for this band because 
[it] would add a level of uncertainty and complexity to the 
coordination process,'' and sought comment on requiring 4.9 GHz 
applications to be submitted to a third party such as a certified 
public safety frequency coordinator or an RPC. Most commenters to the 
Fifth FNPRM supported certified frequency coordination for the 4.9 GHz 
band, although a few commenters argued that the status quo of self-
coordination is working.
    NPSTC's Plan proposes that 4.9 GHz applications be coordinated by a 
certified public safety frequency coordinator. APCO supports NPSTC's 
recommendation because ``many public safety users and manufacturers 
choose not to invest in the 4.9 GHz band because it is not 
coordinated.'' Specifically, APCO reports that ``the current 
jurisdictional licensing model is viewed within the public safety 
community as too similar to an unlicensed structure to provide the 
degree of confidence needed for mission critical communications, 
including sensitive transmissions.'' APCO asserts that ``new frequency 
coordination procedures designed to improve usage, performance, and 
interference protection would encourage public safety entities that 
have been reluctant in the past to begin utilizing the 4.9 GHz Band.''
    Discussion. We propose to require certified frequency coordination 
for licensing in the 4.9 GHz band. Given that our goal is to encourage 
a wide variety of uses of the 4.9 GHz band, we agree with NPSTC, APCO, 
and the majority of commenters that neither self-coordination nor a 
notice-and-response coordination procedure is likely to be sufficient 
to ensure interference protection to primary users in a mixed use 
environment. We seek comment on this view. We do not propose to require 
incumbent 4.9 GHz licensees to submit to frequency coordination for 
their existing operations. Rather, as noted above, we propose to 
grandfather incumbent operations provided that they file certain 
technical information on P-P, point-to-multipoint (P-MP), base, and 
mobile operations in our licensing database as discussed infra in the 
Database and Existing Licensees section.
    We propose that, subject to qualification criteria, Public Safety 
Pool frequency coordinators which the Commission has certified to 
coordinate in other part 90 spectrum bands should be eligible to 
coordinate applications in the 4.9 GHz band. We seek comment on whether 
to limit 4.9 GHz band coordination to public safety coordinators or 
whether to allow coordination by non-public safety coordinators as 
well. To ensure that coordinators are qualified to address band-
specific coordination issues, we propose to require all frequency 
coordinators seeking to coordinate in the 4.9 GHz band to submit a 
qualification showing, which would include a coordination plan and a 
showing of expertise specifically for the 4.9 GHz band. We further 
propose to direct the Public Safety and Homeland Security Bureau to 
certify coordinators for the band. We seek comment on these proposals, 
including whether a qualification showing would place a burden on small 
entities. Current public safety frequency coordinator fees for 
frequency pair/site combinations range from $60 to $315 depending on 
the frequency band. We seek comment on the relative costs and benefits 
of frequency coordination.
    The NPSTC Plan proposed that frequency coordinators would send each 
application to the applicant's home RPC for a five-business day review. 
We believe this particular proposal is burdensome on RPCs and redundant 
with the frequency coordinator's function and invite comment on this 
tentative conclusion. However, NPSTC also proposed that any application 
where the power flux density (PFD) into an adjacent region border 
exceeds -109 dBW/m2 would be flagged to be sent to the adjacent RPC to 
review. We believe this proposal may help prevent interference between 
regions, so we propose to adopt it. We seek comment on whether this PFD 
is an appropriate threshold, how PFD should be calculated and 
predicted, and how a PFD dispute would be resolved. We seek comment on 
what reference bandwidth should apply to this proposed PFD limit, e.g., 
is a 5 megahertz bandwidth appropriate?
    Finally, we seek comment on whether waiving frequency coordination 
for certain technology could serve as incentive for manufacturers and 
licensees to use such technology in the 4.9 GHz band without creating 
harmful interference. Should we exempt certain short term uses from 
frequency coordination, such as public safety robotic uses or ad hoc 
mobile networks? If so, how could such users minimize interference 
potential to existing operations in the same areas?

Database and Existing Licensees

    In the Fifth FNPRM, the Commission noted that ULS does not contain 
information specifying receiver location for 4.9 GHz band P-P or P-MP 
links, geographically licensed base station coordinates, antenna gain, 
output power, and antenna height. Because a frequency coordinator 
lacking this information would have difficulty protecting incumbent 
primary fixed links and base stations from interference from new 
operations, the Fifth FNPRM proposed to require all current 4.9 GHz 
licensees to register the technical parameters of their permanent fixed 
P-P, P-MP, and base-to-mobile stations, including permanent fixed 
receivers when applicable, into a coordination database to ensure that 
primary operations receive proper interference protection. The 
Commission ``tentatively concluded that the most cost-effective option 
is for the Commission to create and maintain a 4.9 GHz registration 
database that is modeled after an existing database,'' such as the 
millimeter wave band registration database in ULS. The Commission also 
sought comment on whether to use a third party database such as the 
Computer-Assisted Pre-Coordination Resource and Database (CAPRAD) or a 
dynamic database similar to the Television White Space (WS) database.

[[Page 20016]]

    Commenters generally agree that the 4.9 GHz band is hampered by 
lack of a reliable database that provides technical information about 
current licensee deployments. The APCO Report concludes that wider use 
of the 4.9 GHz band is inhibited by ``blanket geographical licensing 
for fixed and mobile operations on any channel across the band,'' and 
therefore proposes that ``all fixed locations be identified and 
licensed for a specific channel or channels.'' The NPSTC Plan proposes 
that incumbent licensees be required to ``relicense using the proposed 
frequency coordination process and appropriate ULS schedules'' within 
one year from when ULS is ready to accept applications using the new 
process. It also proposes that incumbent licensees that do not conform 
to the new band plan (including any region-specific variations) must 
modify their licenses within five years of the adoption of new rules.
    The NPSTC Plan recommends using ULS to compile the information 
needed for coordination because ``ULS is already funded'' and ``data 
required for coordination is already collected by ULS in the 
application process.'' NPSTC opposes using a private database that 
would ``require the applicants to fund the entire cost of capturing, 
storing, and making data available to coordinators.'' However, other 
commenters suggest establishing a geo-location database similar to the 
WS database, so that commercial and unlicensed users could use the 4.9 
GHz band on a secondary basis.
    Discussion. Our rules specify that 4.9 GHz licensees encountering 
or causing harmful interference are expected to cooperate and resolve 
the problem by mutually satisfactory arrangements. Based on the record 
in this proceeding, we believe that concerns from public safety users 
of this band regarding resolution of interference issues in the 4.9 GHz 
band would be addressed if more complete technical information is 
available to all affected parties. Therefore, we propose to require 
incumbent licensees and new applicants to provide technical information 
that will enhance frequency coordination and help mitigate the 
possibility of interference, while permitting more new users, thereby 
promoting more efficient use of spectrum that has long been 
underutilized. We solicit alternative suggestions that would achieve 
these goals.
    We believe ULS provides the most efficient and cost-effective means 
to facilitate certified frequency coordination in the 4.9 GHz band 
because it is both flexible and easily accessible to frequency 
coordinators, incumbent licensees, applicants, and other interested 
parties. While the Commission relies on private databases in other 
select spectrum bands, ULS is already set up for licensing in the 4.9 
GHz band, and the Commission can use existing form schedules to capture 
P-P, P-MP, fixed receiver, base station, and mobile station data. 
Accordingly, we propose to add the 4.9 GHz band to the microwave 
schedule for P-P, P-MP, and fixed receiver stations. We also propose to 
uncouple base and mobile stations from geographic licenses and instead 
require that base and mobile technical parameters be entered on the 
existing location and technical data schedules. Thus, we propose to 
maintain ULS as the comprehensive licensing database for the 4.9 GHz 
band, which frequency coordinators will use to base their coordination. 
This proposal would not affect or restrict frequency coordinators' use 
of their own internal databases, which draw licensing data from ULS on 
a regular basis. We propose to modify ULS as necessary to accept the 
necessary licensing data, prepare application instructions, and release 
a public notice to announce when ULS is ready to accept such 
applications. Regarding the burdens associated with the Commission's 
application for radio service authorization, the Commission has 
estimated that ``each response to this collection of information will 
take on average 1.25 hours.'' The estimate ``includes the time to read 
the instructions, look through existing records, gather and maintain 
required data, and actually complete and review the form or response.'' 
We seek comment on whether these time and cost burdens are accurate, 
and on the number of entities (incumbents and new entrants) likely to 
be subject to this requirement. We also seek comment on how best to 
measure the benefits emanating from this filing requirement in order to 
determine whether its benefits exceed its relative costs. For example, 
what is the cost of resolving current and potential interference 
problems in the absence of such a filing requirement? We seek comment 
on this proposal, and on the feasibility of alternative database 
solutions.
    We propose to set a one-year timetable, starting on the release 
date of the ULS public notice described above, for incumbent licensees 
to provide data, as recommended in the NPSTC Plan. We propose one year 
because we believe this gives licensees sufficient time to gather 
technical information about their site-based facilities and file 
applications, while providing a reasonable date certain that ULS will 
be sufficiently populated with site-based data to enable accurate 
frequency coordination. We propose to establish an application process 
for existing licensees with geographic licenses to identify P-P, P-MP, 
fixed receivers, base stations, and mobiles that are not licensed site-
by-site. Under this process, incumbent licensees would file one or more 
applications, and update or delete the existing licenses as necessary 
to eliminate redundancy following a Public Notice announcing that ULS 
is ready to accept such applications. There would be no fee for the 
application process since only public safety eligible entities are 
currently authorized in the band, and the Commission does not charge 
application fees for public safety entities. We seek comment on this 
proposal.
    AASHTO suggests that incumbent licensees should be required to 
submit to frequency coordination either when their licenses are set for 
renewal or within one calendar year of the Commission's adoption of 
coordination requirements. We disagree because the purpose of the 
application process is to collect missing incumbent data so that fixed 
operations would be visible in the database. Although a richer database 
will better aid future coordinations, coordination of incumbents is not 
necessary to accomplish this goal and would impose unnecessary cost. 
Accordingly, for this incumbent application process, we propose to 
grant NYCTA's request to waive frequency coordination requirements for 
one year following the effective date of those rules. However, we 
propose that after the one-year deadline, an application from an 
incumbent licensee to supply the required database information would be 
treated as any other application for a new license or modification, 
i.e., it would require frequency coordination. We seek comment about 
whether the status of a license should become secondary if the 
incumbent licensee does not meet the one-year deadline.
    Finally, we decline to propose that incumbent licensees modify 
their licenses to conform to the new proposed rules and band plan. We 
agree with commenters such as Region 8 and King County/Seattle that 
such action would be unduly burdensome and inequitable to incumbent 
licensees, which already use the band for mission critical public 
safety operations. Instead, we propose to grandfather existing 
licensees from having to make any technical modifications to conform to 
the new rules and band plan, other than

[[Page 20017]]

providing more sufficient data as we discussed above, as of the 
effective date of new rules adopted in this proceeding. However, 
applications from incumbent licensees submitted more than one year 
after the new rules are in effect would be subject to the new proposed 
rules and band plan.

Regional Planning

    Section 90.1211(a) of the Commission's rules provides that each RPC 
region may submit a plan with guidelines to be used for sharing 
spectrum in the 4.9 GHz band. The rules list elements to be included in 
regional plans and provide instructions for the plan's modification. 
Although the Commission originally set a deadline for all RPCs to 
submit 4.9 GHz regional plans, it subsequently decided to make plan 
submission voluntary and stayed the deadline. To date, only 10 out of 
55 RPC regions have submitted 4.9 GHz regional plans. In the Fifth 
FNPRM, the Commission sought comment on whether it should lift the stay 
and amend Sec.  90.1211 to require Regional Plans to cover permanent 
fixed links and base stations, as well as mobile and temporary fixed 
links.
    NPSTC's Plan states that ``a single national plan for 4.9 GHz will 
meet most regions' needs,'' but ``some regions will need some different 
parameters to better meet needs of users in their regions. NPSTC 
proposes to allow RPCs to file amended regional plans specific to 4.9 
GHz to reflect regional considerations, including a required showing of 
need, within 120 days after the Commission adopts new rules for the 
band. Several commenters support RPC involvement in the 4.9 GHz band.
    Discussion. We believe that RPCs should play an integral role in 
shaping use of the 4.9 GHz band through regional planning. In this 
connection, we propose to afford RPCs the flexibility to file new and 
amended regional plans for Commission review and approval to reflect 
their region-specific needs or considerations as supported by a showing 
of need. Alternately, RPCs would have the option to default to the 
national rules without regional variation by taking no action. We seek 
comment on this proposal, and on how to implement regional variations.
    NPSTC recommends that RPCs be able to make region-specific changes 
in the following four areas: (i) Enabling additional channel 
aggregation; (ii) incorporating an additional channel designated for 
specialized use; (iii) placing limits on the use of P-P links in urban 
areas or imposing more stringent antenna requirements or other 
technical parameters to allow greater channel reuse; and (iv) in rural 
areas, allowing higher radiated power for longer path lengths and non-
line of sight paths. We tentatively disagree with the NPSTC Plan's 
proposals for item (i) because we propose to allow 40 megahertz channel 
aggregation, and for item (iv) because we believe that the upper 
equivalent isotropically radiated power (EIRP) limits should be 
codified in our rules rather than left to the discretion of the RPCs. 
We propose to allow regional plans to be submitted for Commission 
approval that include variations for items (ii) and (iii) as well as 
for polarization. In lieu of item (i), we propose to allow RPCs to 
limit aggregations to 20 megahertz as discussed above. We also propose 
to limit the ability of RPCs to restrict non-public safety licensing 
eligibility to a greater degree than is provided in the Commission's 
rules. In general, we believe that providing these areas in which a 
regional plan can deviate from the national plan, combined with the 
overall flexibility of the band plan we propose, will enable regions to 
meet most needs of their users without threatening investments in 
existing deployments. Because we cannot foresee all areas in which RPCs 
may need flexibility, we propose to allow RPCs to request changes 
outside these areas pursuant to a waiver request. We are mindful that 
regional variations add a challenge to frequency coordination, but we 
believe that frequency coordinators have the tools to keep track of 
these variations. We seek comment on relative costs and benefits 
arising from this approach, which would not change the status of 
regional plans as optional.
    We seek comment on when RPCs should be required to submit regional 
plans. Comments on this issue were mixed, with suggested deadlines of 
180 days, 240 days, and 12 months after final rules are effective. 
Considering the resource constraints on RPCs, we propose a deadline of 
six months after the effective date of final rules for each RPC to 
notify the Commission either that it intends to file a regional plan or 
that the region will default to the general rules, and a deadline of 
one year after rules adopted in this proceeding become effective for 
the filing of regional plans. Prior to Commission acceptance of any 
regional plan, we propose to allow new applications for 4.9 GHz 
licenses to be filed consistent with updated general rules. These 
licenses would be grandfathered for the duration of the license period. 
We would lift the current stay on Sec.  90.1211(a) once the proposed 
rule modification becomes effective. We propose to continue to accept 
regional plans and amendments after the one-year deadline for the 
benefit of those RPCs that lack the resources to file timely regional 
plans or are not yet formed, but the purpose of the deadline is to 
provide a goal to commence licensing based on regional plan 
considerations. The Public Safety and Homeland Security Bureau would 
place any submitted regional plans on public notice for comment. With 
regard to Plan Amendments, we seek comment on establishing a 
streamlined process for staff review of such modifications, including 
defining ``major'' and ``minor'' plan modifications as defined by Sec.  
90.527(b) of the rules. We seek comment on these proposals and solicit 
alternative suggestions, especially from the individual RPCs. We seek 
comment on any burdens that the regional plan filing deadline may place 
on small entities.
    Finally, we decline the NPSTC Plan's recommendation to permanently 
waive the existing requirement to obtain concurrence from adjacent 
regions for plan amendments. The NPSTC Plan makes no mention of the 
existing adjacent region coordination requirement for initial regional 
plans, and we do not see why regional plan amendments should not also 
be subject to adjacent region review. This adjacent region review 
process for plan amendments has worked in the 700 MHz and 800 MHz 
bands, and we do not believe the process which is currently in place is 
unduly burdensome on RPCs for the 4.9 GHz band. We seek comment on 
whether adjacent region review requirements would place undue burdens 
on small entities.

Technical Standards

    In the Fifth FNPRM, the Commission sought comment on whether to 
adopt technical standards for 4.9 GHz band equipment. While 
acknowledging that the Commission previously had declined to mandate 
such a technical standard, the Commission sought comment on using IEEE 
802.11 as a potential standard solution, given the standard's worldwide 
availability and flexibility in supporting various applications. Some 
commenters to the Fifth FNPRM assert that mandatory technical standards 
would inhibit technological development in the band, restrict local 
flexibility and control, and render existing equipment obsolete. Other 
commenters contend that standards would promote national 
interoperability and lend certainty to the marketplace for 4.9 GHz 
equipment.

[[Page 20018]]

A number of these commenters express specific support for an 802.11-
based standard.
    Discussion. Since the Commission adopted service rules for the 4.9 
GHz band in 2003, the 4.9 GHz band has not fostered a market for 
diverse technology or inexpensive equipment, which in turn has led to 
underutilization and a slow influx of users. In general, the Commission 
has favored technology-neutral rules and has avoided adoption of 
mandatory standards, a model that has worked in many spectrum bands. 
However, the record in this proceeding suggests that some public safety 
users may desire greater certainty regarding technical standards to 
stimulate investment in the band. While we tentatively conclude that we 
should not adopt mandatory technical standards for the 4.9 GHz band and 
seek comment on this view, we seek comment on how to encourage 
voluntary implementation of technical standards for equipment in the 
band that can provide certainty for public safety users while also 
providing appropriate incentives for manufacturers to develop 
innovative and cost-effective equipment that will encourage 
interoperability, discourage fragmentation, and reduce equipment costs 
through higher economies of scale. Would a voluntary industry standard/
framework that would not be promulgated in our rules be appropriate and 
preferable to incorporating such a standard (or any other) in our 
rules? Are there industry standards available in the 4.9 GHz band, and 
if not, what is the likelihood that applicable standards could be 
extended to the 4.9 GHz band? What would be the relative cost and 
benefit of different voluntary standards for high-power and low-power 
systems?

Point-to-Point and Point-to-Multipoint

    Until 2009, permanent fixed P-P and P-MP stations in the 4.9 GHz 
band were secondary to base, mobile, and temporary fixed operations. In 
2009, the Commission permitted licensing of permanent fixed P-P and P-
MP stations that deliver broadband services on a primary basis, while 
those stations that deliver narrowband traffic remain secondary to 
other operations in the 4.9 GHz band. In the Fifth FNPRM, the 
Commission sought comment on whether to license all permanent fixed P-P 
stations on a primary basis, regardless of whether they support 
broadband or narrowband traffic, or whether permanent fixed P-MP 
stations not delivering broadband service should remain secondary.
    Discussion. Secondary status requires the user to accept the risk 
of interference and to cease operation if it causes interference to a 
primary licensee. The supporting commenters persuade us that primary 
status for P-P and P-MP links that carry or support narrowband traffic 
would resolve this risk and increase usage of the 4.9 GHz band because 
it would give potential users confidence to invest in the band. Given 
the divided comment record on primary status for narrowband P-P and P-
MP links, we propose to allow licensees to use individual 1-MHz 
bandwidth Channels 14-18 for permanent fixed P-P and P-MP operations on 
a primary basis, while existing permanent fixed P-P and P-MP operations 
on individual 1-MHz bandwidth Channels 1-5 would remain secondary, with 
no such further licensing allowed on those channels due to the proposed 
aeronautical mobile and robotic designation. We seek comment on this 
proposal, including its relative costs and benefits. Under the status 
quo, any competing public safety organization in dense urban areas 
could obtain secondary licenses for P-P and P-MP links on channels 14-
18 with no obligation to protect each other from interference. 
Accordingly, one potential cost of a proposal to license these links on 
a primary basis is that it could increase the difficulty of competing 
public safety organizations in dense urban areas to obtain primary 
licenses for base, mobile, and temporary fixed operations in channels 
14-18 because primary users are entitled to interference protection and 
cannot be licensed with overlapping channel assignments and areas of 
operation as secondary use may allow. How likely is this to occur, and 
what would be the cost of a work-around?
    The NPSTC Plan recommends that applications for P-P licenses 
include a showing as to the need for the bandwidth requested, to 
address the potential of P-P links to cause interference. At this time, 
we do not propose to impose such a requirement, which no other 
commenter has suggested, because the record does not contain objective 
benchmarks for correlating various uses with bandwidth needs. We have 
found that no evidence of P-P interference in the record, and we invite 
commenters to submit any such evidence. Further, we believe that 
technical rule changes we propose below in the Power Limits section may 
reduce interference potential by producing more directional P-P links. 
We seek comment on our view and on these concerns.
    Next, in order to limit ``temporary'' links to truly temporary 
uses, we propose to adopt the NPSTC Plan's recommendation that 
temporary P-P links may only be operated for thirty days maximum over a 
given path in a one-year period. Any application for longer operation 
would require a showing why longer duration is needed and how the link 
is supporting public safety protection of life and property. We seek 
comment on whether the number of days should be reduced or increased 
and the reasons therefor. We seek comment on the relative costs and 
benefits of the limitation proposed here, as well as any alternate 
proposals. We solicit alternative suggestions and solicit comment on 
burdens that a timeframe limitation on temporary P-P links would place 
on small entities.
    Finally, we decline to consider a request from the comment record 
that the band be used only for fixed uses. The band supports 
substantial mobile use, and it would be contrary to the public interest 
to force such operations to relocate from the 4.9 GHz band or cease 
operation. We believe that with the regional planning process combined 
with frequency coordination, the goal of increased density of fixed 
link deployment can occur with rule changes regardless of mobile 
presence. We seek comment on this tentative conclusion.

Power Limits

    The 4.9 GHz rules contain power output limits that depend on the 
channel bandwidth for both low power and high power transmitters. High 
power P-P and P-MP links may use directional antennas with gains 
greater than 9 dBi and up to 26 dBi with no reduction in conducted 
output power, but if antennas with a gain of more than 26 dBi are used, 
the maximum conducted output power and peak power spectral density must 
be reduced by the amount in decibels that the directional gain exceeds 
26 dBi. The Commission imposed the antenna gain rule ``in order to 
avoid interference from fixed operations to mobile operations.''
    In the Fifth FNPRM, the Commission sought recommendations for an 
effective radiated power (ERP) limit for high power, permanent and 
temporary fixed transmitters, and whether to impose a maximum ERP limit 
on point-to-point links. Going forward, we will discuss radiated power 
levels in the 4.9 GHz band in terms of EIRP, rather than ERP, because 
antenna gains in the 4.9 GHz band rules are conventionally specified in 
terms of gain relative to an isotropic reference (dBi). To make point-
to-point use in the band more efficient, the Commission also sought 
comment on whether it should establish a different minimum gain for P-P 
transmitting antennas and, if so, what value of gain

[[Page 20019]]

would be appropriate and what power reduction, if any, should be 
required.
    The NPSTC Plan does not address ERP limits, but it notes that Sec.  
101.143 of the Commission's rules specifies a formula for reducing the 
maximum EIRP for short path lengths and proposes ``that the frequency 
coordinators use a similar reduction in maximum EIRP for short path 
lengths with formulas developed based on transmit powers allowed in 
this band.'' The NPSTC Plan further recommends that for P-P links an 
antenna with a minimum gain of 26 dBi, a maximum of 5.5 degree 
beamwidth and a minimum 25 dB front-to-back ratio be required. The 
NPSTC Plan also recommends that frequency coordinators be allowed to 
impose tighter specifications for the antenna if that allows assignment 
of a channel that otherwise would cause interference. NPSTC states that 
equipment using ``multiple modulation rates and/or MIMO [multiple-input 
and multiple-output] antenna technologies'' is inefficient and proposes 
that ``they normally not be allowed in the band.'' NPSTC recommends 
that requests for higher EIRP levels only be granted under waiver and 
receive full coordination so that both frequency coordinators and RPCs 
can comment.
    The APCO Report argues for ``increasing the size of the antennas 
supporting 4.9 GHz operations.'' APCO states that ``larger directional 
antennas (i.e. 4' diameter and above) have more discriminatory ``off-
path'' antenna patterns and FB (Front-to-Back) ratios which allow the 
coordinator to assign frequencies closer together and permit more 
systems to co-exist, interference-free, within a given frequency 
band.'' APCO also contends that ``there are cases where a larger 
antenna may allow the coordinator to assign a frequency to a system 
where a smaller antenna may not have an efficient enough antenna 
pattern.''
    Discussion. We propose to allow P-P transmitting antennas to 
operate with a minimum directional gain of 26 dBi, maximum 5.5 degree 
beamwidth and minimum 25 dB front-to-back ratio. Antenna physical size, 
or area, is related to antenna gain. Although the rules do not contain 
restrictions on physical antenna size, we believe this proposal will 
enable users to deploy larger directional antennas, as recommended in 
the APCO Report, and to produce narrower beam widths and more 
directional P-P links, which should enable co-channel users in 
congested areas to place links closer together and achieve greater 
frequency reuse. Moreover, the higher gain would increase the EIRP so 
that P-P links can cover longer distances, which could save users the 
expense of deploying multiple, low EIRP links. Further, the record 
indicates that several low cost antennas that meet these requirements 
are already available. We seek comment on the relative costs and 
benefits of this proposal. We invite commenters to provide additional 
information about these antennas and associated costs in the record and 
we seek comment on the levels of directional antenna gains that 
licensees are using today. We also seek comment about burdens that a 
change to the antenna gain rules would place on small entities, 
notwithstanding that we propose to grandfather existing P-P and P-MP 
installations from having to replace antennas.
    We seek comment on whether the rules should contain a maximum EIRP 
limit for directional links. Although the NPSTC Plan proposes no 
maximum EIRP, three commenters suggest power levels equivalent to 
maximum EIRP levels of 65.15 dBm for P-P and 55.15 dBm for P-MP to 
``promote the use of the band for longer range communications . . . , 
particularly in rural areas.'' Accordingly, we seek comment on these 
EIRP limits. Since we noted above that the upper power limits need to 
be codified in the rules, we seek comment on whether these proposed 
power limits are adequate to meet the needs of regions whose users 
would deploy links with long path lengths in rural areas. We also seek 
comment on whether such an increase in maximum power levels for 
directional links creates any additional interference concerns and how 
it might affect the ability to coordinate additional links. Similarly, 
what effect might such an increase have on the ability for continued 
mobile operations in the band? We seek comment on whether emission mask 
M is sufficient, or whether a tighter emission mask should be imposed 
for these higher power operations. We seek further comment on other 
power suggestions in the record and how they would fit with the above 
proposals.
    Finally, we decline to propose restrictions on multiple modulation 
rates and MIMO antenna technologies as proposed by the NPSTC Plan. We 
agree with the City of New York that ``Multiple Input Multiple Output 
(MIMO) technology is a key element of both the 802.11n standard and LTE 
standards. Rather than being less spectrally efficient, it is more so 
as it provides for increased throughput and range.'' Similarly, 
multiple modulation rates are more spectrally efficient and offer 
licenses additional flexibility in the planning and operation of their 
systems.

Polarization

    The Fifth FNPRM sought comment on requiring P-P links to use a 
specific polarization, e.g., horizontal or vertical, to reduce 
potential interference to other links or to portable or mobile devices. 
The Commission sought comment on the costs of changing an antenna's 
polarization and whether polarization diversity would increase 
throughput.
    Discussion. Given the mixed comment record, we decline to propose 
any polarization requirements in our rules. However, we still believe 
that polarization can be a tool to increase density of P-P links in a 
given area and to address cases of actual interference between two or 
more P-P links. We note that side-by-side co-channel P-P links with 
orthogonal (opposite) polarizations could operate with minimized 
interference because each receive antenna would reject signals of the 
opposite polarization. We are also encouraged that dual polarization 
together with polarization multiplexing can increase capacity in a P-P 
link, as Cambium suggests. As discussed above, we propose to allow 
regional plans submitted for Commission review pursuant to Sec.  
90.1211 to propose any polarization schemes for new applications within 
their regions as necessary to maximize frequency reuse, manage 
interference, and increase throughput. As part of the application 
frequency coordination process, frequency coordinators would be able to 
recommend a particular polarization for a proposed P-P link in those 
regions. We seek comment on this proposal.

Deployment Reports, Construction Deadlines

    The Fifth FNPRM sought comment on whether to require 4.9 GHz 
licensees to file periodic deployment reports to better inform the 
Commission about usage of the band. The Commission indicated that 
reports could include information such as status of equipment 
development and purchase, including number of devices and users; site 
development, including use of existing towers; deployments and upgrades 
(commencement and completion), including site information and location; 
and applications in development or in use. The Commission also sought 
comment on reporting frequency.
    Discussion. Although a deployment report requirement had some 
support in the record, we agree with the opposing comments regarding 
burdens on licensees and decline to propose requiring deployment 
reports. In addition to imposing a burden, such reports would be 
superfluous given our

[[Page 20020]]

database proposal discussed above, in which existing licensees would 
file certain additional information on their operating parameters.
    However, we propose to establish a one-year construction deadline 
for all 4.9 GHz licensees, with a corresponding construction reporting 
requirement. The current rules impose an 18-month construction deadline 
only on fixed P-P stations that are licensed on a site-by-site basis, 
and no construction deadline for base and temporary fixed stations. We 
believe that shortening the construction period to one year for all 4.9 
GHz licenses will lead to more timely use of the spectrum and reduce 
the possibility of spectrum warehousing. Accordingly, we propose to 
require all 4.9 GHz geographic licensees to place at least one base or 
temporary fixed station in operation within 12 months of license grant 
and file a standard construction notification with the Commission. We 
also propose to reduce the construction period for fixed point-to-point 
stations from 18 months to 12 months. These proposed rule changes will 
also harmonize the construction deadlines for the 4.9 GHz band with the 
deadlines of Sec.  90.155, which is the analogous rule for the majority 
of part 90 radio services. We note that we have received no objections 
to this construction deadline change. We seek comment on these 
proposals, on their relative costs and benefits, on the burdens that 
the proposed construction deadline would place on small entities, and 
on alternative solutions that would achieve the same goal.

Eligibility, Shared Use, and Other Alternatives

    Currently, only entities providing public safety services are 
eligible for licenses in the 4.9 GHz band. Non-public safety entities--
including CII entities--may use the 4.9 GHz spectrum by entering into 
sharing agreements with eligible public safety licensees, but only for 
``operations in support of public safety.'' In light of the limited use 
of the band to date by public safety, the Fifth FNPRM sought comment on 
whether expanding eligibility to non-public safety users might lead to 
increased use and reduction in equipment costs that would benefit 
public safety. Specifically, the Commission sought comment on whether 
CII entities should be eligible to hold primary 4.9 GHz licenses, thus 
removing the requirement for a sharing agreement, and also whether the 
band should be opened to commercial users on a secondary or non-
interfering basis subject to a shutdown mechanism to enable priority 
access by public safety entities. In response to the Fifth FNPRM, the 
NPSTC Plan proposed to extend primary 4.9 GHz eligibility to CII. More 
recently, other ex parte filers have recommended various secondary 
spectrum sharing approaches combined with maintaining priority status 
for public safety in the 4.9 GHz band.
    In this Sixth FNPRM, we seek to further discuss these alternative 
eligibility and spectrum sharing approaches and other alternatives for 
the band. We seek comment on four specific alternatives outlined below, 
and on whether the four alternatives or elements thereof could be 
combined. We also solicit comment on any other sharing approaches that 
would meet the Commission's goals for the band.

Extending Eligibility to CII

    The NPSTC Plan proposes to expand eligibility to afford CII co-
primary status with public safety in the 4.9 GHz band and allow CII 
entities immediate access to two five-megahertz channels (Channels 6 
and 7). On the remaining channels in the band, NPSTC proposes to 
preserve public safety's licensing priority for three years, but would 
allow CII to seek access on a notice basis. Under the proposed notice 
procedure, a CII entity's application to use unoccupied channels would 
be put on public notice, and any public safety entity in the same 
geographic area as the CII entity's planned system would have 30 days 
to file an application for the same channels, in which case the public 
safety applicant would prevail. This notice process would expire after 
three years after the Commission's rules become effective, at which 
point public safety and CII would have equal access to all channels in 
the band with no required notice.
    The majority of commenters responding to both the Fifth FNPRM and 
the NPSTC Plan support expanding 4.9 GHz band eligibility to CII 
entities. APCO and FCCA/IAFC/IMSA assert that CII eligibility would 
enhance interoperability between utilities and public safety agencies 
during and immediately following major emergencies, although APCO 
cautions that CII use should be ``carefully monitored to ensure that 
public safety needs are considered in every potential conflicting 
filing.'' The Utilities Telecom Council (UTC) states that CII primary 
eligibility ``could provide capacity and coverage for smart grid and 
other applications . . . [and] would promote investment in and more 
effective use of the spectrum.''
    Some public safety commenters oppose direct licensing of CII 
entities and advocate retaining the requirement that CII entities may 
only use the 4.9 GHz band pursuant to sharing agreements with public 
safety licensees. In response, Southern Company contends that ``the 
current eligibility rules for the 4.9 GHz band do not correlate with 
marketplace or political realities,'' because CII entities are 
``understandably reluctant to enter agreements whereby their investment 
in infrastructure, and their use of a vital communications resource, 
could be rendered worthless at any time, including when that resource 
is needed most.''
    Some commenters advocate expanding CII eligibility to include 
additional categories of potential users. The Enterprise Wireless 
Alliance (EWA) proposes extending 4.9 GHz band eligibility to ``all 
private internal systems'' that ``have defined areas of operation not 
necessarily focused on population centers, often conducted in a campus-
type environment that can be coordinated with public safety usage.'' 
The Alarm Industry Communications Committee (AICC) argues that alarm 
companies should have primary access to the 4.9 GHz band in order to 
allow them ``to more efficiently and rapidly gather and forward to 
PSAPs information about emergencies.''
    Discussion. We seek comment on whether offering CII co-primary 
status with public safety is likely to create incentives for increased 
investment in the 4.9 GHz band. The Commission has recognized that 
railroad, power, and petroleum entities use radio communications ``as a 
critical tool for responding to emergencies that could impact hundreds 
or even thousands of people.'' Extending eligibility to CII could 
encourage collaborative investment by public safety and CII users of 
the 4.9 GHz band to improve response to emergencies that affect both 
public safety and critical infrastructure. We seek comment on this 
approach, including its potential relative costs and benefits.
    We also seek comment on whether eligibility for CII entities should 
be conditioned on using the band to provide ``public safety services'' 
as that term is defined in Section 337(f)(1)(A) of the Communications 
Act of 1934, as amended. For example, API requests that CII entities be 
permitted to use the band for any purpose, not just in support of 
public safety. Would eliminating the requirement that the band be used 
for ``public safety services'' by CII users increase use of the band, 
lowering equipment costs and facilitating the other benefits of CII 
access to the band? Or would it unduly

[[Page 20021]]

increase congestion? Considering the public safety focus of the 4.9 GHz 
band, should we limit CII use of the 4.9 GHz band to communications 
related to the protection of life, safety, and property, as opposed to 
general business purposes? If we maintain the requirement, how should 
the Commission ensure compliance by CII users (and what are the costs 
of doing so)? Given public safety's relatively modest use of 4.9 GHz 
spectrum to date, we think there is sufficient remaining spectrum in 
the band to accommodate both expanded use by public safety and CII co-
primary use. Stated otherwise, we think the benefits of co-primary use 
of the band by both CII and public safety can be realized at slight or 
no cost to public safety. We seek comment on this characterization. Is 
there reason to elevate public safety communications in the band over 
other uses? If so, would preferential algorithms built into equipment 
ensure priority of public safety communications? How would that 
priority be achieved? Would such priority be sufficient to ensure that 
public safety traffic would not be interfered with? We seek comment on 
affording public safety priority over other users and how priority 
would be achieved.
    If we grant co-primary eligibility to CII entities without the need 
for a sharing agreement with a public safety entity, we seek comment on 
NPSTC's proposal to provide CII immediate, co-primary access to 
Channels 6 and 7 during the first three years, to establish a notice 
procedure for CII access to the remainder of the band during the three-
year period, and to open up the entire band to CII thereafter. Should 
we consider alternative access arrangements, such as providing CII 
immediate access to Channels 12 and 13, which could be coupled with 
access to narrowband Channels 14-18 to create 15 megahertz of 
contiguous spectrum for CII to access on a co-primary basis? Should we 
exclude Channels 1-5 from CII eligibility in light of our proposal to 
dedicate this segment to public safety aeronautical mobile and robotic 
use? We seek comment on these options and solicit any alternative 
suggestions.
    We in turn seek comment on extending 4.9 GHz band co-primary 
eligibility to all private internal systems, as EWA requests. Would 
doing so be consistent with our core goal of supporting critical public 
safety needs? Similarly, we seek comment on extending primary 
eligibility to alarm companies as advocated by AICC. Does the fact that 
the Commission's recent review of ULS in another proceeding suggesting 
that certain frequencies designated for central alarm operations may be 
underutilized affect how we should approach this request? Finally, we 
note that the Commission's general approach to making spectrum 
available in recent years has leaned toward flexible use rather than 
allocations to specific industries. We seek comment on how granting CII 
entities eligibility for co-primary status is consistent with this 
approach. We also ask how CII entities' need for co-primary use of this 
band can be differentiated from the needs of other critical and safety-
related industries that may seek access to this band in the future.

Leasing

    In the 2003 4.9 GHz Third Report and Order, the Commission allowed 
non-public safety entities engaged in providing public safety-related 
services to be licensed in the 4.9 GHz band to support public safety 
operations. In 2004, the Commission permitted public safety licensees 
with ``exclusive spectrum rights'' to lease their spectrum to other 
public safety entities eligible for such a license authorization and to 
entities providing communications in support of public safety 
operations. Based on the record at that time, the Commission declined 
to permit public safety licensees to lease 4.9 GHz spectrum for 
commercial or non-public safety operations. Specifically, the 
Commission noted that commenters expressed concern that such leasing 
could face statutory barriers or result in abuse without the 
implementation of regulatory safeguards. In the Secondary Markets 
Order, the Commission also noted that allowing such leasing could be 
premature given the then-nascent state of ``interruptible use'' 
technology that would enable public safety licenses to immediately 
reclaim the use of any leased spectrum for public safety emergencies.
    Discussion. In this Sixth FNPRM, we seek to establish new licensing 
and service rules for the 4.9 GHz band that will spur investment and 
innovation while furthering public safety use of the band. We seek 
comment on whether these objectives could be facilitated by expanding 
the leasing alternatives available to public safety in the band. In 
particular, should we remove the current limitation and allow public 
safety licensees that have obtained exclusive spectrum rights in the 
4.9 GHz band to lease spectrum capacity to CII or to commercial 
entities generally? Would such expanded leasing flexibility stimulate 
investment in equipment and networks that would benefit public safety 
and further our objectives for increased use of the band? Would such 
leasing opportunities present public safety entities with new potential 
revenue streams that could be used to increase investment in NG911 
operations or to purchase new 4.9 GHz equipment? What rule changes, if 
any, would best facilitate bringing the economies of scope and scale 
that come with commercial use of a band to this public safety spectrum? 
How would a leasing alternative lead to increased use of the band 
compared to the current environment, where non-public safety entities 
can to enter into sharing agreements with public safety licensees? What 
are the relative costs and benefits of expanding leasing alternatives?
    We also seek comment on how best to ensure that public safety would 
retain priority access to 4.9 GHz spectrum in any commercial leasing 
framework. As noted above, the Commission cited a dearth of technology 
in 2004 that would support ``interruptible'' spectrum leasing. In light 
of the significant technological advances that have occurred since 
then, does technology now exist that would enable public safety to 
interrupt other spectrum users and reclaim leased spectrum capacity in 
emergencies? Should non-public safety entities that lease spectrum 
capacity have primary status because they entered agreements with 
specific public safety licensees? If so, how would public safety 
priority function?
    As noted above, in the Secondary Markets Order the Commission cited 
to comments expressing concern that the Communication Act might be a 
barrier to allowing public safety entities to lease spectrum that had 
been designated for public safety for non-public safety operations. 
Those comments suggested that because Section 337 of the Communications 
Act of 1934 defines ``public safety services'' as services that ``are 
not made commercially available to the public by the provider,'' the 
Commission could be limited in its ability to allow non-public safety 
services on bands designated for public safety services. However, 
Section 337's proscription on commercial operations is expressly 
limited to 24 megahertz of spectrum in the 700 MHz band, and there is 
no equivalent statutory limitation on the 4.9 GHz band. Section 90.1203 
of our rules, which governs eligibility for 4.9 GHz licenses, 
incorporates the requirements and conditions set forth in Sec.  90.523 
of our rules, which in turn implements Section 337 of the Act, and 
provides that applications in this band are limited to operations in 
support of public safety. The Commission tentatively concludes that it 
has authority to modify Sec.  90.1203 to allow public safety licensees 
to enter

[[Page 20022]]

into leases for non-public safety or commercial uses in the 4.9 GHz 
band. We seek comment on this tentative conclusion. Are there any other 
potential jurisdictional barriers to adopting the rules proposed here?
    If we authorize expanded leasing by public safety in the 4.9 GHz 
band, should there be conditions or limitations on use of leased 
spectrum or expenditure of leasing revenues to safeguard against 
potential abuse? For example, should use of leased spectrum be limited 
to communications in support of public safety or should all 
communications be allowed regardless of whether they have a public 
safety nexus? Can or should we require public safety licensees that 
receive leasing revenues to invest such revenues solely for public 
safety purposes, e.g., for procurement of public safety equipment or 
maintenance and operational costs of the network? Would such a 
requirement be consistent with the Miscellaneous Receipts Act? Are 
there provisions of state or local law relating to use of funds by 
local public safety entities that the Commission should take into 
consideration here? How would compliance with such a requirement be 
audited and enforced?
    We seek comment on the relative costs and benefits of a commercial-
leasing options vis-[agrave]-vis the CII co-primary option discussed 
above. Which option would bring the greatest innovation to the 4.9 GHz 
band? Which option would best facilitate the introduction of new, lower 
cost equipment? Which option would best empower public safety users--
the case-by-case leasing to commercial entities where public safety 
users must sign off on each use or the ability of CII users to gain co-
primary access to the spectrum without further public safety input? In 
short, which of these options would best serve our goals in increasing 
shared use of this band at the lowest cost? As noted above, given 
public safety's relatively modest use of 4.9 GHz spectrum to date, we 
think that allowing leasing would not impose any cost on public safety. 
Stated otherwise, we think the benefits of allowing more efficient 
spectrum use through leasing can be realized at no cost to public 
safety. We note that there are potential revenue streams from leasing, 
further supporting our judgement that allowing leasing would be produce 
benefits that exceed relative costs. We seek comment on this 
characterization.

Two-Tiered Sharing on a Secondary Basis

    In the Fifth FNPRM, the Commission sought comment on whether to 
open 4.9 GHz band eligibility to commercial users on a secondary or 
non-interfering basis, while ensuring priority access for public safety 
entities by means of a sharing mechanism, such as dynamic access 
control based on a database similar to that used for TV white spaces 
devices. In response, some commenters support extending eligibility to 
commercial entities on a secondary basis. Carlson, AICC, Spectrum 
Bridge, SSC, and WISPA suggest that adopting an intelligent, dynamic 
database system as the sharing mechanism could allow non-public safety 
to use the 4.9 GHz band on a secondary basis. The APCO Report 
recommends that the Commission consider ``build[ing] upon the `white 
space' model and apply[ing] it to the 4.9 GHz arena to spur development 
by increasing the potential customer base, including within the CII 
segment.'' APCO recommends that the Commission study ``[a]n innovative 
approach that incorporates essential features such as frequency 
coordination, with newer spectrum management tools that could expand 
the user base while preserving reliable access for public safety.''
    However, many public safety commenters oppose opening the band to 
commercial users, even on a secondary basis. These commenters express 
concern that because public safety generally requires greater lead time 
than commercial entities to secure funding to construct communications 
systems, commercial operations could foreclose public safety use and 
increase the risk of interference and congestion. Commenters also 
express skepticism about the feasibility of a using a dynamic database 
as a sharing mechanism. FCCA/IMSA/IAFC argue that ``white space-style 
databases are not appropriate for the 4.9 GHz band'' because they rely 
on equipment that employs geo-location or similar technologies, and 
``requiring 4.9 GHz devices to incorporate geo-location or similar 
capabilities will unnecessarily impede the development of equipment for 
the band.'' Southern similarly ``does not believe the database paradigm 
used for TV White Spaces . . . devices would be appropriate for the 4.9 
GHz band,'' citing the risk to public safety that could be caused by 
``loss of critical communications service due to database errors, 
malfunctions of the coordination system, or loss of connectivity with 
the database.''
    Discussion. As a third option, we seek comment on the feasibility 
of a two-tiered sharing approach, in which Tier 1 would consist of 
primary licensees in the band (including all incumbent users), while 
Tier 2 would allow other non-public safety users to access the band on 
a secondary basis, with safeguards to ensure priority and interference 
protection for Tier 1 operations. We seek comment on potential 
mechanisms that could facilitate two-tiered sharing in the 4.9 GHz band 
while protecting primary users.
    For example, could we implement Tier 2 secondary access to the 4.9 
GHz band using frequency coordination and licensing procedures similar 
to those we are proposing for primary licensing? The public safety 
community has long relied on frequency coordination in other spectrum 
bands to protect mission-critical communications from interference. 
While this system has worked well in other bands, frequency 
coordination in the 4.9 GHz band would typically take place before 
deployment and does not take into account the dynamically changing 
environment of real-time spectrum usage. We seek comment on whether a 
frequency coordination approach to Tier 2 secondary use would provide 
sufficient flexibility to support dynamic spectrum use while protecting 
Tier 1 users. Would real-time coordination be feasible if we required 
Tier 2 users to provide digital identification and/or geo-location so 
that Tier 1 users could readily identify potential sources of 
interference to their systems? We seek comment on relative costs and 
benefits that a digital ID and/or geolocation requirement on Tier 2 
users would have, especially for Tier 2 small businesses.
    We also seek comment on the feasibility of developing an automated 
database system to enable dynamic Tier 2 secondary use of the 4.9 GHz 
band while protecting Tier 1 operations. We acknowledge the concerns 
raised by commenters that ``white-spaces'' databases previously 
developed for commercial bands might not provide sufficient assurance 
of real-time protection for mission-critical public safety operations. 
We seek comment on what capabilities an automated system would need to 
support the public safety requirements of the 4.9 GHz band. Should the 
database be centralized or distributed? What would it cost to design, 
build, and operate such a system, and who should be responsible for 
such costs? What information would Tier 1 and Tier 2 users need to 
enter and update in the database to facilitate dynamic spectrum 
sharing? What would be the cost and burden of providing such 
information? How would an automated system communicate with users' 
devices to help minimize interference and facilitate registration, 
coordination, and dynamic access?

[[Page 20023]]

What capabilities would be required to identify potentially interfering 
Tier 2 users in real time and to direct them to move to a non-
interfering channel or to shut down? We seek comment on these issues 
and on alternative models for spectrum sharing that would achieve these 
goals. Beyond the upfront cost of designing, building and operating the 
automated database system, and recurring database maintenance costs--
both necessary to enable dynamic Tier 2 secondary use--such dynamic 
spectrum sharing would appear to impose few costs on public safety 
because it would retain primary access to the spectrum as needed. These 
costs would be the costs of entering and updating information to the 
automated database. We seek comment on whether the benefits to 
secondary users would outweigh the upfront, recurring, and database 
entry relative costs, and any other appreciable costs that we may not 
have taken into account.

Redesignation of the Band

    As this spectrum has been underutilized, we request comment on 
redesignating the 4.9 GHz band, wholly or partially, to support 
commercial wireless use. Are the bases for the Commission's decision in 
2002 to allocate the entire band for public safety purposes still 
valid, or does the public interest now call for a change? For example, 
would the public interest be best served if this spectrum could be used 
for commercial applications, such as 5G, or would it be better to 
strike a balance between public safety and commercial uses? What are 
the relative costs and benefits of a commercial use of this spectrum as 
weighed against the band plan we propose above or the sharing use 
alternatives on which we seek comment? If only a portion of the band 
were to be redesignated, how should the band be divided between public 
safety and commercial use? If any or all of the spectrum is 
redesignated for commercial wireless purposes, should the Commission 
consider auctioning the redesignated spectrum, making licenses 
available on some other basis, or authorizing the spectrum for 
unlicensed use under part 15 of the Rules? We seek comment on any other 
alternatives to support commercial wireless use of the 4.9 GHz band. If 
the band were made available for licensed or unlicensed use, we seek 
comment on what the technical rules would be appropriate. Specifically, 
if the band were made available for licensed use, should we apply the 
power levels, emissions limits, and other technical requirements that 
are in the existing 4.9 GHz band technical rules, the Citizen's 
Broadband Radio Service (CBRS) as reflected in part 96 subpart E, or 
the technical rules for the AWS-3 spectrum as reflected in part 27 for 
the 1710-1780 MHz and 2110-2170 MHz bands? The CBRS rules assume time 
division duplex operation while the AWS-3 rules assume frequency 
division duplex operation, with each set of rules specifying separate 
technical requirements for base stations and mobile devices. If the 
band were made available for unlicensed use, we specifically invite 
comment on whether we should apply the same technical rules that exist 
for the U-NII band at 5150-5250 MHz under part 15 subpart E. If the 
Commission allows commercial use in all or part of the 4.9 GHz band, 
should it allow both mobile and fixed use? When considering whether to 
designate all or part of the band for commercial users, should the 
Commission consider designating the entire band in markets where there 
are no existing public safety 4.9 GHz facilities? In markets where 
there are public safety incumbents, should public safety use be limited 
to those incumbents or should a specified amount of the 4.9 GHz band be 
reserved for public safety use? If the Commission divides the band into 
commercial and public safety segments, would it need to establish guard 
bands or would in-band and out-of-band emission limits suffice to guard 
against harmful interference? Commenters should address how the loss of 
opportunities for public safety spectrum use in the 4.9 GHz band might 
affect congestion in other bands currently allocated for public safety 
use.
    In the event that the Commission redesignates any of the spectrum 
in the 4.9 GHz band, how should the Commission treat existing public 
safety systems operating in the band? Should public safety systems 
simply be grandfathered on their current frequencies? If so, should it 
be based on the frequencies licensed or those actually deployed and 
used? If the band is divided into public safety and commercial 
segments, should public safety licensees be required to relocate their 
facilities into the public safety segment? In the event the Commission 
elects to designate the entire band for commercial use, is there 
alternative spectrum to which existing public safety 4.9 GHz licensees 
can be relocated? If so, who should pay the relocation cost, e.g., if 
the Commission decides to auction the redesignated spectrum? Should 
auction proceeds be used to pay public safety's cost to relocate its 
systems? We seek comment on the relative costs and benefits of all of 
these options.

Procedural Matters

Ex Parte Presentations

    The proceeding shall 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 1.1206(b). In proceedings governed by 
rule 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.

Regulatory Flexibility Analysis

    As required by the Regulatory Flexibility Act of 1980, see 5 U.S.C. 
603, the Commission has prepared an Initial Regulatory Flexibility 
Analysis (IRFA) of the possible significant economic impact on small 
entities of the policies and rules addressed in this document. IRFA is 
set forth in Appendix C of the Sixth FNPRM. Written public comments are 
requested on the IRFA. These

[[Page 20024]]

comments must be filed in accordance with the same filing deadlines as 
comments filed in response to this Sixth FNPRM as set forth herein, and 
they should have a separate and distinct heading designating them as 
responses to the IRFA. The Commission's Consumer and Governmental 
Affairs Bureau, Reference Information Center, will send a copy of the 
Sixth FNPRM, including this IRFA, to the Chief Counsel for Advocacy of 
the Small Business Administration (SBA).

Initial Paperwork Reduction Act Analysis

    This document 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 (PRA). In addition, pursuant to the 
Small Business Paperwork Relief Act of 2002, Public Law 107-198, see 44 
U.S.C. 3506(c)(4), we seek specific comment on how we might ``further 
reduce the information collection burden for small business concerns 
with fewer than 25 employees.''

Ordering Clauses

    Accordingly, It is ordered, pursuant to sections 1, 4(i), 4(j), 
4(o), 301, 303(b), 303(g), 303(r), 316, 332, and 403 of the 
Communications Act of 1934, as amended, 47 U.S.C. 151, 154(i), 154(j), 
154(o), 301, 303(b), 303(g), 303(r), 316, 332, and 403, that this Sixth 
Further Notice of Proposed Rulemaking is hereby adopted.
    It is further ordered that the Commission's Consumer and 
Governmental Affairs Bureau, Reference Center, shall send a copy of 
this Sixth Further Notice of Proposed Rulemaking, including the Initial 
Regulatory Flexibility Analysis, to the Chief Counsel for Advocacy of 
the Small Business Administration.

List of Subjects in 47 CFR Parts 0, 2, and 90

    Organization and functions (Government agencies); Communications 
equipment; Radio; Reporting and recordkeeping requirements.

Federal Communications Commission.
Marlene Dortch,
Secretary, Office of the Secretary.

Proposed Rules

    For the reasons discussed in the preamble, the Federal 
Communications Commission proposes to amend 47 CFR parts 0, 2 and 90 as 
follows:

PART 0--COMMISSION ORGANIZATION

0
1. The authority citation for part 0 continues to read as follows:

    Authority:  Sec. 5, 48 Stat. 1068, as amended; 47 U.S.C. 155, 
225, unless otherwise noted.

0
2. Section 0.392 is amended by adding paragraph (k) to read as follows:


Sec.  0.392   Authority Delegated.

* * * * *
    (k) Certifies frequency coordinators; considers petitions seeking 
review of coordinator actions; and engages in oversight of coordinator 
actions and practices.

PART 2--FREQUENCY ALLOCATIONS AND RADIO TREATY MATTERS; GENERAL 
RULES AND REGULATIONS

0
3. The authority citation for part 2 continues to read as follows:

    Authority:  47 U.S.C. 154, 302a, 303, and 336, unless otherwise 
noted.

0
4. Section 2.106, the Table of Frequency Allocations, is amended by 
revising page 41 to read as follows:


Sec.  2.106   Table of Frequency Allocations.

* * * * *
BILLING CODE 6712-01-P

[[Page 20025]]

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[[Page 20026]]


[GRAPHIC] [TIFF OMITTED] TP07MY18.028


[[Page 20027]]


[GRAPHIC] [TIFF OMITTED] TP07MY18.029

BILLING CODE 6712-01-C
* * * * *

[[Page 20028]]

PART 90--PRIVATE LAND MOBILE RADIO SERVICES

0
5. The authority citation for part 90 continues to read as follows:

    Authority:  Sections 4(i), 11, 303(g), 303(r), and 332(c)(7) of 
the Communications Act of 1934, as amended, 47 U.S.C. 154(i), 161, 
303(g), 303(r), and 332(c)(7), and Title VI of the Middle Class Tax 
Relief and Job Creation Act of 2012, Pub. L. 112-96, 126 Stat. 156.

0
6. Section 90.175 is amended by removing paragraph (j)(22) and adding 
paragraph (k) to read as follows:


Sec.  90.175  Frequency coordinator requirements.

* * * * *
    (k) For frequencies in the 4940-4990 MHz band: See Sec.  90.1209 of 
this chapter for further information.

0
7. Section 90.1205 is amended by revising paragraph (c) to read as 
follows:


Sec.  90.1205   Permissible operations.

* * * * *
    (c) Aeronautical mobile and robotic station operations are 
permitted subject to Sec.  90.1219.
0
8. Section 90.1207 is revised to read as follows:


Sec.  90.1207   Licensing.

    (a) A 4945-4990 MHz band geographic license gives the licensee 
authority to operate temporary (1 year or less) fixed stations on any 
authorized channel in this band within its licensed area of operation. 
See Sec.  90.1213. A 4945-4990 MHz band license will be issued for the 
geographic area encompassing the legal jurisdiction of the licensee or, 
in case of a nongovernmental organization, the legal jurisdiction of 
the state or local governmental entity supporting the nongovernmental 
organization.
    (1) A temporary fixed station is required to be individually 
licensed if:
    (i) International agreements require coordination;
    (ii) Submission of an environmental assessment is required under 
Sec.  1.1307 of this chapter; or
    (iii) The station would affect areas identified in Sec.  1.924 of 
this chapter.
    (2) Any antenna structure that requires notification to the Federal 
Aviation Administration (FAA) must be registered with the Commission 
prior to construction under Sec.  17.4 of this chapter.
    (b) Subject to Sec.  90.1209, base stations and mobile units 
(including portable and handheld units) in the 4945-4990 MHz band are 
required to be licensed on a site-by-site basis. All existing licensees 
that operate such stations shall seek licenses for such stations in the 
Commission's Universal Licensing System database by filing new or 
modification applications within one year after the Public Safety and 
Homeland Security Bureau and the Wireless Telecommunications Bureau 
announce by public notice that the database is ready to accept such 
applications. Any antenna structure that requires notification to the 
Federal Aviation Administration (FAA) must be registered with the 
Commission prior to construction under Sec.  17.4 of this chapter.
    (c) Permanent fixed point-to-point transmitters and receivers, 
permanent fixed point-to-multipoint transmitters and fixed receivers in 
the 4945-4990 MHz band must be licensed individually on a site-by-site 
basis. All existing licensees that operate such stations shall seek 
individual licenses for such stations in the Commission's Universal 
Licensing System database by filing new applications within one year 
after the Public Safety and Homeland Security Bureau and the Wireless 
Telecommunications Bureau announce by public notice that the database 
is ready to accept such applications. Primary permanent fixed point-to-
point and point-to-multipoint transmitters must use directional 
antennas with gains equal to or greater than 26 dBi. All such stations 
in the 4945-4990 MHz band are accorded primary status.
    (d) A 4940-4945 MHz license gives the licensee authority to operate 
aeronautical mobile or robotic stations subject to Sec.  90.1219 on any 
authorized channel in this band within its licensed area of operation. 
See Sec.  90.1213. Geographic area licenses and individually licensed 
stations issued before the effective date of this rule that use 
spectrum overlapping or within the 4940-4945 MHz band segment are 
grandfathered.
    (e) Existing 4940-4990 MHz band licenses as of the effective date 
of this rule are grandfathered from revisions to Sec.  90.1215(a)(2).
0
9. Section 90.1209 is amended by revising paragraphs (b) through (d), 
and adding paragraph (e) to read as follows:


Sec.  90.1209   Policies governing the use of the 4940-4990 MHz band.

* * * * *
    (b) Each application for a new frequency assignment or for a change 
in existing facilities must include a showing of frequency 
coordination. A database of licenses is available at http://wireless.fcc.gov/uls. Frequency coordinators and potential applicants 
should examine this database before seeking station authorization, and 
make every effort to ensure that their fixed and base stations operate 
at a location, and with technical parameters, that will minimize the 
potential to cause and receive interference. Licensees of stations 
suffering or causing harmful interference are expected to cooperate and 
resolve this problem by mutually satisfactory arrangements. If 
licensees are unable to do so, frequency coordinators may adjudicate 
such matters and recommend solutions to the Commission. The Commission 
may impose restrictions including specifying the transmitter power, 
antenna height, or area or hours of operation of the stations 
concerned. Within one day of making a frequency recommendation, the 
lead frequency coordinator must send a copy of the application to other 
certified frequency coordinators. Concurrently, the lead frequency 
coordinator must send a copy of the application to the adjacent 700 MHz 
Regional Planning Committee where the signal at the region border 
exceeds -109 dBW/m2/5 MHz.
    (c) Licensees will make every practical effort to protect radio 
astronomy operations as specified in Sec.  2.106, footnote US385 of 
this chapter.
    (d) Licensees of base or temporary fixed stations must place at 
least one such station in operation within twelve (12) months of the 
license grant date, or the license cancels automatically as of the 
expiration of such twelve-month period, without specific Commission 
action. Fixed point-to-point and point-to-multipoint stations which are 
licensed on a site-by-site basis must be placed in operation within 
twelve (12) months of the grant date or the authorization for that 
station cancels automatically as of the expiration of such twelve-month 
period, without specific Commission action.
    (e) Temporary fixed point-to-point stations may only be operated 
for thirty days maximum over a given path over a one-year time frame.
0
10. Section 90.1211 is amended by revising paragraph (a), (b)(4), and 
(c) and adding paragraph (d) to read as follows:


Sec.  90.1211   Regional plan.

    (a) To facilitate the shared use of the 4.9 GHz band, each region 
may submit a plan on guidelines to be used for sharing the spectrum 
within the region.
    (b) * * *
    (4) A description of the coordination procedures for permanent 
fixed point-to-point and point-to-multipoint stations, base stations, 
temporary fixed stations, and mobile operations. The procedures shall 
include, but are not limited to, mechanisms for incident

[[Page 20029]]

management protocols, interference avoidance, and interoperability.
    (c) Regional plans may vary from the band plan in the following 
areas:
    (1) Limit channel aggregation to 20 megahertz bandwidth.
    (2) Designate one or more channels for specialized use.
    (3) Place limits on the use of point-to-point links in urban areas 
or impose more stringent limits on antenna gain, maximum conducted 
output power, power spectral density, or other technical parameters of 
point-to-point systems relative to the limits of Sec.  90.1215.
    (4) Require polarization for point-to-point links.
    (d) Regional plans may be modified by submitting a written request, 
signed by the regional planning committee, to the Chief, Public Safety 
and Homeland Security Bureau. The request must contain the full text of 
the modification, and a certification that all eligible entities had a 
chance to participate in discussions concerning the modification and 
that any changes have been coordinated with adjacent regions.
0
11. Section 90.1213 is revised to read as follows:


Sec.  90.1213   Band plan.

    (a) Upon the effective date of this rule, Channel numbers 1 through 
5 are aggregated for a channel bandwidth of 5 MHz and may be 
subsequently licensed for use only in accordance with Sec.  90.1219 of 
this chapter; any existing operations on these channels prior to the 
effective date of this rule are grandfathered. Channel numbers 6 
through 13 are 5 MHz bandwidth channels and Channel numbers 14 through 
18 are 1 MHz bandwidth channels. The following channel center 
frequencies are permitted to be aggregated for channel bandwidths of 5, 
10, 15 or 20 MHz as described in paragraph (b) of this section. Channel 
numbers 14 through 18 should be used for narrow bandwidth operations 
and should be used in aggregations only if all other 5 MHz channels are 
blocked.

------------------------------------------------------------------------
                                             Bandwidth
         Center frequency  (MHz)               (MHz)       Channel Nos.
------------------------------------------------------------------------
4942.5..................................               5             1-5
4947.5..................................               5               6
4952.5..................................               5               7
4957.5..................................               5               8
4962.5..................................               5               9
4967.5..................................               5              10
4972.5..................................               5              11
4977.5..................................               5              12
4982.5..................................               5              13
4985.5..................................               1              14
4986.5..................................               1              15
4987.5..................................               1              16
4988.5..................................               1              17
4989.5..................................               1              18
------------------------------------------------------------------------

    (b) The following tables list center frequencies to be licensed for 
aggregated channels only. A license may contain any combination of 
bandwidths from aggregated channels provided that the bandwidths do not 
overlap. The bandwidth edges (lower and upper frequencies) are provided 
to aid in planning.
    (1) 5 MHz bandwidth aggregation:

------------------------------------------------------------------------
Center  frequency    Channel  Nos.    Lower  frequency  Upper  frequency
       (MHz)            employed            (MHz)             (MHz)
------------------------------------------------------------------------
         4942.5           1 to 5 *               4940              4945
         4947.5                  6               4945              4950
         4952.5                  7               4950              4955
         4957.5                  8               4955              4960
         4962.5                  9               4960              4965
         4967.5                 10               4965              4970
         4972.5                 11               4970              4975
         4977.5                 12               4975              4980
         4982.5                 13               4980              4985
         4987.5        14 to 18 **               4985              4990
------------------------------------------------------------------------
* Licensees for these channels granted after the effective date of this
  rule may use these channels only in accordance with Sec.   90.1219 of
  this chapter.
** Licensees should avoid using these channels in aggregations unless
  all other channels are blocked.

    (2) 10 MHz bandwidth aggregation:

------------------------------------------------------------------------
Center  frequency    Channel  Nos.    Lower  frequency  Upper  frequency
       (MHz)            employed            (MHz)             (MHz)
------------------------------------------------------------------------
           4950              6 & 7               4945              4955
           4955              7 & 8               4950              4960
           4960              8 & 9               4955              4965
           4965             9 & 10               4960              4970

[[Page 20030]]

 
           4970            10 & 11               4965              4975
           4975            11 & 12               4970              4980
           4980             12 &13               4975              4985
           4985          13 to 18*               4980              4990
------------------------------------------------------------------------
* Licensees should avoid using these channels in aggregations unless all
  other channels are blocked.

    (3) 15 MHz bandwidth aggregation:

------------------------------------------------------------------------
Center  frequency    Channel  Nos.    Lower  frequency  Upper  frequency
       (MHz)            employed            (MHz)             (MHz)
------------------------------------------------------------------------
         4952.5             6 to 8               4945              4960
         4957.5             7 to 9               4950              4965
         4962.5            8 to 10               4955              4970
         4967.5            9 to 11               4960              4975
         4972.5           10 to 12               4965              4980
         4977.5           11 to 13               4970              4985
         4982.5         12 to 18 *               4975              4990
------------------------------------------------------------------------
* Licensees should avoid using these channels in aggregations unless all
  other channels are blocked.

    (4) 20 MHz bandwidth aggregation:

------------------------------------------------------------------------
Center  frequency    Channel  Nos.    Lower  frequency  Upper  frequency
       (MHz)            employed            (MHz)             (MHz)
------------------------------------------------------------------------
           4955             6 to 9               4945              4965
           4960            7 to 10               4950              4970
           4965            8 to 11               4955              4975
           4970            9 to 12               4960              4980
           4975           10 to 13               4965              4985
           4980         11 to 18 *               4970              4990
------------------------------------------------------------------------
* Licensees should should avoid using these channels in aggregations
  unless all other channels are blocked.

    (5) 30 MHz bandwidth aggregation:

------------------------------------------------------------------------
Center  frequency    Channel  Nos.    Lower  frequency  Upper  frequency
       (MHz)            employed            (MHz)             (MHz)
------------------------------------------------------------------------
           4960            6 to 11               4945              4975
           4965            7 to 12               4950              4980
           4970            8 to 13               4955              4985
           4975          9 to 18 *               4960              4990
------------------------------------------------------------------------
* Licensees should avoid using these channels in aggregations unless all
  other channels are blocked.

    (6) 40 MHz bandwidth aggregation:

------------------------------------------------------------------------
Center  frequency    Channel  Nos.    Lower  frequency  Upper  frequency
       (MHz)            employed            (MHz)             (MHz)
------------------------------------------------------------------------
           4965            6 to 13               4945              4985
           4970          7 to 18 *               4950              4990
------------------------------------------------------------------------
* Licensees should avoid using these channels in aggregations unless all
  other channels are blocked.

0
12. Section 90.1215 is amended by revising paragraphs (a)(1) and (2) to 
read as follows:


Sec.  90.1215   Power limits.

* * * * *
    (a)(1) The maximum conducted output power should not exceed:

[[Page 20031]]



------------------------------------------------------------------------
                                             Low power      High  power
                                              maximum         maximum
        Channel  bandwidth  (MHz)            conducted       conducted
                                           output power    output  power
                                               (dBm)           (dBm)
------------------------------------------------------------------------
1.......................................               7              20
5.......................................              14              27
10......................................              17              30
15......................................            18.8            31.8
20......................................              20              33
30......................................            21.8            34.8
40......................................              23              36
------------------------------------------------------------------------

    (2) High power devices are also limited to a peak power spectral 
density of 21 dBm per one MHz. High power devices using channel 
bandwidths other than those listed above are permitted; however, they 
are limited to peak power spectral density of 21 dBm/MHz. If 
transmitting antennas of directional gain greater than 9 dBi are used, 
both the maximum conducted output power and the peak power spectral 
density should be reduced by the amount in decibels that the 
directional gain of the antenna exceeds 9 dBi. However, high power 
point-to-point transmitting antennas (both fixed and temporary-fixed 
rapid deployment) shall operate with minimum directional gain of 26 
dBi, maximum 5.5 degree beamwidth and 25 dB front-to-back ratio. For 
point-to-point systems, the maximum equivalent isotropically radiated 
power (EIRP) is 65.15 dBm. High power point-to-multipoint operations 
(both fixed and temporary-fixed rapid deployment) may employ 
transmitting antennas with directional gain exceeding 26 dBi. For 
point-to-multipoint systems, the maximum EIRP is 55.15 dBm. Frequency 
coordinators may recommend reduction to the EIRP on a case-by-case 
basis, through reduction of the maximum conducted output power, 
spectral density, and/or antenna gain. Further, under Sec.  
90.1211(c)(3) thorough (4), Regional Planning Committees may recommend 
alternate lower limits to the allowed antenna gain, maximum conducted 
output power, or power spectral density of point-to-point systems.
* * * * *
0
13. Section 90.1219 is added to Subpart Y to read as follows:


Sec.  90.1219   Aeronautical mobile and robotic operation.

    Entities eligible pursuant to Sec.  90.1203(a) may conduct manned 
aeronautical mobile and robotic terrestrial operations on Channels 1 
through 5 (4940-4945 MHz) to transmit video payload on a primary basis 
to terrestrial services under the following restrictions.
    (a) Airborne use of these channels is limited to aircraft flying at 
or below 457 meters (1500 feet) above ground level. Fixed wing aircraft 
may use these channels at altitudes exceeding 457 meters above ground 
level as necessary to comply with 14 CFR 91.119(b) through (c).
    (b) Licensees may use only low power devices as defined by Sec.  
90.1215 that use Emission Mask L as defined by Sec.  90.210(l) for 
aeronautical mobile use.
    (c) Licensees may use only low power devices as defined by Sec.  
90.1215 for robotic applications.
    (d) The applicant shall provide a description of proposed operation 
to demonstrate that the proposed aeronautical mobile operations protect 
radio astronomy operations and terrestrial services from interference.
    (e) Aeronautical mobile and robotic applications must be approved 
in writing by the 700 MHz Regional Planning Committee or the National 
Regional Planning Council as part of the frequency coordination 
Regional Planning Committee review process before the coordinator can 
submit the application to the Commission.
    (f) Aeronautical mobile operations are prohibited within 80.5 
kilometers (50 miles) of radio astronomy sites listed in Sec.  2.106 
US385 or US131. The coordinates to be used for the Allen Telescope 
Array are 40[deg] 49' 01'' North latitude, 121[deg] 28' 12'' West 
longitude. An applicant for aeronautical mobile use whose geographic 
boundaries fall within 80.5 kilometers of any of these radio astronomy 
sites may request a waiver, but shall certify that it has served a copy 
of the application on affected radio astronomy observatories.
    (g) The Commission has the discretion to impose special conditions 
and operating restrictions on individual licenses as necessary to 
reduce risk of interference to radio astronomy operations and 
terrestrial services.
    (h) Transmissions in the 4940-4990 MHz band to or from unmanned 
aerial systems are prohibited.

[FR Doc. 2018-09416 Filed 5-4-18; 8:45 am]
 BILLING CODE 6712-01-P



                                                                           Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules                                             20011

                                                 responsibilities among the various                      DATES:  Submit comments on or before                  comments and reply comments on or
                                                 levels of government.’’                                 July 6, 2018. Submit reply comments                   before the dates indicated on the first
                                                                                                         August 6, 2018.                                       page of this document. Comments may
                                                 Paperwork Reduction Act
                                                                                                         ADDRESSES: You may submit comments,                   be filed using the Commission’s
                                                   The Paperwork Reduction Act of 1995                   identified by WP Docket No. 07–100 by                 Electronic Comment Filing System
                                                 (44 U.S.C. 3507(d)) requires that OMB                   any of the following methods:                         (ECFS). See Electronic Filing of
                                                 approve all collections of information                    • Federal Communications                            Documents in Rulemaking Proceedings,
                                                 by a federal agency from the public                     Commission’s website: http://                         63 FR 24121, May 1 (1998).
                                                 before they can be implemented. This                    apps.fcc.gov/ecfs/. Follow the                           • Electronic Filers: Comments may be
                                                 proposed rule is projected to have no                   instructions for submitting comments.                 filed electronically using the internet by
                                                 impact on current reporting and                           • Mail: U.S. Postal Service first-class,            accessing the ECFS: http://apps.fcc.gov/
                                                 recordkeeping burden for manufacturers                  Express, and Priority mail must be                    ecfs/.
                                                 under the 340B Program. This proposed                   addressed to 445 12th Street SW,                         • Paper Filers: Parties who choose to
                                                 rule would result in no new reporting                   Washington, DC 20554. Commercial                      file by paper must file an original and
                                                 burdens. Comments are welcome on the                    overnight mail (other than U.S. Postal                one copy of each filing. If more than one
                                                 accuracy of this statement.                             Service Express Mail and Priority Mail)               docket or rulemaking number appears in
                                                   Dated: May 1, 2018.                                   must be sent to 9050 Junction Drive,                  the caption of this proceeding, filers
                                                                                                         Annapolis Junction, MD 20701.                         must submit two additional copies for
                                                 George Sigounas,
                                                                                                           • Hand or Messenger Delivery: 445                   each additional docket or rulemaking
                                                 Administrator, Health Resources and Services                                                                  number.
                                                 Administration.                                         12th St., SW, Room TW–A325,
                                                                                                         Washington, DC 20554.                                    Filings can be sent by hand or
                                                   Approved: May 2, 2018.                                                                                      messenger delivery, by commercial
                                                                                                           • People with Disabilities: Contact the
                                                 Alex M. Azar II,                                                                                              overnight courier, or by first-class or
                                                                                                         FCC to request reasonable
                                                 Secretary, Department of Health and Human                                                                     overnight U.S. Postal Service mail. All
                                                                                                         accommodations (accessible format
                                                 Services.                                                                                                     filings must be addressed to the
                                                                                                         documents, sign language interpreters,
                                                 [FR Doc. 2018–09711 Filed 5–4–18; 8:45 am]
                                                                                                         CART, etc.) by email: FCC504@fcc.gov                  Commission’s Secretary, Office of the
                                                 BILLING CODE 4165–15–P
                                                                                                         or phone: 202–418–0530 or TTY: 202–                   Secretary, Federal Communications
                                                                                                         418–0432.                                             Commission.
                                                                                                           For detailed instructions for                          • All hand-delivered or messenger-
                                                                                                         submitting comments and additional                    delivered paper filings for the
                                                 FEDERAL COMMUNICATIONS                                                                                        Commission’s Secretary must be
                                                 COMMISSION                                              information on the rulemaking process,
                                                                                                         see the SUPPLEMENTARY INFORMATION                     delivered to FCC Headquarters at 445
                                                 47 CFR Parts 0, 2, 90                                   section of this document.                             12th St., SW, Room TW–A325,
                                                                                                                                                               Washington, DC 20554. The filing hours
                                                                                                         FOR FURTHER INFORMATION CONTACT:
                                                 [WP Docket No. 07–100; FCC 18–33]                                                                             are 8:00 a.m. to 7:00 p.m. All hand
                                                                                                         Thomas Eng, Policy and Licensing
                                                                                                                                                               deliveries must be held together with
                                                                                                         Division, Public Safety and Homeland
                                                 4.9 GHz Band                                                                                                  rubber bands or fasteners. Any
                                                                                                         Security Bureau, Federal
                                                                                                                                                               envelopes and boxes must be disposed
                                                 AGENCY:  Federal Communications                         Communications Commission, 445 12th
                                                                                                                                                               of before entering the building.
                                                 Commission.                                             Street SW, Washington, DC 20554, at                      • Commercial overnight mail (other
                                                 ACTION: Proposed rule.                                  (202) 418–0019, TTY (202) 418–7233, or                than U.S. Postal Service Express Mail
                                                                                                         via email at Thomas.Eng@fcc.gov.                      and Priority Mail) must be sent to 9050
                                                 SUMMARY:    In 2002, the Commission                     SUPPLEMENTARY INFORMATION: This is a                  Junction Drive, Annapolis Junction, MD
                                                 allocated the 4940–4990 MHz (4.9 GHz)                   summary of the Commission’s Sixth                     20701.
                                                 band for fixed and mobile use and                       Further Notice of Proposed Rulemaking                    • U.S. Postal Service first-class,
                                                 designated the band for public safety                   (Sixth FNPRM) in WP Docket No. 07–                    Express, and Priority mail must be
                                                 broadband communications. Since then,                   100, adopted on March 22, 2018 and                    addressed to 445 12th Street, SW,
                                                 the band has experienced relatively                     released as FCC 18–33 on March 23,                    Washington DC 20554.
                                                 light usage compared to the heavy use                   2018. The complete text of this
                                                 of other public safety bands. In this                   document is available for inspection                  Introduction
                                                 document, the Commission proposes                       and copying during normal business                       The Commission has allocated and
                                                 several rule changes and seeks comment                  hours in the FCC Reference Information                designated 50 megahertz of spectrum in
                                                 on alternatives with the goal of                        Center, Portals II, 445 12th Street SW,               the 4.9 GHz band (4940–4990 MHz) to
                                                 promoting increased public safety use of                Room CY–A257, Washington, DC 20554.                   public safety. Although nearly 90,000
                                                 the band while opening up the spectrum                  Alternative formats (computer diskette,               public safety entities are eligible under
                                                 to additional uses that will encourage a                large print, audio cassette, and Braille)             our rules to obtain licenses in the band,
                                                 more robust market for equipment and                    are available to persons with disabilities            there were only 2,442 licenses in use in
                                                 greater innovation. The Commission                      or by sending an email to FCC504@                     2012 and only 3,174 licenses in use
                                                 proposes rules on channel aggregation,                  fcc.gov or calling the Consumer and                   nearly six years later in 2018. With no
                                                 aeronautical mobile use, frequency                      Governmental Affairs Bureau at (202)                  more than 3.5% of potential licensees
                                                 coordination, site-based licensing,                     418–0530, TTY (202) 418–0432. This                    using the band, we remain concerned
daltland on DSKBBV9HB2PROD with PROPOSALS




                                                 regional planning, and technical rule                   document is also available on the                     that, as the Commission stated in 2012,
                                                 changes with the goal of promoting                      Commission’s website at http://                       the band has ‘‘fallen short of its
                                                 increased use of the band. The                          www.fcc.gov.                                          potential.’’
                                                 Commission seeks comment on                                                                                      Public safety entities have offered
                                                 alternatives such as expanding                          Comments                                              several reasons why the band has seen
                                                 eligibility, spectrum leasing, sharing,                   Pursuant to §§ 1.415 and 1.419 of the               less use than expected. One reason cited
                                                 and redesignating the band for                          Commission’s rules, 47 CFR 1.415,                     is the difficulty of acquiring equipment
                                                 commercial use.                                         1.419, interested parties may file                    and the cost of deployment. According


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                                                 20012                     Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules

                                                 to the Association of Public-Safety                     incumbent operations. The Commission                  both of these evaluations; and in
                                                 Communications Officials                                sought views on alternative frequency                 subsequent ex parte proposals. We then
                                                 International’s (APCO) 4.9 GHz Task                     coordination proposals for 4.9 GHz                    propose and seek comment on specific
                                                 Force Report (APCO Report), ‘‘the                       licensees. The Commission also sought                 rules and policies intended to address
                                                 public safety user community remains                    comment on specific proposals                         each issue, and seek comment on and
                                                 small relative to the greater consumer                  regarding expanded eligibility for                    solicit alternative proposals.
                                                 marketplace,’’ which ‘‘has historically                 critical infrastructure industry (CII)
                                                 resulted in a limited vendor ecosystem,                 entities, for commercial entities on a                Band Plan
                                                 specialized devices, and higher costs.’’                secondary basis, subject to a shutdown                   In the Fifth FNPRM, the Commission
                                                 We also believe that a lack of available                feature, and for the First Responder                  sought comment on the current 4.9 GHz
                                                 equipment for mobile applications has                   Network Authority (FirstNet). The                     band plan, which divides the band into
                                                 impeded widespread use of the band by                   Commission also sought comment about                  ten one-megahertz channels (Channels
                                                 public safety. The National Public                      the impact of the Middle Class Tax                    1–5 and 14–18) and eight five-megahertz
                                                 Safety Telecommunications Council                       Relief and Job Creation Act of 2012                   channels (Channels 6–13), and limits
                                                 (NPSTC) has argued that interference                    (Spectrum Act) on broadband uses of                   channel aggregation bandwidth to 20
                                                 concerns have also suppressed use of                    the 4.9 GHz band by public safety                     megahertz. The NPSTC Plan proposes to
                                                 the 4.9 GHz band. In its 4.9 GHz NPSTC                  entities. Finally, the Commission sought              keep this channelization, but
                                                 Plan Recommendations Final Report                       comment on whether to allow                           recommends aggregating Channels 1–5
                                                 (NPSTC Plan), NPSTC notes that                          aeronautical mobile use in the 4.9 GHz                into a single 5 megahertz channel
                                                 because the Commission’s current rules                  band.                                                 designated for air-to-ground
                                                 ‘‘allow geographically based licensing                     The responsive comments to the Fifth               communications and robotic use and
                                                 with little documentation on system                     FNPRM illustrate the wide variety of                  proposes to reduce the current channel
                                                 design and transmitter location,’’ public               existing systems operating in the 4.9                 aggregation limit from 20 to 10
                                                 safety ‘‘contemplating new service in                   GHz band and underscore the                           megahertz. The APCO Report proposes
                                                 this band cannot determine if other                     importance of developing rules that                   no band plan changes but calls for
                                                 agencies in their area might cause                      promote flexible use and maximize                     relaxing the 20 megahertz channel
                                                 harmful interference today or in the                    spectrum efficiency. Since the Fifth                  aggregation limit, arguing that this
                                                 future.’’                                               FNPRM the Commission has continued                    would enable the band to accommodate
                                                    In this Sixth FNPRM, we seek                         to build the record on the 4.9 GHz band.              40 megahertz products that are currently
                                                 comment on several alternatives to                      In October 2013, NPSTC submitted                      available only outside the U.S., which
                                                 stimulate expanded use of and                           detailed recommendations in the                       relaxation could ‘‘create a better
                                                 investment in the 4.9 GHz band,                         NPSTC Plan, and the Public Safety and                 business case for manufacturers,’’ and
                                                 drawing on comments in the record as                    Homeland Security Bureau (Bureau)                     would ‘‘provide more options for rural
                                                 well as the NPSTC Plan submitted in                     released a Public Notice seeking                      deployments.’’
                                                 2013 and the APCO Report submitted in                   comment on the proposals in the
                                                 2015. Our goal is to ensure that public                 NPSTC Plan. In September 2015, the                       Discussion. Most commenters express
                                                 safety continues to have priority in the                APCO Report provided additional                       support for the NPSTC band plan
                                                 band while opening up the band to                       recommendations on how to increase                    proposal. Based in part on the NPSTC
                                                 additional uses that will facilitate                    public safety use of the band, reduce                 band plan, we propose to retain the
                                                 increased usage, including more                         equipment costs, and drive investment                 existing channelization plan for the
                                                 prominent mobile use, and encourage a                   in up-to-date technology in the band.                 band, but we seek comment below on
                                                 more robust market for equipment and                                                                          more flexible aggregation limits, and in
                                                                                                         Sixth Further Notice of Proposed                      the Aeronautical Mobile and Robotic
                                                 greater innovation, while protecting
                                                                                                         Rulemaking                                            Use section, we propose to modify the
                                                 primary users from harmful
                                                 interference. We believe that with an                      Taking into consideration the record               4.9 GHz band plan by aggregating
                                                 appropriate sharing mechanism in                        in response to the Fifth FNPRM,                       Channels 1–5 to form a five-megahertz
                                                 place, which we discuss in further                      comments on the NPSTC Plan, the                       bandwidth channel for aeronautical
                                                 detail below, our proposed approach                     APCO Report, and more recent ex parte                 mobile and robotic use. Although
                                                 will promote more opportunistic use of                  filings, we now propose a limited set of              current geographic licenses authorize
                                                 the 4.9 GHz band without                                rules for the 4.9 GHz band to promote                 use of the entire 50 megahertz by all
                                                 compromising the integrity and security                 more flexible and intensive use of this               qualified services, we envision that
                                                 of public safety operations.                            spectrum while preventing interference.               under our revised rules we would grant
                                                                                                         We also seek comment on current usage                 licenses for specific uses that would
                                                 Background                                              and what types of services are being                  authorize specific channels. We are
                                                    In June 2012, the Commission                         provided. Our goals are (a) to support                concerned that the current geographic
                                                 released the Fifth Further Notice of                    the needs of public safety while opening              licensing model does not provide
                                                 Proposed Rulemaking (Fifth FNPRM) in                    the band to other compatible uses, (b) to             sufficient information on specific
                                                 which it sought comment on rule                         maximize spectral efficiency and usage,               channel usage to facilitate effective
                                                 changes intended to establish frequency                 (c) to promote a common equipment                     frequency coordination, which we
                                                 coordination procedures for 4.9 GHz                     ecosystem that will drive down                        propose below for the 4.9 GHz band. For
                                                 operations and to encourage spectrum                    equipment costs and stimulate                         example, we seek comment on licensing
daltland on DSKBBV9HB2PROD with PROPOSALS




                                                 efficiency and greater use of the 4.9 GHz               investment through economies of scale,                base stations and hot spots site-by-site
                                                 band. It sought comment on how 4.9                      (d) to encourage innovation, and (e) to               rather than blanket geographic
                                                 GHz licensees currently use this                        ensure that secondary users do not                    licensing, and licensing these stations
                                                 spectrum, what applications and uses                    cause interference to primary users.                  and mobiles for a specific channel or
                                                 are best suited for the band, and what                     In this Sixth FNPRM, we review the                 channels instead of the entire band, to
                                                 are the most cost-effective ways to                     major issues previously identified in the             the extent that channel use is static.
                                                 improve accessibility to the band while                 Fifth FNPRM; in the NPSTC Plan and                    Does 4.9 GHz equipment dynamically
                                                 minimizing adverse impact on                            the APCO Report and in comments on                    change channels as needed throughout


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                                                                           Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules                                              20013

                                                 the band to avoid interference? We seek                 general prohibition on aeronautical                   to-ground operations, not allowing
                                                 comment on these proposals.                             mobile operations in the 4.9 GHz band.                Channels 1–5 to be used for point-to-
                                                    We further propose to expand the                     The Commission proposed to revise                     point (P–P) communications, and
                                                 existing channel aggregation bandwidth                  § 90.1205(c) to permit aeronautical                   migrating existing users to other
                                                 limit to 40 megahertz and seek comment                  mobile operation in the band on a                     channels. APCO also supports these
                                                 on that proposal, which could provide                   secondary, non-interference basis to 4.9              proposals, noting that ‘‘modification of
                                                 more options of the type advocated in                   GHz terrestrial services and subject to               the existing rules, using the guidelines
                                                 the APCO Report, such as new rural                      demonstrating interference protection to              proposed in the NPSTC
                                                 deployments, and may enable public-                     radio astronomy (RAS) operations. The                 recommendations, would allow use of
                                                 safety access to 5G technologies. We                    Commission sought comment on                          the 4.9 GHz band for air to ground
                                                 seek comment on this proposal. We are                   whether to impose restrictions or                     communications, would add to the
                                                 concerned that narrowing the limit to 10                conditions on aeronautical mobile use,                available public safety portfolio, and
                                                 megahertz as proposed in the NPSTC                      such as an altitude limit of 1500 feet                would assist with increasing public
                                                 Plan would constrain flexibility and                    above ground.                                         safety use of the spectrum.’’ APCO also
                                                 discourage use of innovative broadband                     Eight parties filed comments to the                supports ‘‘following the proposal
                                                 technologies. We nonetheless propose to                 Fifth FNPRM in support of allowing                    contained in the NPSTC report with
                                                 allow Regional Planning Committees                      aeronautical mobile operations under                  regard to robotic operations to allow for
                                                 (RPCs) to submit plans to limit                         such conditions. The National Academy                 use of 4.9 GHz spectrum on a controlled
                                                 aggregations to 20 megahertz. We solicit                of Sciences Committee on Radio                        and limited basis for robotic
                                                 alternative band plan suggestions or                    Frequencies (CORF), an organization                   applications.’’
                                                 modifications to the above. For                         representing RAS observatories,                          Discussion. We propose to designate
                                                 example, should we permanently                          requests the following conditions: (1)                Channels 1–5 as aeronautical mobile
                                                 aggregate Channels 6–9 and 10–13 to                     Make the aeronautical use secondary to                channels in the 4.9 GHz band. The
                                                 form two 20-megahertz channels? We                      terrestrial services, including RAS; (2)              proposed channel selection provides
                                                 seek comment about the relative costs                   limit the altitude of use of this band to             spectral separation from RAS operations
                                                 and benefits of wider channels. Are                     1500 feet above the altitude of the                   in the 4950–4990 MHz band. As NPSTC
                                                 wider channels needed to drive                          observatory and limit operation to                    notes, the 4.9 GHz band is an ideal short
                                                 innovation of equipment in the band, or                 greater than 50 miles from observatories;             range band with the bandwidth required
                                                 are the current aggregation limits                      (3) require aeronautical mobile                       to transmit video from air to ground.
                                                 sufficient?                                             applicants within 50 miles of protected               Moreover, many law enforcement
                                                    We agree with commenters that any                    observatories to demonstrate that the                 agencies operate helicopters and planes
                                                 reconfiguration or repurposing of the 4.9               former will protect the latter from                   using video cameras and so could
                                                 GHz band should not force incumbent                     interference; and (4) require applicants              benefit from this rule change.
                                                 licensees to modify, abandon, or replace                within 50 miles of protected                             We also propose to designate
                                                 existing 4.9 GHz facilities, which would                observatories to certify that they have               Channels 1–5 for robotic use. Although
                                                 impose technical, operational, and                      served a copy of their application on                 law enforcement has been using robots
                                                 financial burdens on those incumbents.                  such observatories. AASHTO                            for several years, these devices currently
                                                 Therefore, we propose to grandfather all                recommends that air-to-ground                         operate on an unlicensed basis and are
                                                 incumbent users as of the date any final                operations that employ omnidirectional                unprotected from interference.
                                                 rules become effective. As we discuss                   antennas should be limited to low                     Modifying our rules to allow robotic
                                                 below in the Database and Existing                      power, while operations using steerable               operations could thus improve public
                                                 Licensees section, we further propose                   directional antennas that minimize                    safety. We seek comment on the relative
                                                 that those incumbent licensees whose                    interference to terrestrial users could               costs and benefits of adding robotic use
                                                 authorizations currently encompass the                  employ higher power. FCCA/IAFC/                       to this band. Is interference likely to be
                                                 entire 4.9 GHz band must certify the                    IMSA recommend a maximum altitude                     a problem for public safety robots? We
                                                 channels they actually use when they                    of ‘‘500 feet above ground for direct,                propose to limit aerial transmitted
                                                 input their transmitter and receiver                    non-directional air-to-ground video                   information to video payload and to
                                                 parameters into the Commission’s                        feeds,’’ a maximum bandwidth of five                  prohibit use of the 4.9 GHz band for
                                                 Universal Licensing System (ULS)                        megahertz for a video feed, and a                     aircraft (including unmanned aircraft
                                                 database. Only those channels for which                 requirement that ‘‘aircraft providing                 systems) command and control. We seek
                                                 operating parameters have been                          video feeds to fixed remote receive sites             comment on these proposals and also
                                                 supplied would receive protection. We                   must use steerable antennas and be                    request commenting parties to address
                                                 seek comment on this approach, under                    limited to 1500 feet above ground                     whether similar restrictions on payload
                                                 which all new primary and secondary                     level.’’                                              and command and control frequencies
                                                 users of the band will be required to                      The NPSTC Plan recommends                          should be imposed on robotic uses.
                                                 coordinate around and protect                           aggregating Channels 1–5 into a five-                    One of the potential cost of these rules
                                                 incumbent users. We also seek comment                   megahertz channel to be used for air-to-              would be that, for other than
                                                 on whether a temporary licensing freeze                 ground communications and robotic                     grandfathered licensees, the public
                                                 before the release date of a report and                 communications. The NPSTC Plan                        safety use of Channels 1–5 would be
                                                 order in this proceeding and lasting                    would permit transmissions at altitudes               limited to aeronautical mobile and
                                                 until the effective date of the final rules             up to 400 feet above ground level, and                robotic operations. We seek comment on
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                                                 would be necessary to prevent the filing                at higher altitudes if the licensee has a             the extent to which limiting the
                                                 of applications for systems that are                    waiver. The proposal would require                    flexibility of spectrum use in this
                                                 incompatible with the modified band                     aeronautical mobile operations with an                manner imposes costs by, e.g., creating
                                                 plan.                                                   area of operation less than 80.5 km from              cumbersome regulatory obstacles to
                                                                                                         listed RAS sites to obtain concurrence                repurposing the spectrum for alternative
                                                 Aeronautical Mobile and Robotic Use                     from the affected RAS site. NPSTC                     public safety needs that may become
                                                   In the Fifth FNPRM, the Commission                    proposes licensing robotic operations on              more pressing as circumstances change.
                                                 sought comment on whether to lift the                   Channels 1–5 on a shared basis with air-              Are there any countervailing benefits in


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                                                 20014                     Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules

                                                 establishing these proposed use                         Moreover, the Commission has not yet                  required to submit a waiver request and
                                                 restrictions? We also seek comment on                   issued service rules for UAS operations               notify and obtain concurrence from the
                                                 the potential benefits of the proposed                  in any specific spectrum band.                        affected observatory. Next, we propose
                                                 rule apart from such restrictions. Such                 Nevertheless, we seek comment on the                  to apply the L emission mask to
                                                 benefits, which may be significant,                     potential for the 4.9 GHz band to                     aeronautical mobile devices on
                                                 would include that aeronautical mobile                  support possible future UAS payload                   Channels 1–5, which will provide
                                                 functionality would provide to first                    operations.                                           attenuation of 40 dB at 4950 MHz and
                                                 responders, who could use Channels 1–                      We propose to establish a maximum                  above to minimize emissions into RAS.
                                                 5 to transmit airborne video of                         altitude limit of 1500 feet (457 meters)              We do not propose to require robotic
                                                 emergency scenes such as wildfires,                     above ground level (AGL) for manned                   operations to maintain 80.5 km spacing
                                                 vehicle pursuits, and other events to                   airborne operations on Channels 1–5.
                                                                                                                                                               to RAS sites. Robotic operations are
                                                 assist in response and recovery efforts.                We believe this limit allows greater
                                                                                                                                                               transient and, because of their lower
                                                 A benefit of using these channels for                   flexibility than NPSTC’s proposal of 400
                                                                                                         feet and is consistent with the altitude              antenna elevations relative to airborne
                                                 robotic operations would be to enhance
                                                                                                         limit adopted for air-to-ground                       operations, do not pose an equivalent
                                                 first responder safety by allowing users
                                                 to send remote controlled, camera-                      communications in the 700 MHz                         interference issue. Moreover, RAS sites
                                                 equipped mobile devices into                            narrowband spectrum. However,                         are typically located in remote areas
                                                 potentially dangerous situations. We                    because FAA rules require fixed-wing                  where robotic operations are unlikely to
                                                 seek comment on the magnitude of                        aircraft to maintain certain clearances               take place. We seek comment on our
                                                 these and any other relative costs and                  around structures, we propose to allow                conclusion concerning the interference
                                                 benefits.                                               fixed-wing aircraft to transmit at                    potential of robotic operations to RAS
                                                    Because we decline to propose                        altitudes exceeding 1500 feet AGL, but                operations and on any burdens that
                                                 mandatory relocation of incumbent                       only to avoid obstructions, and then                  these proposed RAS protection rules
                                                 terrestrial users on Channels 1–5, we                   only in the immediate area of the                     would impose, including the burden
                                                 therefore propose to require                            obstruction. We seek comment on the                   placed on small entities.
                                                 aeronautical mobile and robotic                         terrestrial interference potential and                   Next, we propose to amend § 2.106 of
                                                 operations to be frequency coordinated                  coverage of fixed-wing aircraft                       the Commission’s rules to remove the
                                                 around incumbent terrestrial users of                   compared to the interference potential                prohibition on aeronautical mobile
                                                 Channels 1–5, consistent with the                       and coverage of helicopters, and                      service use from the 4940–4950 MHz
                                                 frequency coordination procedures                       whether any restrictions or prohibitions
                                                                                                                                                               band in the non-Federal Table of
                                                 proposed in the Coordination section                    should apply to either group of aircraft.
                                                                                                            We propose to allow air-to-ground                  Frequency Allocations, i.e., we propose
                                                 below, including RPC review. We seek
                                                 comment on the relative costs and                       and robotic transmissions only from low               to reallocate the lower 10 megahertz
                                                 benefits of this coordination                           power devices as defined in § 90.1215 of              segment of the 4940–4990 MHz band
                                                 requirement. Once aeronautical mobile                   our rules, which limits maximum                       from the ‘‘mobile except aeronautical
                                                 and robotic operations are licensed, we                 conducted output power to 14 dBm per                  mobile’’ service to the ‘‘mobile’’ service.
                                                 propose to grant them co-primary status                 5 megahertz bandwidth and use of a                    This action would parallel the
                                                 on Channels 1–5. Therefore, during an                   directional antenna to confine radiation              International Table and provide the
                                                 incident or emergency requiring such                    to the direction of the associated                    Commission with additional flexibility
                                                 use, they would be able to operate on an                receiving antenna. We seek comment on                 with regard to the future use of the
                                                 equal basis with terrestrial users, around              this proposed power limit, as well as on              mobile service. We request comment on
                                                 which they have already been                            other techniques to minimize                          this proposal.
                                                 coordinated, presenting a minimal risk                  interference. For example, AASHTO                        Finally, we remind commenters that
                                                 of interference. To prevent future                      and LA County propose to allow use of                 the United States has border agreements
                                                 terrestrial licensing in the 4940–4945                  higher powered steerable directional                  with Canada and Mexico for the 4.9 GHz
                                                 MHz segment, we propose to revise                       antennas for air-to-ground                            band that limit potential air-ground
                                                 § 90.1207 so terrestrial-based licenses                 communications, while Vislink                         operations in border areas. In the
                                                 are only available in the 4945–4990                     contends that some air-ground                         Canada Agreement, the Commission
                                                 MHz segment rather than the entire                      communications will require                           agrees not to authorize aeronautical
                                                 band. We seek comment on the relative                   omnidirectional antennas. We seek
                                                                                                                                                               mobile stations within 160 kilometers of
                                                 costs and benefits of these proposals                   comment on the current state of aerial
                                                                                                                                                               the border area without the written
                                                 and alternative approaches.                             steerable directional antenna technology
                                                                                                                                                               consent of Innovation, Science and
                                                    While we propose to allow manned                     and the associated cost of such
                                                 aeronautical use of Channels 1–5, we                    equipment.                                            Economic Development Canada (ISED).
                                                 believe it would be premature at this                      To minimize the impact of 4.9 GHz                  In the Mexico Agreement, for stations
                                                 time to permit unmanned aerial systems                  aeronautical and robotic operations on                operated in aircraft, power flux density
                                                 (UAS) to transmit in the 4.9 GHz band.                  the important work being done by RAS                  shall not exceed –114 dBW/m2 in any
                                                 The Federal Aviation Administration’s                   observatories, we propose that                        1 MHz bandwidth at or beyond the
                                                 (FAA) part 107 rules limit small UAS                    aeronautical mobile and robotic                       common border. Thus, any rules we
                                                 operations to 400 feet altitude above                   operations, as with all other 4.9 GHz                 may adopt authorizing aeronautical use
                                                 ground, require visual line of sight                    band operations, make every effort to                 will be subject to these restrictions in
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                                                 aircraft operation, prohibit operations                 protect the RAS observatories listed in               border areas. However, we retain the
                                                 over people, and prohibit operation in                  our rules. We propose that aeronautical               option of seeking future revision of
                                                 certain airspace, among other                           mobile use shall generally be prohibited              these cross-border agreements through
                                                 restrictions. The FAA’s UAS altitude                    within 80.5 kilometers from a listed                  appropriate international channels. The
                                                 limit is well below our proposal of 1500                RAS site. Public safety entities seeking              limits arising from these international
                                                 feet above ground, and the other                        authorization for aeronautical mobile                 agreements would continue to apply to
                                                 restrictions may present impediments to                 operations fewer than 80.5 kilometers                 all licensees in the 4.9 GHz band,
                                                 effective public safety use of UAS.                     from a listed RAS site would be                       including aeronautical and robotic uses.


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                                                                           Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules                                            20015

                                                 Coordination                                            procedures designed to improve usage,                 with the frequency coordinator’s
                                                    Our rules currently require 4.9 GHz                  performance, and interference                         function and invite comment on this
                                                 licensees to ‘‘cooperate in the selection               protection would encourage public                     tentative conclusion. However, NPSTC
                                                 and use of channels in order to reduce                  safety entities that have been reluctant              also proposed that any application
                                                 interference and make the most effective                in the past to begin utilizing the 4.9 GHz            where the power flux density (PFD) into
                                                 use of the authorized facilities,’’ but do              Band.’’                                               an adjacent region border exceeds ¥109
                                                 not require prior frequency                                Discussion. We propose to require                  dBW/m2 would be flagged to be sent to
                                                 coordination. We note that current 4.9                  certified frequency coordination for                  the adjacent RPC to review. We believe
                                                 GHz band licenses authorize use of the                  licensing in the 4.9 GHz band. Given                  this proposal may help prevent
                                                 entire band and are geographic rather                   that our goal is to encourage a wide                  interference between regions, so we
                                                                                                         variety of uses of the 4.9 GHz band, we               propose to adopt it. We seek comment
                                                 than site-based. Thus, they allow
                                                                                                         agree with NPSTC, APCO, and the                       on whether this PFD is an appropriate
                                                 licensees to deploy base stations, mobile
                                                                                                         majority of commenters that neither                   threshold, how PFD should be
                                                 units, and temporary fixed stations
                                                                                                         self-coordination nor a notice-and-                   calculated and predicted, and how a
                                                 anywhere within the licensee’s
                                                                                                         response coordination procedure is                    PFD dispute would be resolved. We
                                                 jurisdiction using any part of the
                                                                                                         likely to be sufficient to ensure                     seek comment on what reference
                                                 spectrum band by informally
                                                                                                         interference protection to primary users              bandwidth should apply to this
                                                 coordinating with other uses, and
                                                                                                         in a mixed use environment. We seek                   proposed PFD limit, e.g., is a 5
                                                 without having to obtain prior clearance
                                                                                                         comment on this view. We do not                       megahertz bandwidth appropriate?
                                                 from the Commission. In the 2009
                                                                                                         propose to require incumbent 4.9 GHz                     Finally, we seek comment on whether
                                                 FNPRM in this proceeding, the                           licensees to submit to frequency                      waiving frequency coordination for
                                                 Commission expressed concern that                       coordination for their existing                       certain technology could serve as
                                                 informal self-coordination ‘‘may not                    operations. Rather, as noted above, we                incentive for manufacturers and
                                                 ensure that applicants for primary                      propose to grandfather incumbent                      licensees to use such technology in the
                                                 permanent fixed stations offer sufficient               operations provided that they file                    4.9 GHz band without creating harmful
                                                 protection to other primary permanent                   certain technical information on P–P,                 interference. Should we exempt certain
                                                 fixed stations and other co-primary                     point-to-multipoint (P–MP), base, and                 short term uses from frequency
                                                 users.’’ Accordingly, the Commission                    mobile operations in our licensing                    coordination, such as public safety
                                                 proposed a notice-and-response                          database as discussed infra in the                    robotic uses or ad hoc mobile networks?
                                                 coordination procedure conducted                        Database and Existing Licensees section.              If so, how could such users minimize
                                                 among applicants and licensees similar                     We propose that, subject to                        interference potential to existing
                                                 to the procedure used for point-to-point                qualification criteria, Public Safety Pool            operations in the same areas?
                                                 (P–P) microwave applications under                      frequency coordinators which the
                                                 part 101 of the Commission’s rules.                     Commission has certified to coordinate                Database and Existing Licensees
                                                 However, in the Fifth FNPRM, the                        in other part 90 spectrum bands should                   In the Fifth FNPRM, the Commission
                                                 Commission acknowledged the views of                    be eligible to coordinate applications in             noted that ULS does not contain
                                                 the majority of commenters that notice-                 the 4.9 GHz band. We seek comment on                  information specifying receiver location
                                                 and-response coordination ‘‘may not be                  whether to limit 4.9 GHz band                         for 4.9 GHz band P–P or P–MP links,
                                                 appropriate for this band because [it]                  coordination to public safety                         geographically licensed base station
                                                 would add a level of uncertainty and                    coordinators or whether to allow                      coordinates, antenna gain, output
                                                 complexity to the coordination                          coordination by non-public safety                     power, and antenna height. Because a
                                                 process,’’ and sought comment on                        coordinators as well. To ensure that                  frequency coordinator lacking this
                                                 requiring 4.9 GHz applications to be                    coordinators are qualified to address                 information would have difficulty
                                                 submitted to a third party such as a                    band-specific coordination issues, we                 protecting incumbent primary fixed
                                                 certified public safety frequency                       propose to require all frequency                      links and base stations from interference
                                                 coordinator or an RPC. Most                             coordinators seeking to coordinate in                 from new operations, the Fifth FNPRM
                                                 commenters to the Fifth FNPRM                           the 4.9 GHz band to submit a                          proposed to require all current 4.9 GHz
                                                 supported certified frequency                           qualification showing, which would                    licensees to register the technical
                                                 coordination for the 4.9 GHz band,                      include a coordination plan and a                     parameters of their permanent fixed P–
                                                 although a few commenters argued that                   showing of expertise specifically for the             P, P–MP, and base-to-mobile stations,
                                                 the status quo of self-coordination is                  4.9 GHz band. We further propose to                   including permanent fixed receivers
                                                 working.                                                direct the Public Safety and Homeland                 when applicable, into a coordination
                                                    NPSTC’s Plan proposes that 4.9 GHz                   Security Bureau to certify coordinators               database to ensure that primary
                                                 applications be coordinated by a                        for the band. We seek comment on these                operations receive proper interference
                                                 certified public safety frequency                       proposals, including whether a                        protection. The Commission
                                                 coordinator. APCO supports NPSTC’s                      qualification showing would place a                   ‘‘tentatively concluded that the most
                                                 recommendation because ‘‘many public                    burden on small entities. Current public              cost-effective option is for the
                                                 safety users and manufacturers choose                   safety frequency coordinator fees for                 Commission to create and maintain a
                                                 not to invest in the 4.9 GHz band                       frequency pair/site combinations range                4.9 GHz registration database that is
                                                 because it is not coordinated.’’                        from $60 to $315 depending on the                     modeled after an existing database,’’
                                                 Specifically, APCO reports that ‘‘the                   frequency band. We seek comment on                    such as the millimeter wave band
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                                                 current jurisdictional licensing model is               the relative costs and benefits of                    registration database in ULS. The
                                                 viewed within the public safety                         frequency coordination.                               Commission also sought comment on
                                                 community as too similar to an                             The NPSTC Plan proposed that                       whether to use a third party database
                                                 unlicensed structure to provide the                     frequency coordinators would send each                such as the Computer-Assisted Pre-
                                                 degree of confidence needed for mission                 application to the applicant’s home RPC               Coordination Resource and Database
                                                 critical communications, including                      for a five-business day review. We                    (CAPRAD) or a dynamic database
                                                 sensitive transmissions.’’ APCO asserts                 believe this particular proposal is                   similar to the Television White Space
                                                 that ‘‘new frequency coordination                       burdensome on RPCs and redundant                      (WS) database.


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                                                 20016                     Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules

                                                    Commenters generally agree that the                  because it is both flexible and easily                applications, while providing a
                                                 4.9 GHz band is hampered by lack of a                   accessible to frequency coordinators,                 reasonable date certain that ULS will be
                                                 reliable database that provides technical               incumbent licensees, applicants, and                  sufficiently populated with site-based
                                                 information about current licensee                      other interested parties. While the                   data to enable accurate frequency
                                                 deployments. The APCO Report                            Commission relies on private databases                coordination. We propose to establish
                                                 concludes that wider use of the 4.9 GHz                 in other select spectrum bands, ULS is                an application process for existing
                                                 band is inhibited by ‘‘blanket                          already set up for licensing in the 4.9               licensees with geographic licenses to
                                                 geographical licensing for fixed and                    GHz band, and the Commission can use                  identify P–P, P–MP, fixed receivers,
                                                 mobile operations on any channel                        existing form schedules to capture P–P,               base stations, and mobiles that are not
                                                 across the band,’’ and therefore                        P–MP, fixed receiver, base station, and               licensed site-by-site. Under this process,
                                                 proposes that ‘‘all fixed locations be                  mobile station data. Accordingly, we                  incumbent licensees would file one or
                                                 identified and licensed for a specific                  propose to add the 4.9 GHz band to the                more applications, and update or delete
                                                 channel or channels.’’ The NPSTC Plan                   microwave schedule for P–P, P–MP, and                 the existing licenses as necessary to
                                                 proposes that incumbent licensees be                    fixed receiver stations. We also propose              eliminate redundancy following a
                                                 required to ‘‘relicense using the                       to uncouple base and mobile stations                  Public Notice announcing that ULS is
                                                 proposed frequency coordination                         from geographic licenses and instead                  ready to accept such applications. There
                                                 process and appropriate ULS                             require that base and mobile technical                would be no fee for the application
                                                 schedules’’ within one year from when                   parameters be entered on the existing                 process since only public safety eligible
                                                 ULS is ready to accept applications                     location and technical data schedules.                entities are currently authorized in the
                                                 using the new process. It also proposes                 Thus, we propose to maintain ULS as                   band, and the Commission does not
                                                 that incumbent licensees that do not                    the comprehensive licensing database                  charge application fees for public safety
                                                 conform to the new band plan                            for the 4.9 GHz band, which frequency                 entities. We seek comment on this
                                                 (including any region-specific                          coordinators will use to base their                   proposal.
                                                 variations) must modify their licenses                  coordination. This proposal would not                    AASHTO suggests that incumbent
                                                 within five years of the adoption of new                affect or restrict frequency coordinators’            licensees should be required to submit
                                                 rules.                                                  use of their own internal databases,                  to frequency coordination either when
                                                    The NPSTC Plan recommends using                      which draw licensing data from ULS on                 their licenses are set for renewal or
                                                 ULS to compile the information needed                   a regular basis. We propose to modify                 within one calendar year of the
                                                 for coordination because ‘‘ULS is                       ULS as necessary to accept the                        Commission’s adoption of coordination
                                                 already funded’’ and ‘‘data required for                necessary licensing data, prepare                     requirements. We disagree because the
                                                 coordination is already collected by                    application instructions, and release a               purpose of the application process is to
                                                 ULS in the application process.’’ NPSTC                 public notice to announce when ULS is                 collect missing incumbent data so that
                                                 opposes using a private database that                   ready to accept such applications.                    fixed operations would be visible in the
                                                 would ‘‘require the applicants to fund                  Regarding the burdens associated with                 database. Although a richer database
                                                 the entire cost of capturing, storing, and              the Commission’s application for radio                will better aid future coordinations,
                                                 making data available to coordinators.’’                service authorization, the Commission                 coordination of incumbents is not
                                                 However, other commenters suggest                       has estimated that ‘‘each response to                 necessary to accomplish this goal and
                                                 establishing a geo-location database                    this collection of information will take              would impose unnecessary cost.
                                                 similar to the WS database, so that                                                                           Accordingly, for this incumbent
                                                                                                         on average 1.25 hours.’’ The estimate
                                                 commercial and unlicensed users could                                                                         application process, we propose to grant
                                                                                                         ‘‘includes the time to read the
                                                 use the 4.9 GHz band on a secondary                                                                           NYCTA’s request to waive frequency
                                                                                                         instructions, look through existing
                                                 basis.                                                                                                        coordination requirements for one year
                                                    Discussion. Our rules specify that 4.9               records, gather and maintain required
                                                                                                                                                               following the effective date of those
                                                 GHz licensees encountering or causing                   data, and actually complete and review
                                                                                                                                                               rules. However, we propose that after
                                                 harmful interference are expected to                    the form or response.’’ We seek
                                                                                                                                                               the one-year deadline, an application
                                                 cooperate and resolve the problem by                    comment on whether these time and
                                                                                                                                                               from an incumbent licensee to supply
                                                 mutually satisfactory arrangements.                     cost burdens are accurate, and on the
                                                                                                                                                               the required database information
                                                 Based on the record in this proceeding,                 number of entities (incumbents and new
                                                                                                                                                               would be treated as any other
                                                 we believe that concerns from public                    entrants) likely to be subject to this                application for a new license or
                                                 safety users of this band regarding                     requirement. We also seek comment on                  modification, i.e., it would require
                                                 resolution of interference issues in the                how best to measure the benefits                      frequency coordination. We seek
                                                 4.9 GHz band would be addressed if                      emanating from this filing requirement                comment about whether the status of a
                                                 more complete technical information is                  in order to determine whether its                     license should become secondary if the
                                                 available to all affected parties.                      benefits exceed its relative costs. For               incumbent licensee does not meet the
                                                 Therefore, we propose to require                        example, what is the cost of resolving                one-year deadline.
                                                 incumbent licensees and new applicants                  current and potential interference                       Finally, we decline to propose that
                                                 to provide technical information that                   problems in the absence of such a filing              incumbent licensees modify their
                                                 will enhance frequency coordination                     requirement? We seek comment on this                  licenses to conform to the new proposed
                                                 and help mitigate the possibility of                    proposal, and on the feasibility of                   rules and band plan. We agree with
                                                 interference, while permitting more new                 alternative database solutions.                       commenters such as Region 8 and King
                                                 users, thereby promoting more efficient                    We propose to set a one-year                       County/Seattle that such action would
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                                                 use of spectrum that has long been                      timetable, starting on the release date of            be unduly burdensome and inequitable
                                                 underutilized. We solicit alternative                   the ULS public notice described above,                to incumbent licensees, which already
                                                 suggestions that would achieve these                    for incumbent licensees to provide data,              use the band for mission critical public
                                                 goals.                                                  as recommended in the NPSTC Plan.                     safety operations. Instead, we propose to
                                                    We believe ULS provides the most                     We propose one year because we believe                grandfather existing licensees from
                                                 efficient and cost-effective means to                   this gives licensees sufficient time to               having to make any technical
                                                 facilitate certified frequency                          gather technical information about their              modifications to conform to the new
                                                 coordination in the 4.9 GHz band                        site-based facilities and file                        rules and band plan, other than


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                                                                           Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules                                              20017

                                                 providing more sufficient data as we                    reuse; and (iv) in rural areas, allowing              modification becomes effective. We
                                                 discussed above, as of the effective date               higher radiated power for longer path                 propose to continue to accept regional
                                                 of new rules adopted in this proceeding.                lengths and non-line of sight paths. We               plans and amendments after the one-
                                                 However, applications from incumbent                    tentatively disagree with the NPSTC                   year deadline for the benefit of those
                                                 licensees submitted more than one year                  Plan’s proposals for item (i) because we              RPCs that lack the resources to file
                                                 after the new rules are in effect would                 propose to allow 40 megahertz channel                 timely regional plans or are not yet
                                                 be subject to the new proposed rules                    aggregation, and for item (iv) because                formed, but the purpose of the deadline
                                                 and band plan.                                          we believe that the upper equivalent                  is to provide a goal to commence
                                                                                                         isotropically radiated power (EIRP)                   licensing based on regional plan
                                                 Regional Planning
                                                                                                         limits should be codified in our rules                considerations. The Public Safety and
                                                    Section 90.1211(a) of the                            rather than left to the discretion of the             Homeland Security Bureau would place
                                                 Commission’s rules provides that each                   RPCs. We propose to allow regional                    any submitted regional plans on public
                                                 RPC region may submit a plan with                       plans to be submitted for Commission                  notice for comment. With regard to Plan
                                                 guidelines to be used for sharing                       approval that include variations for                  Amendments, we seek comment on
                                                 spectrum in the 4.9 GHz band. The rules                 items (ii) and (iii) as well as for                   establishing a streamlined process for
                                                 list elements to be included in regional                polarization. In lieu of item (i), we                 staff review of such modifications,
                                                 plans and provide instructions for the                  propose to allow RPCs to limit                        including defining ‘‘major’’ and
                                                 plan’s modification. Although the                       aggregations to 20 megahertz as                       ‘‘minor’’ plan modifications as defined
                                                 Commission originally set a deadline for                discussed above. We also propose to                   by § 90.527(b) of the rules. We seek
                                                 all RPCs to submit 4.9 GHz regional                     limit the ability of RPCs to restrict non-            comment on these proposals and solicit
                                                 plans, it subsequently decided to make                  public safety licensing eligibility to a              alternative suggestions, especially from
                                                 plan submission voluntary and stayed                    greater degree than is provided in the                the individual RPCs. We seek comment
                                                 the deadline. To date, only 10 out of 55                Commission’s rules. In general, we                    on any burdens that the regional plan
                                                 RPC regions have submitted 4.9 GHz                      believe that providing these areas in                 filing deadline may place on small
                                                 regional plans. In the Fifth FNPRM, the                 which a regional plan can deviate from                entities.
                                                 Commission sought comment on                            the national plan, combined with the                     Finally, we decline the NPSTC Plan’s
                                                 whether it should lift the stay and                     overall flexibility of the band plan we               recommendation to permanently waive
                                                 amend § 90.1211 to require Regional                     propose, will enable regions to meet                  the existing requirement to obtain
                                                 Plans to cover permanent fixed links                    most needs of their users without                     concurrence from adjacent regions for
                                                 and base stations, as well as mobile and                                                                      plan amendments. The NPSTC Plan
                                                                                                         threatening investments in existing
                                                 temporary fixed links.                                                                                        makes no mention of the existing
                                                                                                         deployments. Because we cannot
                                                    NPSTC’s Plan states that ‘‘a single                                                                        adjacent region coordination
                                                 national plan for 4.9 GHz will meet                     foresee all areas in which RPCs may
                                                                                                         need flexibility, we propose to allow                 requirement for initial regional plans,
                                                 most regions’ needs,’’ but ‘‘some regions                                                                     and we do not see why regional plan
                                                 will need some different parameters to                  RPCs to request changes outside these
                                                                                                         areas pursuant to a waiver request. We                amendments should not also be subject
                                                 better meet needs of users in their                                                                           to adjacent region review. This adjacent
                                                 regions. NPSTC proposes to allow RPCs                   are mindful that regional variations add
                                                                                                         a challenge to frequency coordination,                region review process for plan
                                                 to file amended regional plans specific                                                                       amendments has worked in the 700
                                                 to 4.9 GHz to reflect regional                          but we believe that frequency
                                                                                                                                                               MHz and 800 MHz bands, and we do
                                                 considerations, including a required                    coordinators have the tools to keep track
                                                                                                                                                               not believe the process which is
                                                 showing of need, within 120 days after                  of these variations. We seek comment
                                                                                                                                                               currently in place is unduly
                                                 the Commission adopts new rules for                     on relative costs and benefits arising
                                                                                                                                                               burdensome on RPCs for the 4.9 GHz
                                                 the band. Several commenters support                    from this approach, which would not
                                                                                                                                                               band. We seek comment on whether
                                                 RPC involvement in the 4.9 GHz band.                    change the status of regional plans as
                                                                                                                                                               adjacent region review requirements
                                                    Discussion. We believe that RPCs                     optional.
                                                                                                                                                               would place undue burdens on small
                                                 should play an integral role in shaping                    We seek comment on when RPCs                       entities.
                                                 use of the 4.9 GHz band through                         should be required to submit regional
                                                 regional planning. In this connection,                  plans. Comments on this issue were                    Technical Standards
                                                 we propose to afford RPCs the flexibility               mixed, with suggested deadlines of 180                   In the Fifth FNPRM, the Commission
                                                 to file new and amended regional plans                  days, 240 days, and 12 months after                   sought comment on whether to adopt
                                                 for Commission review and approval to                   final rules are effective. Considering the            technical standards for 4.9 GHz band
                                                 reflect their region-specific needs or                  resource constraints on RPCs, we                      equipment. While acknowledging that
                                                 considerations as supported by a                        propose a deadline of six months after                the Commission previously had
                                                 showing of need. Alternately, RPCs                      the effective date of final rules for each            declined to mandate such a technical
                                                 would have the option to default to the                 RPC to notify the Commission either                   standard, the Commission sought
                                                 national rules without regional variation               that it intends to file a regional plan or            comment on using IEEE 802.11 as a
                                                 by taking no action. We seek comment                    that the region will default to the                   potential standard solution, given the
                                                 on this proposal, and on how to                         general rules, and a deadline of one year             standard’s worldwide availability and
                                                 implement regional variations.                          after rules adopted in this proceeding                flexibility in supporting various
                                                    NPSTC recommends that RPCs be                        become effective for the filing of                    applications. Some commenters to the
                                                 able to make region-specific changes in                 regional plans. Prior to Commission                   Fifth FNPRM assert that mandatory
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                                                 the following four areas: (i) Enabling                  acceptance of any regional plan, we                   technical standards would inhibit
                                                 additional channel aggregation; (ii)                    propose to allow new applications for                 technological development in the band,
                                                 incorporating an additional channel                     4.9 GHz licenses to be filed consistent               restrict local flexibility and control, and
                                                 designated for specialized use; (iii)                   with updated general rules. These                     render existing equipment obsolete.
                                                 placing limits on the use of P–P links in               licenses would be grandfathered for the               Other commenters contend that
                                                 urban areas or imposing more stringent                  duration of the license period. We                    standards would promote national
                                                 antenna requirements or other technical                 would lift the current stay on                        interoperability and lend certainty to
                                                 parameters to allow greater channel                     § 90.1211(a) once the proposed rule                   the marketplace for 4.9 GHz equipment.


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                                                 20018                     Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules

                                                 A number of these commenters express                    causes interference to a primary                      links may only be operated for thirty
                                                 specific support for an 802.11-based                    licensee. The supporting commenters                   days maximum over a given path in a
                                                 standard.                                               persuade us that primary status for P–                one-year period. Any application for
                                                    Discussion. Since the Commission                     P and P–MP links that carry or support                longer operation would require a
                                                 adopted service rules for the 4.9 GHz                   narrowband traffic would resolve this                 showing why longer duration is needed
                                                 band in 2003, the 4.9 GHz band has not                  risk and increase usage of the 4.9 GHz                and how the link is supporting public
                                                 fostered a market for diverse technology                band because it would give potential                  safety protection of life and property.
                                                 or inexpensive equipment, which in                      users confidence to invest in the band.               We seek comment on whether the
                                                 turn has led to underutilization and a                  Given the divided comment record on                   number of days should be reduced or
                                                 slow influx of users. In general, the                   primary status for narrowband P–P and                 increased and the reasons therefor. We
                                                 Commission has favored technology-                      P–MP links, we propose to allow                       seek comment on the relative costs and
                                                 neutral rules and has avoided adoption                  licensees to use individual 1–MHz                     benefits of the limitation proposed here,
                                                 of mandatory standards, a model that                    bandwidth Channels 14–18 for                          as well as any alternate proposals. We
                                                 has worked in many spectrum bands.                      permanent fixed P–P and P–MP                          solicit alternative suggestions and solicit
                                                 However, the record in this proceeding                  operations on a primary basis, while                  comment on burdens that a timeframe
                                                 suggests that some public safety users                  existing permanent fixed P–P and P–MP                 limitation on temporary P–P links
                                                 may desire greater certainty regarding                  operations on individual 1–MHz                        would place on small entities.
                                                 technical standards to stimulate                        bandwidth Channels 1–5 would remain                      Finally, we decline to consider a
                                                 investment in the band. While we                        secondary, with no such further                       request from the comment record that
                                                 tentatively conclude that we should not                 licensing allowed on those channels due               the band be used only for fixed uses.
                                                 adopt mandatory technical standards for                 to the proposed aeronautical mobile and               The band supports substantial mobile
                                                 the 4.9 GHz band and seek comment on                    robotic designation. We seek comment                  use, and it would be contrary to the
                                                 this view, we seek comment on how to                    on this proposal, including its relative              public interest to force such operations
                                                 encourage voluntary implementation of                   costs and benefits. Under the status quo,             to relocate from the 4.9 GHz band or
                                                 technical standards for equipment in the                any competing public safety                           cease operation. We believe that with
                                                 band that can provide certainty for                     organization in dense urban areas could               the regional planning process combined
                                                 public safety users while also providing                obtain secondary licenses for P–P and                 with frequency coordination, the goal of
                                                 appropriate incentives for                              P–MP links on channels 14–18 with no                  increased density of fixed link
                                                 manufacturers to develop innovative                     obligation to protect each other from                 deployment can occur with rule changes
                                                 and cost-effective equipment that will                  interference. Accordingly, one potential              regardless of mobile presence. We seek
                                                 encourage interoperability, discourage                  cost of a proposal to license these links             comment on this tentative conclusion.
                                                 fragmentation, and reduce equipment                     on a primary basis is that it could
                                                 costs through higher economies of scale.                increase the difficulty of competing                  Power Limits
                                                 Would a voluntary industry standard/                    public safety organizations in dense                     The 4.9 GHz rules contain power
                                                 framework that would not be                             urban areas to obtain primary licenses                output limits that depend on the
                                                 promulgated in our rules be appropriate                 for base, mobile, and temporary fixed                 channel bandwidth for both low power
                                                 and preferable to incorporating such a                  operations in channels 14–18 because
                                                                                                                                                               and high power transmitters. High
                                                 standard (or any other) in our rules? Are               primary users are entitled to
                                                                                                                                                               power P–P and P–MP links may use
                                                 there industry standards available in the               interference protection and cannot be
                                                 4.9 GHz band, and if not, what is the                                                                         directional antennas with gains greater
                                                                                                         licensed with overlapping channel
                                                 likelihood that applicable standards                                                                          than 9 dBi and up to 26 dBi with no
                                                                                                         assignments and areas of operation as
                                                 could be extended to the 4.9 GHz band?                                                                        reduction in conducted output power,
                                                                                                         secondary use may allow. How likely is
                                                 What would be the relative cost and                                                                           but if antennas with a gain of more than
                                                                                                         this to occur, and what would be the
                                                 benefit of different voluntary standards                                                                      26 dBi are used, the maximum
                                                                                                         cost of a work-around?
                                                 for high-power and low-power systems?                      The NPSTC Plan recommends that                     conducted output power and peak
                                                                                                         applications for P–P licenses include a               power spectral density must be reduced
                                                 Point-to-Point and Point-to-Multipoint                                                                        by the amount in decibels that the
                                                                                                         showing as to the need for the
                                                   Until 2009, permanent fixed P–P and                   bandwidth requested, to address the                   directional gain exceeds 26 dBi. The
                                                 P–MP stations in the 4.9 GHz band were                  potential of P–P links to cause                       Commission imposed the antenna gain
                                                 secondary to base, mobile, and                          interference. At this time, we do not                 rule ‘‘in order to avoid interference from
                                                 temporary fixed operations. In 2009, the                propose to impose such a requirement,                 fixed operations to mobile operations.’’
                                                 Commission permitted licensing of                       which no other commenter has                             In the Fifth FNPRM, the Commission
                                                 permanent fixed P–P and P–MP stations                   suggested, because the record does not                sought recommendations for an effective
                                                 that deliver broadband services on a                    contain objective benchmarks for                      radiated power (ERP) limit for high
                                                 primary basis, while those stations that                correlating various uses with bandwidth               power, permanent and temporary fixed
                                                 deliver narrowband traffic remain                       needs. We have found that no evidence                 transmitters, and whether to impose a
                                                 secondary to other operations in the 4.9                of P–P interference in the record, and                maximum ERP limit on point-to-point
                                                 GHz band. In the Fifth FNPRM, the                       we invite commenters to submit any                    links. Going forward, we will discuss
                                                 Commission sought comment on                            such evidence. Further, we believe that               radiated power levels in the 4.9 GHz
                                                 whether to license all permanent fixed                  technical rule changes we propose                     band in terms of EIRP, rather than ERP,
                                                 P–P stations on a primary basis,                        below in the Power Limits section may                 because antenna gains in the 4.9 GHz
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                                                 regardless of whether they support                      reduce interference potential by                      band rules are conventionally specified
                                                 broadband or narrowband traffic, or                     producing more directional P–P links.                 in terms of gain relative to an isotropic
                                                 whether permanent fixed P–MP stations                   We seek comment on our view and on                    reference (dBi). To make point-to-point
                                                 not delivering broadband service should                 these concerns.                                       use in the band more efficient, the
                                                 remain secondary.                                          Next, in order to limit ‘‘temporary’’              Commission also sought comment on
                                                   Discussion. Secondary status requires                 links to truly temporary uses, we                     whether it should establish a different
                                                 the user to accept the risk of                          propose to adopt the NPSTC Plan’s                     minimum gain for P–P transmitting
                                                 interference and to cease operation if it               recommendation that temporary P–P                     antennas and, if so, what value of gain


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                                                                           Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules                                              20019

                                                 would be appropriate and what power                     cover longer distances, which could                   Polarization
                                                 reduction, if any, should be required.                  save users the expense of deploying                      The Fifth FNPRM sought comment on
                                                    The NPSTC Plan does not address                      multiple, low EIRP links. Further, the                requiring P–P links to use a specific
                                                 ERP limits, but it notes that § 101.143 of              record indicates that several low cost                polarization, e.g., horizontal or vertical,
                                                 the Commission’s rules specifies a                      antennas that meet these requirements                 to reduce potential interference to other
                                                 formula for reducing the maximum EIRP                   are already available. We seek comment                links or to portable or mobile devices.
                                                 for short path lengths and proposes                     on the relative costs and benefits of this            The Commission sought comment on
                                                 ‘‘that the frequency coordinators use a                 proposal. We invite commenters to                     the costs of changing an antenna’s
                                                 similar reduction in maximum EIRP for                   provide additional information about                  polarization and whether polarization
                                                 short path lengths with formulas                        these antennas and associated costs in
                                                                                                                                                               diversity would increase throughput.
                                                 developed based on transmit powers                      the record and we seek comment on the                    Discussion. Given the mixed comment
                                                 allowed in this band.’’ The NPSTC Plan                  levels of directional antenna gains that              record, we decline to propose any
                                                 further recommends that for P–P links                   licensees are using today. We also seek
                                                                                                                                                               polarization requirements in our rules.
                                                 an antenna with a minimum gain of 26                    comment about burdens that a change to
                                                                                                                                                               However, we still believe that
                                                 dBi, a maximum of 5.5 degree                            the antenna gain rules would place on
                                                 beamwidth and a minimum 25 dB front-                                                                          polarization can be a tool to increase
                                                                                                         small entities, notwithstanding that we
                                                 to-back ratio be required. The NPSTC                                                                          density of P–P links in a given area and
                                                                                                         propose to grandfather existing P–P and
                                                 Plan also recommends that frequency                                                                           to address cases of actual interference
                                                                                                         P–MP installations from having to
                                                 coordinators be allowed to impose                                                                             between two or more P–P links. We note
                                                                                                         replace antennas.
                                                 tighter specifications for the antenna if                  We seek comment on whether the                     that side-by-side co-channel P–P links
                                                 that allows assignment of a channel that                rules should contain a maximum EIRP                   with orthogonal (opposite) polarizations
                                                 otherwise would cause interference.                     limit for directional links. Although the             could operate with minimized
                                                 NPSTC states that equipment using                       NPSTC Plan proposes no maximum                        interference because each receive
                                                 ‘‘multiple modulation rates and/or                      EIRP, three commenters suggest power                  antenna would reject signals of the
                                                 MIMO [multiple-input and multiple-                      levels equivalent to maximum EIRP                     opposite polarization. We are also
                                                 output] antenna technologies’’ is                       levels of 65.15 dBm for P–P and 55.15                 encouraged that dual polarization
                                                 inefficient and proposes that ‘‘they                    dBm for P–MP to ‘‘promote the use of                  together with polarization multiplexing
                                                 normally not be allowed in the band.’’                  the band for longer range                             can increase capacity in a P–P link, as
                                                 NPSTC recommends that requests for                      communications . . . , particularly in                Cambium suggests. As discussed above,
                                                 higher EIRP levels only be granted                      rural areas.’’ Accordingly, we seek                   we propose to allow regional plans
                                                 under waiver and receive full                           comment on these EIRP limits. Since we                submitted for Commission review
                                                 coordination so that both frequency                     noted above that the upper power limits               pursuant to § 90.1211 to propose any
                                                 coordinators and RPCs can comment.                      need to be codified in the rules, we seek             polarization schemes for new
                                                    The APCO Report argues for                           comment on whether these proposed                     applications within their regions as
                                                 ‘‘increasing the size of the antennas                   power limits are adequate to meet the                 necessary to maximize frequency reuse,
                                                 supporting 4.9 GHz operations.’’ APCO                   needs of regions whose users would                    manage interference, and increase
                                                 states that ‘‘larger directional antennas               deploy links with long path lengths in                throughput. As part of the application
                                                 (i.e. 4′ diameter and above) have more                  rural areas. We also seek comment on                  frequency coordination process,
                                                 discriminatory ‘‘off-path’’ antenna                     whether such an increase in maximum                   frequency coordinators would be able to
                                                 patterns and FB (Front-to-Back) ratios                  power levels for directional links creates            recommend a particular polarization for
                                                 which allow the coordinator to assign                   any additional interference concerns                  a proposed P–P link in those regions.
                                                 frequencies closer together and permit                  and how it might affect the ability to                We seek comment on this proposal.
                                                 more systems to co-exist, interference-                 coordinate additional links. Similarly,               Deployment Reports, Construction
                                                 free, within a given frequency band.’’                  what effect might such an increase have               Deadlines
                                                 APCO also contends that ‘‘there are                     on the ability for continued mobile
                                                 cases where a larger antenna may allow                  operations in the band? We seek                          The Fifth FNPRM sought comment on
                                                 the coordinator to assign a frequency to                comment on whether emission mask M                    whether to require 4.9 GHz licensees to
                                                 a system where a smaller antenna may                    is sufficient, or whether a tighter                   file periodic deployment reports to
                                                 not have an efficient enough antenna                    emission mask should be imposed for                   better inform the Commission about
                                                 pattern.’’                                              these higher power operations. We seek                usage of the band. The Commission
                                                    Discussion. We propose to allow P–P                  further comment on other power                        indicated that reports could include
                                                 transmitting antennas to operate with a                 suggestions in the record and how they                information such as status of equipment
                                                 minimum directional gain of 26 dBi,                     would fit with the above proposals.                   development and purchase, including
                                                 maximum 5.5 degree beamwidth and                           Finally, we decline to propose                     number of devices and users; site
                                                 minimum 25 dB front-to-back ratio.                      restrictions on multiple modulation                   development, including use of existing
                                                 Antenna physical size, or area, is related              rates and MIMO antenna technologies as                towers; deployments and upgrades
                                                 to antenna gain. Although the rules do                  proposed by the NPSTC Plan. We agree                  (commencement and completion),
                                                 not contain restrictions on physical                    with the City of New York that                        including site information and location;
                                                 antenna size, we believe this proposal                  ‘‘Multiple Input Multiple Output                      and applications in development or in
                                                 will enable users to deploy larger                      (MIMO) technology is a key element of                 use. The Commission also sought
                                                 directional antennas, as recommended                    both the 802.11n standard and LTE                     comment on reporting frequency.
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                                                 in the APCO Report, and to produce                      standards. Rather than being less                        Discussion. Although a deployment
                                                 narrower beam widths and more                           spectrally efficient, it is more so as it             report requirement had some support in
                                                 directional P–P links, which should                     provides for increased throughput and                 the record, we agree with the opposing
                                                 enable co-channel users in congested                    range.’’ Similarly, multiple modulation               comments regarding burdens on
                                                 areas to place links closer together and                rates are more spectrally efficient and               licensees and decline to propose
                                                 achieve greater frequency reuse.                        offer licenses additional flexibility in              requiring deployment reports. In
                                                 Moreover, the higher gain would                         the planning and operation of their                   addition to imposing a burden, such
                                                 increase the EIRP so that P–P links can                 systems.                                              reports would be superfluous given our


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                                                 20020                     Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules

                                                 database proposal discussed above, in                   enable priority access by public safety               and advocate retaining the requirement
                                                 which existing licensees would file                     entities. In response to the Fifth FNPRM,             that CII entities may only use the 4.9
                                                 certain additional information on their                 the NPSTC Plan proposed to extend                     GHz band pursuant to sharing
                                                 operating parameters.                                   primary 4.9 GHz eligibility to CII. More              agreements with public safety licensees.
                                                    However, we propose to establish a                   recently, other ex parte filers have                  In response, Southern Company
                                                 one-year construction deadline for all                  recommended various secondary                         contends that ‘‘the current eligibility
                                                 4.9 GHz licensees, with a corresponding                 spectrum sharing approaches combined                  rules for the 4.9 GHz band do not
                                                 construction reporting requirement. The                 with maintaining priority status for                  correlate with marketplace or political
                                                 current rules impose an 18-month                        public safety in the 4.9 GHz band.                    realities,’’ because CII entities are
                                                 construction deadline only on fixed P–                     In this Sixth FNPRM, we seek to                    ‘‘understandably reluctant to enter
                                                 P stations that are licensed on a site-by-              further discuss these alternative                     agreements whereby their investment in
                                                 site basis, and no construction deadline                eligibility and spectrum sharing                      infrastructure, and their use of a vital
                                                 for base and temporary fixed stations.                  approaches and other alternatives for                 communications resource, could be
                                                 We believe that shortening the                          the band. We seek comment on four                     rendered worthless at any time,
                                                 construction period to one year for all                 specific alternatives outlined below, and             including when that resource is needed
                                                 4.9 GHz licenses will lead to more                      on whether the four alternatives or                   most.’’
                                                 timely use of the spectrum and reduce                   elements thereof could be combined.                      Some commenters advocate
                                                 the possibility of spectrum                             We also solicit comment on any other                  expanding CII eligibility to include
                                                 warehousing. Accordingly, we propose                    sharing approaches that would meet the                additional categories of potential users.
                                                 to require all 4.9 GHz geographic                       Commission’s goals for the band.                      The Enterprise Wireless Alliance (EWA)
                                                 licensees to place at least one base or                                                                       proposes extending 4.9 GHz band
                                                                                                         Extending Eligibility to CII
                                                 temporary fixed station in operation                                                                          eligibility to ‘‘all private internal
                                                 within 12 months of license grant and                      The NPSTC Plan proposes to expand                  systems’’ that ‘‘have defined areas of
                                                 file a standard construction notification               eligibility to afford CII co-primary status           operation not necessarily focused on
                                                 with the Commission. We also propose                    with public safety in the 4.9 GHz band                population centers, often conducted in
                                                 to reduce the construction period for                   and allow CII entities immediate access               a campus-type environment that can be
                                                 fixed point-to-point stations from 18                   to two five-megahertz channels                        coordinated with public safety usage.’’
                                                 months to 12 months. These proposed                     (Channels 6 and 7). On the remaining                  The Alarm Industry Communications
                                                 rule changes will also harmonize the                    channels in the band, NPSTC proposes                  Committee (AICC) argues that alarm
                                                 construction deadlines for the 4.9 GHz                  to preserve public safety’s licensing                 companies should have primary access
                                                 band with the deadlines of § 90.155,                    priority for three years, but would allow             to the 4.9 GHz band in order to allow
                                                 which is the analogous rule for the                     CII to seek access on a notice basis.                 them ‘‘to more efficiently and rapidly
                                                 majority of part 90 radio services. We                  Under the proposed notice procedure, a                gather and forward to PSAPs
                                                 note that we have received no objections                CII entity’s application to use                       information about emergencies.’’
                                                 to this construction deadline change.                   unoccupied channels would be put on                      Discussion. We seek comment on
                                                 We seek comment on these proposals,                     public notice, and any public safety                  whether offering CII co-primary status
                                                 on their relative costs and benefits, on                entity in the same geographic area as the             with public safety is likely to create
                                                 the burdens that the proposed                           CII entity’s planned system would have                incentives for increased investment in
                                                 construction deadline would place on                    30 days to file an application for the                the 4.9 GHz band. The Commission has
                                                 small entities, and on alternative                      same channels, in which case the public               recognized that railroad, power, and
                                                 solutions that would achieve the same                   safety applicant would prevail. This                  petroleum entities use radio
                                                 goal.                                                   notice process would expire after three               communications ‘‘as a critical tool for
                                                                                                         years after the Commission’s rules                    responding to emergencies that could
                                                 Eligibility, Shared Use, and Other                      become effective, at which point public               impact hundreds or even thousands of
                                                 Alternatives                                            safety and CII would have equal access                people.’’ Extending eligibility to CII
                                                    Currently, only entities providing                   to all channels in the band with no                   could encourage collaborative
                                                 public safety services are eligible for                 required notice.                                      investment by public safety and CII
                                                 licenses in the 4.9 GHz band. Non-                         The majority of commenters                         users of the 4.9 GHz band to improve
                                                 public safety entities—including CII                    responding to both the Fifth FNPRM and                response to emergencies that affect both
                                                 entities—may use the 4.9 GHz spectrum                   the NPSTC Plan support expanding 4.9                  public safety and critical infrastructure.
                                                 by entering into sharing agreements                     GHz band eligibility to CII entities.                 We seek comment on this approach,
                                                 with eligible public safety licensees, but              APCO and FCCA/IAFC/IMSA assert that                   including its potential relative costs and
                                                 only for ‘‘operations in support of                     CII eligibility would enhance                         benefits.
                                                 public safety.’’ In light of the limited use            interoperability between utilities and                   We also seek comment on whether
                                                 of the band to date by public safety, the               public safety agencies during and                     eligibility for CII entities should be
                                                 Fifth FNPRM sought comment on                           immediately following major                           conditioned on using the band to
                                                 whether expanding eligibility to non-                   emergencies, although APCO cautions                   provide ‘‘public safety services’’ as that
                                                 public safety users might lead to                       that CII use should be ‘‘carefully                    term is defined in Section 337(f)(1)(A) of
                                                 increased use and reduction in                          monitored to ensure that public safety                the Communications Act of 1934, as
                                                 equipment costs that would benefit                      needs are considered in every potential               amended. For example, API requests
                                                 public safety. Specifically, the                        conflicting filing.’’ The Utilities                   that CII entities be permitted to use the
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                                                 Commission sought comment on                            Telecom Council (UTC) states that CII                 band for any purpose, not just in
                                                 whether CII entities should be eligible to              primary eligibility ‘‘could provide                   support of public safety. Would
                                                 hold primary 4.9 GHz licenses, thus                     capacity and coverage for smart grid and              eliminating the requirement that the
                                                 removing the requirement for a sharing                  other applications . . . [and] would                  band be used for ‘‘public safety
                                                 agreement, and also whether the band                    promote investment in and more                        services’’ by CII users increase use of the
                                                 should be opened to commercial users                    effective use of the spectrum.’’                      band, lowering equipment costs and
                                                 on a secondary or non-interfering basis                    Some public safety commenters                      facilitating the other benefits of CII
                                                 subject to a shutdown mechanism to                      oppose direct licensing of CII entities               access to the band? Or would it unduly


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                                                                           Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules                                              20021

                                                 increase congestion? Considering the                    designated for central alarm operations               leasing opportunities present public
                                                 public safety focus of the 4.9 GHz band,                may be underutilized affect how we                    safety entities with new potential
                                                 should we limit CII use of the 4.9 GHz                  should approach this request? Finally,                revenue streams that could be used to
                                                 band to communications related to the                   we note that the Commission’s general                 increase investment in NG911
                                                 protection of life, safety, and property,               approach to making spectrum available                 operations or to purchase new 4.9 GHz
                                                 as opposed to general business                          in recent years has leaned toward                     equipment? What rule changes, if any,
                                                 purposes? If we maintain the                            flexible use rather than allocations to               would best facilitate bringing the
                                                 requirement, how should the                             specific industries. We seek comment                  economies of scope and scale that come
                                                 Commission ensure compliance by CII                     on how granting CII entities eligibility              with commercial use of a band to this
                                                 users (and what are the costs of doing                  for co-primary status is consistent with              public safety spectrum? How would a
                                                 so)? Given public safety’s relatively                   this approach. We also ask how CII                    leasing alternative lead to increased use
                                                 modest use of 4.9 GHz spectrum to date,                 entities’ need for co-primary use of this             of the band compared to the current
                                                 we think there is sufficient remaining                  band can be differentiated from the                   environment, where non-public safety
                                                 spectrum in the band to accommodate                     needs of other critical and safety-related            entities can to enter into sharing
                                                 both expanded use by public safety and                  industries that may seek access to this               agreements with public safety licensees?
                                                 CII co-primary use. Stated otherwise, we                band in the future.                                   What are the relative costs and benefits
                                                 think the benefits of co-primary use of                                                                       of expanding leasing alternatives?
                                                                                                         Leasing                                                  We also seek comment on how best to
                                                 the band by both CII and public safety
                                                 can be realized at slight or no cost to                    In the 2003 4.9 GHz Third Report and               ensure that public safety would retain
                                                 public safety. We seek comment on this                  Order, the Commission allowed non-                    priority access to 4.9 GHz spectrum in
                                                 characterization. Is there reason to                    public safety entities engaged in                     any commercial leasing framework. As
                                                 elevate public safety communications in                 providing public safety-related services              noted above, the Commission cited a
                                                 the band over other uses? If so, would                  to be licensed in the 4.9 GHz band to                 dearth of technology in 2004 that would
                                                 preferential algorithms built into                      support public safety operations. In                  support ‘‘interruptible’’ spectrum
                                                 equipment ensure priority of public                     2004, the Commission permitted public                 leasing. In light of the significant
                                                 safety communications? How would                        safety licensees with ‘‘exclusive                     technological advances that have
                                                 that priority be achieved? Would such                   spectrum rights’’ to lease their spectrum             occurred since then, does technology
                                                 priority be sufficient to ensure that                   to other public safety entities eligible for          now exist that would enable public
                                                 public safety traffic would not be                      such a license authorization and to                   safety to interrupt other spectrum users
                                                 interfered with? We seek comment on                     entities providing communications in                  and reclaim leased spectrum capacity in
                                                 affording public safety priority over                   support of public safety operations.                  emergencies? Should non-public safety
                                                 other users and how priority would be                   Based on the record at that time, the                 entities that lease spectrum capacity
                                                 achieved.                                               Commission declined to permit public                  have primary status because they
                                                    If we grant co-primary eligibility to                safety licensees to lease 4.9 GHz                     entered agreements with specific public
                                                 CII entities without the need for a                     spectrum for commercial or non-public                 safety licensees? If so, how would
                                                 sharing agreement with a public safety                  safety operations. Specifically, the                  public safety priority function?
                                                 entity, we seek comment on NPSTC’s                      Commission noted that commenters                         As noted above, in the Secondary
                                                 proposal to provide CII immediate, co-                  expressed concern that such leasing                   Markets Order the Commission cited to
                                                 primary access to Channels 6 and 7                      could face statutory barriers or result in            comments expressing concern that the
                                                 during the first three years, to establish              abuse without the implementation of                   Communication Act might be a barrier
                                                 a notice procedure for CII access to the                regulatory safeguards. In the Secondary               to allowing public safety entities to
                                                 remainder of the band during the three-                 Markets Order, the Commission also                    lease spectrum that had been designated
                                                 year period, and to open up the entire                  noted that allowing such leasing could                for public safety for non-public safety
                                                 band to CII thereafter. Should we                       be premature given the then-nascent                   operations. Those comments suggested
                                                 consider alternative access                             state of ‘‘interruptible use’’ technology             that because Section 337 of the
                                                 arrangements, such as providing CII                     that would enable public safety licenses              Communications Act of 1934 defines
                                                 immediate access to Channels 12 and                     to immediately reclaim the use of any                 ‘‘public safety services’’ as services that
                                                 13, which could be coupled with access                  leased spectrum for public safety                     ‘‘are not made commercially available to
                                                 to narrowband Channels 14–18 to create                  emergencies.                                          the public by the provider,’’ the
                                                 15 megahertz of contiguous spectrum                        Discussion. In this Sixth FNPRM, we                Commission could be limited in its
                                                 for CII to access on a co-primary basis?                seek to establish new licensing and                   ability to allow non-public safety
                                                 Should we exclude Channels 1–5 from                     service rules for the 4.9 GHz band that               services on bands designated for public
                                                 CII eligibility in light of our proposal to             will spur investment and innovation                   safety services. However, Section 337’s
                                                 dedicate this segment to public safety                  while furthering public safety use of the             proscription on commercial operations
                                                 aeronautical mobile and robotic use? We                 band. We seek comment on whether                      is expressly limited to 24 megahertz of
                                                 seek comment on these options and                       these objectives could be facilitated by              spectrum in the 700 MHz band, and
                                                 solicit any alternative suggestions.                    expanding the leasing alternatives                    there is no equivalent statutory
                                                    We in turn seek comment on                           available to public safety in the band. In            limitation on the 4.9 GHz band. Section
                                                 extending 4.9 GHz band co-primary                       particular, should we remove the                      90.1203 of our rules, which governs
                                                 eligibility to all private internal systems,            current limitation and allow public                   eligibility for 4.9 GHz licenses,
                                                 as EWA requests. Would doing so be                      safety licensees that have obtained                   incorporates the requirements and
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                                                 consistent with our core goal of                        exclusive spectrum rights in the 4.9 GHz              conditions set forth in § 90.523 of our
                                                 supporting critical public safety needs?                band to lease spectrum capacity to CII                rules, which in turn implements Section
                                                 Similarly, we seek comment on                           or to commercial entities generally?                  337 of the Act, and provides that
                                                 extending primary eligibility to alarm                  Would such expanded leasing flexibility               applications in this band are limited to
                                                 companies as advocated by AICC. Does                    stimulate investment in equipment and                 operations in support of public safety.
                                                 the fact that the Commission’s recent                   networks that would benefit public                    The Commission tentatively concludes
                                                 review of ULS in another proceeding                     safety and further our objectives for                 that it has authority to modify § 90.1203
                                                 suggesting that certain frequencies                     increased use of the band? Would such                 to allow public safety licensees to enter


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                                                 20022                     Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules

                                                 into leases for non-public safety or                    GHz band eligibility to commercial                    non-public safety users to access the
                                                 commercial uses in the 4.9 GHz band.                    users on a secondary or non-interfering               band on a secondary basis, with
                                                 We seek comment on this tentative                       basis, while ensuring priority access for             safeguards to ensure priority and
                                                 conclusion. Are there any other                         public safety entities by means of a                  interference protection for Tier 1
                                                 potential jurisdictional barriers to                    sharing mechanism, such as dynamic                    operations. We seek comment on
                                                 adopting the rules proposed here?                       access control based on a database                    potential mechanisms that could
                                                    If we authorize expanded leasing by                  similar to that used for TV white spaces              facilitate two-tiered sharing in the 4.9
                                                 public safety in the 4.9 GHz band,                      devices. In response, some commenters                 GHz band while protecting primary
                                                 should there be conditions or                           support extending eligibility to                      users.
                                                 limitations on use of leased spectrum or                commercial entities on a secondary                       For example, could we implement
                                                 expenditure of leasing revenues to                      basis. Carlson, AICC, Spectrum Bridge,                Tier 2 secondary access to the 4.9 GHz
                                                 safeguard against potential abuse? For                  SSC, and WISPA suggest that adopting                  band using frequency coordination and
                                                 example, should use of leased spectrum                  an intelligent, dynamic database system               licensing procedures similar to those we
                                                 be limited to communications in                         as the sharing mechanism could allow                  are proposing for primary licensing?
                                                 support of public safety or should all                  non-public safety to use the 4.9 GHz                  The public safety community has long
                                                 communications be allowed regardless                    band on a secondary basis. The APCO                   relied on frequency coordination in
                                                 of whether they have a public safety                    Report recommends that the                            other spectrum bands to protect
                                                 nexus? Can or should we require public                  Commission consider ‘‘build[ing] upon                 mission-critical communications from
                                                 safety licensees that receive leasing                   the ‘white space’ model and apply[ing]                interference. While this system has
                                                 revenues to invest such revenues solely                 it to the 4.9 GHz arena to spur                       worked well in other bands, frequency
                                                 for public safety purposes, e.g., for                   development by increasing the potential               coordination in the 4.9 GHz band would
                                                 procurement of public safety equipment                  customer base, including within the CII               typically take place before deployment
                                                 or maintenance and operational costs of                 segment.’’ APCO recommends that the                   and does not take into account the
                                                 the network? Would such a requirement                   Commission study ‘‘[a]n innovative                    dynamically changing environment of
                                                 be consistent with the Miscellaneous                    approach that incorporates essential                  real-time spectrum usage. We seek
                                                 Receipts Act? Are there provisions of                   features such as frequency coordination,              comment on whether a frequency
                                                 state or local law relating to use of funds             with newer spectrum management tools                  coordination approach to Tier 2
                                                 by local public safety entities that the                that could expand the user base while                 secondary use would provide sufficient
                                                 Commission should take into                             preserving reliable access for public                 flexibility to support dynamic spectrum
                                                 consideration here? How would                           safety.’’                                             use while protecting Tier 1 users.
                                                 compliance with such a requirement be                      However, many public safety                        Would real-time coordination be
                                                 audited and enforced?                                   commenters oppose opening the band to                 feasible if we required Tier 2 users to
                                                    We seek comment on the relative                      commercial users, even on a secondary                 provide digital identification and/or
                                                 costs and benefits of a commercial-                     basis. These commenters express                       geo-location so that Tier 1 users could
                                                 leasing options vis-à-vis the CII co-                  concern that because public safety                    readily identify potential sources of
                                                 primary option discussed above. Which                   generally requires greater lead time than             interference to their systems? We seek
                                                 option would bring the greatest                         commercial entities to secure funding to              comment on relative costs and benefits
                                                 innovation to the 4.9 GHz band? Which                   construct communications systems,                     that a digital ID and/or geolocation
                                                 option would best facilitate the                        commercial operations could foreclose                 requirement on Tier 2 users would have,
                                                 introduction of new, lower cost                         public safety use and increase the risk               especially for Tier 2 small businesses.
                                                 equipment? Which option would best                      of interference and congestion.                          We also seek comment on the
                                                 empower public safety users—the case-                   Commenters also express skepticism                    feasibility of developing an automated
                                                 by-case leasing to commercial entities                  about the feasibility of a using a                    database system to enable dynamic Tier
                                                 where public safety users must sign off                 dynamic database as a sharing                         2 secondary use of the 4.9 GHz band
                                                 on each use or the ability of CII users                 mechanism. FCCA/IMSA/IAFC argue                       while protecting Tier 1 operations. We
                                                 to gain co-primary access to the                        that ‘‘white space-style databases are not            acknowledge the concerns raised by
                                                 spectrum without further public safety                  appropriate for the 4.9 GHz band’’                    commenters that ‘‘white-spaces’’
                                                 input? In short, which of these options                 because they rely on equipment that                   databases previously developed for
                                                 would best serve our goals in increasing                employs geo-location or similar                       commercial bands might not provide
                                                 shared use of this band at the lowest                   technologies, and ‘‘requiring 4.9 GHz                 sufficient assurance of real-time
                                                 cost? As noted above, given public                      devices to incorporate geo-location or                protection for mission-critical public
                                                 safety’s relatively modest use of 4.9 GHz               similar capabilities will unnecessarily               safety operations. We seek comment on
                                                 spectrum to date, we think that allowing                impede the development of equipment                   what capabilities an automated system
                                                 leasing would not impose any cost on                    for the band.’’ Southern similarly ‘‘does             would need to support the public safety
                                                 public safety. Stated otherwise, we                     not believe the database paradigm used                requirements of the 4.9 GHz band.
                                                 think the benefits of allowing more                     for TV White Spaces . . . devices would               Should the database be centralized or
                                                 efficient spectrum use through leasing                  be appropriate for the 4.9 GHz band,’’                distributed? What would it cost to
                                                 can be realized at no cost to public                    citing the risk to public safety that could           design, build, and operate such a
                                                 safety. We note that there are potential                be caused by ‘‘loss of critical                       system, and who should be responsible
                                                 revenue streams from leasing, further                   communications service due to database                for such costs? What information would
                                                 supporting our judgement that allowing                  errors, malfunctions of the coordination              Tier 1 and Tier 2 users need to enter and
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                                                 leasing would be produce benefits that                  system, or loss of connectivity with the              update in the database to facilitate
                                                 exceed relative costs. We seek comment                  database.’’                                           dynamic spectrum sharing? What would
                                                 on this characterization.                                  Discussion. As a third option, we seek             be the cost and burden of providing
                                                                                                         comment on the feasibility of a two-                  such information? How would an
                                                 Two-Tiered Sharing on a Secondary                       tiered sharing approach, in which Tier                automated system communicate with
                                                 Basis                                                   1 would consist of primary licensees in               users’ devices to help minimize
                                                   In the Fifth FNPRM, the Commission                    the band (including all incumbent                     interference and facilitate registration,
                                                 sought comment on whether to open 4.9                   users), while Tier 2 would allow other                coordination, and dynamic access?


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                                                                           Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules                                               20023

                                                 What capabilities would be required to                  rules, the Citizen’s Broadband Radio                  relative costs and benefits of all of these
                                                 identify potentially interfering Tier 2                 Service (CBRS) as reflected in part 96                options.
                                                 users in real time and to direct them to                subpart E, or the technical rules for the             Procedural Matters
                                                 move to a non-interfering channel or to                 AWS–3 spectrum as reflected in part 27
                                                 shut down? We seek comment on these                     for the 1710–1780 MHz and 2110–2170                   Ex Parte Presentations
                                                 issues and on alternative models for                    MHz bands? The CBRS rules assume                         The proceeding shall be treated as a
                                                 spectrum sharing that would achieve                     time division duplex operation while                  ‘‘permit-but-disclose’’ proceeding in
                                                 these goals. Beyond the upfront cost of                 the AWS–3 rules assume frequency                      accordance with the Commission’s ex
                                                 designing, building and operating the                   division duplex operation, with each set              parte rules. Persons making ex parte
                                                 automated database system, and                          of rules specifying separate technical                presentations must file a copy of any
                                                 recurring database maintenance costs—                   requirements for base stations and                    written presentation or a memorandum
                                                 both necessary to enable dynamic Tier                   mobile devices. If the band were made                 summarizing any oral presentation
                                                 2 secondary use—such dynamic                            available for unlicensed use, we                      within two business days after the
                                                 spectrum sharing would appear to                        specifically invite comment on whether                presentation (unless a different deadline
                                                 impose few costs on public safety                       we should apply the same technical                    applicable to the Sunshine period
                                                 because it would retain primary access                  rules that exist for the U–NII band at                applies). Persons making oral ex parte
                                                 to the spectrum as needed. These costs
                                                                                                         5150–5250 MHz under part 15 subpart                   presentations are reminded that
                                                 would be the costs of entering and
                                                                                                         E. If the Commission allows commercial                memoranda summarizing the
                                                 updating information to the automated
                                                                                                         use in all or part of the 4.9 GHz band,               presentation must (1) list all persons
                                                 database. We seek comment on whether
                                                                                                         should it allow both mobile and fixed                 attending or otherwise participating in
                                                 the benefits to secondary users would
                                                                                                         use? When considering whether to                      the meeting at which the ex parte
                                                 outweigh the upfront, recurring, and
                                                 database entry relative costs, and any                  designate all or part of the band for                 presentation was made, and (2)
                                                 other appreciable costs that we may not                 commercial users, should the                          summarize all data presented and
                                                 have taken into account.                                Commission consider designating the                   arguments made during the
                                                                                                         entire band in markets where there are                presentation. If the presentation
                                                 Redesignation of the Band                               no existing public safety 4.9 GHz                     consisted in whole or in part of the
                                                    As this spectrum has been                            facilities? In markets where there are                presentation of data or arguments
                                                 underutilized, we request comment on                    public safety incumbents, should public               already reflected in the presenter’s
                                                 redesignating the 4.9 GHz band, wholly                  safety use be limited to those                        written comments, memoranda or other
                                                 or partially, to support commercial                     incumbents or should a specified                      filings in the proceeding, the presenter
                                                 wireless use. Are the bases for the                     amount of the 4.9 GHz band be reserved                may provide citations to such data or
                                                 Commission’s decision in 2002 to                        for public safety use? If the Commission              arguments in his or her prior comments,
                                                 allocate the entire band for public safety              divides the band into commercial and                  memoranda, or other filings (specifying
                                                 purposes still valid, or does the public                public safety segments, would it need to              the relevant page and/or paragraph
                                                 interest now call for a change? For                     establish guard bands or would in-band                numbers where such data or arguments
                                                 example, would the public interest be                   and out-of-band emission limits suffice               can be found) in lieu of summarizing
                                                 best served if this spectrum could be                   to guard against harmful interference?                them in the memorandum. Documents
                                                 used for commercial applications, such                  Commenters should address how the                     shown or given to Commission staff
                                                 as 5G, or would it be better to strike a                loss of opportunities for public safety               during ex parte meetings are deemed to
                                                 balance between public safety and                       spectrum use in the 4.9 GHz band might                be written ex parte presentations and
                                                 commercial uses? What are the relative                  affect congestion in other bands                      must be filed consistent with rule
                                                 costs and benefits of a commercial use                  currently allocated for public safety use.            1.1206(b). In proceedings governed by
                                                 of this spectrum as weighed against the                                                                       rule 1.49(f) or for which the
                                                 band plan we propose above or the                          In the event that the Commission                   Commission has made available a
                                                 sharing use alternatives on which we                    redesignates any of the spectrum in the               method of electronic filing, written ex
                                                 seek comment? If only a portion of the                  4.9 GHz band, how should the                          parte presentations and memoranda
                                                 band were to be redesignated, how                       Commission treat existing public safety               summarizing oral ex parte
                                                 should the band be divided between                      systems operating in the band? Should                 presentations, and all attachments
                                                 public safety and commercial use? If                    public safety systems simply be                       thereto, must be filed through the
                                                 any or all of the spectrum is                           grandfathered on their current                        electronic comment filing system
                                                 redesignated for commercial wireless                    frequencies? If so, should it be based on             available for that proceeding, and must
                                                 purposes, should the Commission                         the frequencies licensed or those                     be filed in their native format (e.g., .doc,
                                                 consider auctioning the redesignated                    actually deployed and used? If the band               .xml, .ppt, searchable .pdf). Participants
                                                 spectrum, making licenses available on                  is divided into public safety and                     in this proceeding should familiarize
                                                 some other basis, or authorizing the                    commercial segments, should public                    themselves with the Commission’s ex
                                                 spectrum for unlicensed use under part                  safety licensees be required to relocate              parte rules.
                                                 15 of the Rules? We seek comment on                     their facilities into the public safety
                                                 any other alternatives to support                       segment? In the event the Commission                  Regulatory Flexibility Analysis
                                                 commercial wireless use of the 4.9 GHz                  elects to designate the entire band for                 As required by the Regulatory
                                                 band. If the band were made available                   commercial use, is there alternative                  Flexibility Act of 1980, see 5 U.S.C. 603,
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                                                 for licensed or unlicensed use, we seek                 spectrum to which existing public safety              the Commission has prepared an Initial
                                                 comment on what the technical rules                     4.9 GHz licensees can be relocated? If                Regulatory Flexibility Analysis (IRFA)
                                                 would be appropriate. Specifically, if                  so, who should pay the relocation cost,               of the possible significant economic
                                                 the band were made available for                        e.g., if the Commission decides to                    impact on small entities of the policies
                                                 licensed use, should we apply the                       auction the redesignated spectrum?                    and rules addressed in this document.
                                                 power levels, emissions limits, and                     Should auction proceeds be used to pay                IRFA is set forth in Appendix C of the
                                                 other technical requirements that are in                public safety’s cost to relocate its                  Sixth FNPRM. Written public comments
                                                 the existing 4.9 GHz band technical                     systems? We seek comment on the                       are requested on the IRFA. These


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                                                 20024                     Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules

                                                 comments must be filed in accordance                    Ordering Clauses                                      PART 0—COMMISSION
                                                 with the same filing deadlines as                         Accordingly, It is ordered, pursuant to             ORGANIZATION
                                                 comments filed in response to this Sixth                sections 1, 4(i), 4(j), 4(o), 301, 303(b),
                                                 FNPRM as set forth herein, and they                     303(g), 303(r), 316, 332, and 403 of the              ■ 1. The authority citation for part 0
                                                 should have a separate and distinct                     Communications Act of 1934, as                        continues to read as follows:
                                                 heading designating them as responses                   amended, 47 U.S.C. 151, 154(i), 154(j),                 Authority: Sec. 5, 48 Stat. 1068, as
                                                 to the IRFA. The Commission’s                           154(o), 301, 303(b), 303(g), 303(r), 316,             amended; 47 U.S.C. 155, 225, unless
                                                 Consumer and Governmental Affairs                       332, and 403, that this Sixth Further                 otherwise noted.
                                                 Bureau, Reference Information Center,                   Notice of Proposed Rulemaking is
                                                 will send a copy of the Sixth FNPRM,                    hereby adopted.                                       ■ 2. Section 0.392 is amended by adding
                                                 including this IRFA, to the Chief                         It is further ordered that the                      paragraph (k) to read as follows:
                                                 Counsel for Advocacy of the Small                       Commission’s Consumer and
                                                                                                         Governmental Affairs Bureau, Reference                § 0.392       Authority Delegated.
                                                 Business Administration (SBA).
                                                                                                         Center, shall send a copy of this Sixth               *     *     *      *   *
                                                 Initial Paperwork Reduction Act                         Further Notice of Proposed Rulemaking,                  (k) Certifies frequency coordinators;
                                                 Analysis                                                including the Initial Regulatory                      considers petitions seeking review of
                                                                                                         Flexibility Analysis, to the Chief                    coordinator actions; and engages in
                                                    This document contains proposed                      Counsel for Advocacy of the Small
                                                 new and modified information                                                                                  oversight of coordinator actions and
                                                                                                         Business Administration.                              practices.
                                                 collection requirements. The
                                                 Commission, as part of its continuing                   List of Subjects in 47 CFR Parts 0, 2,
                                                                                                         and 90                                                PART 2—FREQUENCY ALLOCATIONS
                                                 effort to reduce paperwork burdens,
                                                                                                                                                               AND RADIO TREATY MATTERS;
                                                 invites the general public and the Office                 Organization and functions                          GENERAL RULES AND REGULATIONS
                                                 of Management and Budget (OMB) to                       (Government agencies);
                                                 comment on the information collection                   Communications equipment; Radio;                      ■ 3. The authority citation for part 2
                                                 requirements contained in this                          Reporting and recordkeeping                           continues to read as follows:
                                                 document, as required by the Paperwork                  requirements.
                                                                                                                                                                 Authority: 47 U.S.C. 154, 302a, 303, and
                                                 Reduction Act of 1995 (PRA). In                         Federal Communications Commission.                    336, unless otherwise noted.
                                                 addition, pursuant to the Small                         Marlene Dortch,
                                                 Business Paperwork Relief Act of 2002,                  Secretary, Office of the Secretary.                   ■ 4. Section 2.106, the Table of
                                                 Public Law 107–198, see 44 U.S.C.                                                                             Frequency Allocations, is amended by
                                                 3506(c)(4), we seek specific comment on                 Proposed Rules                                        revising page 41 to read as follows:
                                                 how we might ‘‘further reduce the                         For the reasons discussed in the
                                                 information collection burden for small                 preamble, the Federal Communications                  § 2.106       Table of Frequency Allocations.
                                                 business concerns with fewer than 25                    Commission proposes to amend 47 CFR                   *        *       *    *     *
                                                 employees.’’                                            parts 0, 2 and 90 as follows:                         BILLING CODE 6712–01–P
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Table of Frequency Allocations                                                              3500—5450 MHz (GHF)                                                                            Page 41

                                           1International Table                                                                 United States Table                        FCC Rule Part(s)

Region 1 Table              Region 2 Table                        Region 3 Table                      Federal Table                    Non—Federal Table

(See previous page)         3500—3700                             3500—3600                           3500—3550                        3500—3550




                                                                                                                                                                                                      samy pasodoiq/@81I0Z ‘4 «e ‘Aepuop/eg oN ‘gg ToA /4opstSay fedapaq
                            FIXED                                 FIXED                               RADIOLOCATION G59                Radiolocation                       Private Land Mobile (90)

                            FIXED—SATELLITE                       FIXED—SATELLITE (space—to—Earth)    AERONAUTICAL RADIONAVIGATION

                                 (space—to—Earth)                 MOBILE except aeronautical mobile    (ground—based) G110

                            MOBILE except aeronautical             5433A                              3550—3650                        3550—3600

                                 mobile                           Radiolocation 5.433                 RADIOLOCATION G59                FIXED                               Citizens Broadband (96)

                            Radiolocation 5.433                                                       AERONAUTICAL RADIONAVIGATION     MOBILE except aeronautical mobile

                                                                                                       (ground—based) G110

                                                                                                                                       US105 US433

3600—4200                                                         3600—3700                                                            3600—3650

FIXED                                                             FIXED                                                                FIXED                               Satellite

FIXED—SATELLITE                                                   FIXED—SATELLITE (space—to—Earth)                                     FIXED—SATELLITE (space—to—Earth)      Communications (25)

 (space—to—Earth)                                                 MOBILE except aeronautical mobile                                      US107 US245                       Citizens Broadband (96)

Mobile                                                            Radiolocation 5.433                                                  MOBILE except aeronautical mobile




                                                                                                      US105 US107 US245 US433          US105 US433

                                                                                                      3650—3700                        3650—3700
                                                                                                                                       FIXED
                                                                                                                                       FIXED—SATELLITE (space—to—Earth)
                                                                                                                                         NG169 NG185
                                                                                                                                       MOBILE except aeronautical mobile

                                                                  5.435

                                                                                                      US109 US349                      US109 US349




                                                                                                                                                                                                                     2008


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                                                    FIXED                                                              FIXED                               Satellite
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                                                    FIXED-SATELLITE (space-to-Earth)                                   FIXED-SATELLITE (space-to-Earth)      Communications (25)

                                                    MOBILE except aeronautical mobile                                   NG180                              Fixed Microwave (101)




                                                                                                                                                                                   Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules
                          4200-4400                                                     4200-4400

                          AERONAUTICAL RADIONAVIGATION 5.438                            AERONAUTICAL RADIONAVIGATION                                       Aviation (87)
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                          5.439 5.440                                                   5.440 US261
PO 00000




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                          MOBILE 5.440A                                                 MOBILE

                          4500-4800                                                                                    4500-4800
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                          FIXED-SATELLITE (space-to-Earth) 5.441                                                        5.441 US245
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                          MOBILE 5.440A

                          4800-4990                                                                                    4800-4940
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                          FIXED

                          MOBILE 5.440A 5.442                                           US113 US245 US342              US113 US342

                          Radio astronomy                                               4940-4990                      4940-4950

                                                                                                                       FIXED                               Public Safety Land
07MYP1




                                                                                                                       MOBILE                                Mobile (90Y)

                                                                                                                       4950-4990

                                                                                                                       FIXED

                                                                                                                       MOBILE except aeronautical mobile

                          5.149 5.339 5.443

                                                                                                                       5.339 US342 US385




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                                                 20028                     Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules

                                                 PART 90—PRIVATE LAND MOBILE                             Commission’s Universal Licensing                      and base stations operate at a location,
                                                 RADIO SERVICES                                          System database by filing new or                      and with technical parameters, that will
                                                                                                         modification applications within one                  minimize the potential to cause and
                                                 ■ 5. The authority citation for part 90                 year after the Public Safety and                      receive interference. Licensees of
                                                 continues to read as follows:                           Homeland Security Bureau and the                      stations suffering or causing harmful
                                                   Authority: Sections 4(i), 11, 303(g), 303(r),         Wireless Telecommunications Bureau                    interference are expected to cooperate
                                                 and 332(c)(7) of the Communications Act of              announce by public notice that the                    and resolve this problem by mutually
                                                 1934, as amended, 47 U.S.C. 154(i), 161,                database is ready to accept such                      satisfactory arrangements. If licensees
                                                 303(g), 303(r), and 332(c)(7), and Title VI of          applications. Any antenna structure that              are unable to do so, frequency
                                                 the Middle Class Tax Relief and Job Creation            requires notification to the Federal                  coordinators may adjudicate such
                                                 Act of 2012, Pub. L. 112–96, 126 Stat. 156.
                                                                                                         Aviation Administration (FAA) must be                 matters and recommend solutions to the
                                                 ■ 6. Section 90.175 is amended by                       registered with the Commission prior to               Commission. The Commission may
                                                 removing paragraph (j)(22) and adding                   construction under § 17.4 of this                     impose restrictions including specifying
                                                 paragraph (k) to read as follows:                       chapter.                                              the transmitter power, antenna height,
                                                                                                            (c) Permanent fixed point-to-point                 or area or hours of operation of the
                                                 § 90.175 Frequency coordinator                          transmitters and receivers, permanent
                                                 requirements.                                                                                                 stations concerned. Within one day of
                                                                                                         fixed point-to-multipoint transmitters                making a frequency recommendation,
                                                 *     *     *    *     *                                and fixed receivers in the 4945–4990                  the lead frequency coordinator must
                                                   (k) For frequencies in the 4940–4990                  MHz band must be licensed                             send a copy of the application to other
                                                 MHz band: See § 90.1209 of this chapter                 individually on a site-by-site basis. All             certified frequency coordinators.
                                                 for further information.                                existing licensees that operate such                  Concurrently, the lead frequency
                                                 ■ 7. Section 90.1205 is amended by                      stations shall seek individual licenses               coordinator must send a copy of the
                                                 revising paragraph (c) to read as follows:              for such stations in the Commission’s                 application to the adjacent 700 MHz
                                                                                                         Universal Licensing System database by                Regional Planning Committee where the
                                                 § 90.1205   Permissible operations.
                                                                                                         filing new applications within one year               signal at the region border exceeds
                                                 *     *     *    *     *                                after the Public Safety and Homeland                  ¥109 dBW/m2/5 MHz.
                                                   (c) Aeronautical mobile and robotic                   Security Bureau and the Wireless
                                                 station operations are permitted subject                                                                         (c) Licensees will make every
                                                                                                         Telecommunications Bureau announce                    practical effort to protect radio
                                                 to § 90.1219.                                           by public notice that the database is
                                                 ■ 8. Section 90.1207 is revised to read
                                                                                                                                                               astronomy operations as specified in
                                                                                                         ready to accept such applications.                    § 2.106, footnote US385 of this chapter.
                                                 as follows:                                             Primary permanent fixed point-to-point                   (d) Licensees of base or temporary
                                                 § 90.1207   Licensing.                                  and point-to-multipoint transmitters                  fixed stations must place at least one
                                                    (a) A 4945–4990 MHz band                             must use directional antennas with                    such station in operation within twelve
                                                 geographic license gives the licensee                   gains equal to or greater than 26 dBi. All            (12) months of the license grant date, or
                                                 authority to operate temporary (1 year or               such stations in the 4945–4990 MHz                    the license cancels automatically as of
                                                 less) fixed stations on any authorized                  band are accorded primary status.                     the expiration of such twelve-month
                                                                                                            (d) A 4940–4945 MHz license gives                  period, without specific Commission
                                                 channel in this band within its licensed
                                                                                                         the licensee authority to operate                     action. Fixed point-to-point and point-
                                                 area of operation. See § 90.1213. A
                                                                                                         aeronautical mobile or robotic stations               to-multipoint stations which are
                                                 4945–4990 MHz band license will be
                                                                                                         subject to § 90.1219 on any authorized                licensed on a site-by-site basis must be
                                                 issued for the geographic area
                                                                                                         channel in this band within its licensed              placed in operation within twelve (12)
                                                 encompassing the legal jurisdiction of
                                                                                                         area of operation. See § 90.1213.                     months of the grant date or the
                                                 the licensee or, in case of a
                                                                                                         Geographic area licenses and                          authorization for that station cancels
                                                 nongovernmental organization, the legal
                                                                                                         individually licensed stations issued                 automatically as of the expiration of
                                                 jurisdiction of the state or local
                                                                                                         before the effective date of this rule that           such twelve-month period, without
                                                 governmental entity supporting the
                                                                                                         use spectrum overlapping or within the                specific Commission action.
                                                 nongovernmental organization.
                                                                                                         4940–4945 MHz band segment are                           (e) Temporary fixed point-to-point
                                                    (1) A temporary fixed station is
                                                                                                         grandfathered.                                        stations may only be operated for thirty
                                                 required to be individually licensed if:                   (e) Existing 4940–4990 MHz band
                                                    (i) International agreements require                                                                       days maximum over a given path over
                                                                                                         licenses as of the effective date of this
                                                 coordination;                                                                                                 a one-year time frame.
                                                                                                         rule are grandfathered from revisions to
                                                    (ii) Submission of an environmental                                                                        ■ 10. Section 90.1211 is amended by
                                                                                                         § 90.1215(a)(2).
                                                 assessment is required under § 1.1307 of                ■ 9. Section 90.1209 is amended by
                                                                                                                                                               revising paragraph (a), (b)(4), and (c)
                                                 this chapter; or                                        revising paragraphs (b) through (d), and              and adding paragraph (d) to read as
                                                    (iii) The station would affect areas                 adding paragraph (e) to read as follows:              follows:
                                                 identified in § 1.924 of this chapter.
                                                    (2) Any antenna structure that                       § 90.1209 Policies governing the use of the           § 90.1211   Regional plan.
                                                 requires notification to the Federal                    4940–4990 MHz band.                                     (a) To facilitate the shared use of the
                                                 Aviation Administration (FAA) must be                   *      *    *      *   *                              4.9 GHz band, each region may submit
                                                 registered with the Commission prior to                    (b) Each application for a new                     a plan on guidelines to be used for
                                                 construction under § 17.4 of this                       frequency assignment or for a change in               sharing the spectrum within the region.
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                                                 chapter.                                                existing facilities must include a                      (b) * * *
                                                    (b) Subject to § 90.1209, base stations              showing of frequency coordination. A                    (4) A description of the coordination
                                                 and mobile units (including portable                    database of licenses is available at                  procedures for permanent fixed point-
                                                 and handheld units) in the 4945–4990                    http://wireless.fcc.gov/uls. Frequency                to-point and point-to-multipoint
                                                 MHz band are required to be licensed on                 coordinators and potential applicants                 stations, base stations, temporary fixed
                                                 a site-by-site basis. All existing licensees            should examine this database before                   stations, and mobile operations. The
                                                 that operate such stations shall seek                   seeking station authorization, and make               procedures shall include, but are not
                                                 licenses for such stations in the                       every effort to ensure that their fixed               limited to, mechanisms for incident


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                                                                                    Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules                                                                                           20029

                                                 management protocols, interference                                           (d) Regional plans may be modified                                            MHz and may be subsequently licensed
                                                 avoidance, and interoperability.                                           by submitting a written request, signed                                         for use only in accordance with
                                                   (c) Regional plans may vary from the                                     by the regional planning committee, to                                          § 90.1219 of this chapter; any existing
                                                 band plan in the following areas:                                          the Chief, Public Safety and Homeland                                           operations on these channels prior to
                                                   (1) Limit channel aggregation to 20                                      Security Bureau. The request must                                               the effective date of this rule are
                                                 megahertz bandwidth.                                                       contain the full text of the modification,                                      grandfathered. Channel numbers 6
                                                   (2) Designate one or more channels for                                   and a certification that all eligible                                           through 13 are 5 MHz bandwidth
                                                 specialized use.                                                           entities had a chance to participate in                                         channels and Channel numbers 14
                                                   (3) Place limits on the use of point-to-                                 discussions concerning the modification                                         through 18 are 1 MHz bandwidth
                                                 point links in urban areas or impose                                       and that any changes have been                                                  channels. The following channel center
                                                 more stringent limits on antenna gain,                                     coordinated with adjacent regions.                                              frequencies are permitted to be
                                                 maximum conducted output power,                                            ■ 11. Section 90.1213 is revised to read                                        aggregated for channel bandwidths of 5,
                                                 power spectral density, or other                                           as follows:                                                                     10, 15 or 20 MHz as described in
                                                 technical parameters of point-to-point                                                                                                                     paragraph (b) of this section. Channel
                                                 systems relative to the limits of                                          § 90.1213          Band plan.                                                   numbers 14 through 18 should be used
                                                 § 90.1215.                                                                   (a) Upon the effective date of this rule,                                     for narrow bandwidth operations and
                                                   (4) Require polarization for point-to-                                   Channel numbers 1 through 5 are                                                 should be used in aggregations only if
                                                 point links.                                                               aggregated for a channel bandwidth of 5                                         all other 5 MHz channels are blocked.

                                                                                                                        Center frequency                                                                                           Bandwidth       Channel Nos.
                                                                                                                             (MHz)                                                                                                   (MHz)

                                                 4942.5   ......................................................................................................................................................................               5            1–5
                                                 4947.5   ......................................................................................................................................................................               5              6
                                                 4952.5   ......................................................................................................................................................................               5              7
                                                 4957.5   ......................................................................................................................................................................               5              8
                                                 4962.5   ......................................................................................................................................................................               5              9
                                                 4967.5   ......................................................................................................................................................................               5             10
                                                 4972.5   ......................................................................................................................................................................               5             11
                                                 4977.5   ......................................................................................................................................................................               5             12
                                                 4982.5   ......................................................................................................................................................................               5             13
                                                 4985.5   ......................................................................................................................................................................               1             14
                                                 4986.5   ......................................................................................................................................................................               1             15
                                                 4987.5   ......................................................................................................................................................................               1             16
                                                 4988.5   ......................................................................................................................................................................               1             17
                                                 4989.5   ......................................................................................................................................................................               1             18



                                                    (b) The following tables list center                                    aggregated channels provided that the                                           frequencies) are provided to aid in
                                                 frequencies to be licensed for aggregated                                  bandwidths do not overlap. The                                                  planning.
                                                 channels only. A license may contain                                       bandwidth edges (lower and upper                                                   (1) 5 MHz bandwidth aggregation:
                                                 any combination of bandwidths from

                                                                   Center                                                     Channel                                                     Lower                                            Upper
                                                                 frequency                                                     Nos.                                                     frequency                                        frequency
                                                                   (MHz)                                                     employed                                                     (MHz)                                            (MHz)

                                                                   4942.5                                                    1 to 5 *                                                       4940                                           4945
                                                                   4947.5                                                        6                                                          4945                                           4950
                                                                   4952.5                                                        7                                                          4950                                           4955
                                                                   4957.5                                                        8                                                          4955                                           4960
                                                                   4962.5                                                        9                                                          4960                                           4965
                                                                   4967.5                                                       10                                                          4965                                           4970
                                                                   4972.5                                                       11                                                          4970                                           4975
                                                                   4977.5                                                       12                                                          4975                                           4980
                                                                   4982.5                                                       13                                                          4980                                           4985
                                                                   4987.5                                                   14 to 18 **                                                     4985                                           4990
                                                   * Licensees for these channels granted after the effective date of this rule may use these channels only in accordance with § 90.1219 of this
                                                 chapter.
                                                   ** Licensees should avoid using these channels in aggregations unless all other channels are blocked.


                                                    (2) 10 MHz bandwidth aggregation:
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                                                                   Center                                                     Channel                                                     Lower                                            Upper
                                                                 frequency                                                     Nos.                                                     frequency                                        frequency
                                                                   (MHz)                                                     employed                                                     (MHz)                                            (MHz)

                                                                     4950                                                      6&7                                                          4945                                           4955
                                                                     4955                                                      7&8                                                          4950                                           4960
                                                                     4960                                                      8&9                                                          4955                                           4965
                                                                     4965                                                      9 & 10                                                       4960                                           4970



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                                                 20030                      Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules

                                                                 Center                                    Channel                                    Lower                          Upper
                                                               frequency                                    Nos.                                    frequency                      frequency
                                                                 (MHz)                                    employed                                    (MHz)                          (MHz)

                                                                  4970                                    10 & 11                                     4965                           4975
                                                                  4975                                    11 & 12                                     4970                           4980
                                                                  4980                                     12 &13                                     4975                           4985
                                                                  4985                                    13 to 18*                                   4980                           4990
                                                     * Licensees should avoid using these channels in aggregations unless all other channels are blocked.


                                                     (3) 15 MHz bandwidth aggregation:

                                                                 Center                                    Channel                                    Lower                          Upper
                                                               frequency                                    Nos.                                    frequency                      frequency
                                                                 (MHz)                                    employed                                    (MHz)                          (MHz)

                                                                  4952.5                                    6 to 8                                    4945                           4960
                                                                  4957.5                                    7 to 9                                    4950                           4965
                                                                  4962.5                                    8 to 10                                   4955                           4970
                                                                  4967.5                                    9 to 11                                   4960                           4975
                                                                  4972.5                                   10 to 12                                   4965                           4980
                                                                  4977.5                                   11 to 13                                   4970                           4985
                                                                  4982.5                                  12 to 18 *                                  4975                           4990
                                                     * Licensees should avoid using these channels in aggregations unless all other channels are blocked.


                                                     (4) 20 MHz bandwidth aggregation:

                                                                 Center                                    Channel                                    Lower                          Upper
                                                               frequency                                    Nos.                                    frequency                      frequency
                                                                 (MHz)                                    employed                                    (MHz)                          (MHz)

                                                                  4955                                      6 to 9                                    4945                           4965
                                                                  4960                                     7 to 10                                    4950                           4970
                                                                  4965                                     8 to 11                                    4955                           4975
                                                                  4970                                     9 to 12                                    4960                           4980
                                                                  4975                                    10 to 13                                    4965                           4985
                                                                  4980                                    11 to 18 *                                  4970                           4990
                                                     * Licensees should should avoid using these channels in aggregations unless all other channels are blocked.


                                                     (5) 30 MHz bandwidth aggregation:

                                                                 Center                                    Channel                                    Lower                          Upper
                                                               frequency                                    Nos.                                    frequency                      frequency
                                                                 (MHz)                                    employed                                    (MHz)                          (MHz)

                                                                  4960                                     6 to 11                                    4945                           4975
                                                                  4965                                     7 to 12                                    4950                           4980
                                                                  4970                                     8 to 13                                    4955                           4985
                                                                  4975                                    9 to 18 *                                   4960                           4990
                                                     * Licensees should avoid using these channels in aggregations unless all other channels are blocked.


                                                     (6) 40 MHz bandwidth aggregation:

                                                                 Center                                    Channel                                    Lower                          Upper
                                                               frequency                                    Nos.                                    frequency                      frequency
                                                                 (MHz)                                    employed                                    (MHz)                          (MHz)

                                                                  4965                                     6 to 13                                    4945                           4985
                                                                  4970                                    7 to 18 *                                   4950                           4990
                                                     * Licensees should avoid using these channels in aggregations unless all other channels are blocked.
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                                                 ■ 12. Section 90.1215 is amended by                      § 90.1215    Power limits.                              (a)(1) The maximum conducted
                                                 revising paragraphs (a)(1) and (2) to read               *      *     *       *       *                        output power should not exceed:
                                                 as follows:




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                                                                                       Federal Register / Vol. 83, No. 88 / Monday, May 7, 2018 / Proposed Rules                                                                                       20031

                                                                                                                                                                                                                                                       High
                                                                                                                                                                                                                                      Low power       power
                                                                                                                                  Channel                                                                                             maximum       maximum
                                                                                                                                 bandwidth                                                                                            conducted     conducted
                                                                                                                                   (MHz)                                                                                             output power     output
                                                                                                                                                                                                                                        (dBm)         power
                                                                                                                                                                                                                                                      (dBm)

                                                 1 ...............................................................................................................................................................................              7           20
                                                 5 ...............................................................................................................................................................................             14           27
                                                 10 .............................................................................................................................................................................              17           30
                                                 15 .............................................................................................................................................................................            18.8          31.8
                                                 20 .............................................................................................................................................................................              20           33
                                                 30 .............................................................................................................................................................................            21.8          34.8
                                                 40 .............................................................................................................................................................................              23           36



                                                    (2) High power devices are also                                            allowed antenna gain, maximum                                                  radio astronomy operations and
                                                 limited to a peak power spectral density                                      conducted output power, or power                                               terrestrial services from interference.
                                                 of 21 dBm per one MHz. High power                                             spectral density of point-to-point                                                (e) Aeronautical mobile and robotic
                                                 devices using channel bandwidths other                                        systems.                                                                       applications must be approved in
                                                 than those listed above are permitted;                                        *     *    *     *     *                                                       writing by the 700 MHz Regional
                                                 however, they are limited to peak power                                       ■ 13. Section 90.1219 is added to                                              Planning Committee or the National
                                                 spectral density of 21 dBm/MHz. If                                            Subpart Y to read as follows:                                                  Regional Planning Council as part of the
                                                 transmitting antennas of directional gain                                                                                                                    frequency coordination Regional
                                                 greater than 9 dBi are used, both the                                         § 90.1219 Aeronautical mobile and robotic                                      Planning Committee review process
                                                 maximum conducted output power and                                            operation.
                                                                                                                                                                                                              before the coordinator can submit the
                                                 the peak power spectral density should                                          Entities eligible pursuant to                                                application to the Commission.
                                                 be reduced by the amount in decibels                                          § 90.1203(a) may conduct manned                                                   (f) Aeronautical mobile operations are
                                                 that the directional gain of the antenna                                      aeronautical mobile and robotic                                                prohibited within 80.5 kilometers (50
                                                 exceeds 9 dBi. However, high power                                            terrestrial operations on Channels 1                                           miles) of radio astronomy sites listed in
                                                 point-to-point transmitting antennas                                          through 5 (4940–4945 MHz) to transmit                                          § 2.106 US385 or US131. The
                                                 (both fixed and temporary-fixed rapid                                         video payload on a primary basis to                                            coordinates to be used for the Allen
                                                 deployment) shall operate with                                                terrestrial services under the following                                       Telescope Array are 40° 49’ 01’’ North
                                                 minimum directional gain of 26 dBi,                                           restrictions.                                                                  latitude, 121° 28’ 12’’ West longitude.
                                                 maximum 5.5 degree beamwidth and 25                                             (a) Airborne use of these channels is                                        An applicant for aeronautical mobile
                                                 dB front-to-back ratio. For point-to-point                                    limited to aircraft flying at or below 457                                     use whose geographic boundaries fall
                                                 systems, the maximum equivalent                                               meters (1500 feet) above ground level.                                         within 80.5 kilometers of any of these
                                                 isotropically radiated power (EIRP) is                                        Fixed wing aircraft may use these                                              radio astronomy sites may request a
                                                 65.15 dBm. High power point-to-                                               channels at altitudes exceeding 457                                            waiver, but shall certify that it has
                                                 multipoint operations (both fixed and                                         meters above ground level as necessary                                         served a copy of the application on
                                                 temporary-fixed rapid deployment) may                                         to comply with 14 CFR 91.119(b)                                                affected radio astronomy observatories.
                                                 employ transmitting antennas with                                             through (c).
                                                 directional gain exceeding 26 dBi. For                                                                                                                          (g) The Commission has the discretion
                                                                                                                                 (b) Licensees may use only low power
                                                 point-to-multipoint systems, the                                                                                                                             to impose special conditions and
                                                                                                                               devices as defined by § 90.1215 that use
                                                 maximum EIRP is 55.15 dBm.                                                                                                                                   operating restrictions on individual
                                                                                                                               Emission Mask L as defined by
                                                 Frequency coordinators may                                                                                                                                   licenses as necessary to reduce risk of
                                                                                                                               § 90.210(l) for aeronautical mobile use.
                                                 recommend reduction to the EIRP on a                                            (c) Licensees may use only low power                                         interference to radio astronomy
                                                 case-by-case basis, through reduction of                                      devices as defined by § 90.1215 for                                            operations and terrestrial services.
                                                 the maximum conducted output power,                                           robotic applications.                                                             (h) Transmissions in the 4940–4990
                                                 spectral density, and/or antenna gain.                                          (d) The applicant shall provide a                                            MHz band to or from unmanned aerial
                                                 Further, under § 90.1211(c)(3) thorough                                       description of proposed operation to                                           systems are prohibited.
                                                 (4), Regional Planning Committees may                                         demonstrate that the proposed                                                  [FR Doc. 2018–09416 Filed 5–4–18; 8:45 am]
                                                 recommend alternate lower limits to the                                       aeronautical mobile operations protect                                         BILLING CODE 6712–01–P
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Document Created: 2018-05-05 02:48:50
Document Modified: 2018-05-05 02:48:50
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.
DatesSubmit comments on or before July 6, 2018. Submit reply comments August 6, 2018.
ContactThomas Eng, Policy and Licensing Division, Public Safety and Homeland Security Bureau, Federal Communications Commission, 445 12th Street SW, Washington, DC 20554, at (202) 418-0019, TTY (202) 418-7233, or via email at [email protected]
FR Citation83 FR 20011 
CFR Citation47 CFR 0
47 CFR 2
47 CFR 90

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