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Saturday, September 7, 2013

What’s Up With LPFM Radio These Days?

LPFM Radio Guide in Radio-Guide Magazine

Leo Ashcraft

Many have asked what’s up with LPFM radio. Here is a bit of a recap on what’s transpired this year for the LPFM radio service. Many new positive rule changes are on the books now and we have a confirmed two week LPFM Radio filing window for later this year.

Second Adjacent Waivers Creates More Availabilities – Maybe

One major change in the rules is the use of second adjacent waivers. These are available to those areas that don’t have any fully spaced channels. Keeping in mind that though a second adjacent might be available, they must be backed up by solid engineering studies that prove the calculated interference zone will not affect any listeners to the affected existing second adjacent facility. Some are fairly simple, once you have calculated the interference zone. If inside that zone, there are no buildings or four lane highways, it would likely be a grantable waiver. However, usually where a second adjacent waiver is needed would be in highly populated areas. So that kills most attempts at siting these stations using this method.

Second Adjacent Second Chance

If the basic second adjacent waiver process just won’t work, the second option would be to utilize a directional antenna and height, to pull up the radiation center towards the horizon, off the ground, and away from potential listeners inside the interference zone and near the proposed tower. This can get a bit tricky however. This is a time consuming process and is much more complicated than even a full-powered application. An applicant for a second adjacent frequency will need specialized software and experience handling these kinds of studies. This is not something they will be putting together utilizing Google maps as the Commission suggested a few months ago. I must note here that directional antennas are only allowed for second adjacent waivers, and only where needed to clear the interference zone.

Bye Bye Third Adjacent LPFM

Protection for existing stations on the third adjacent frequency is no longer considered. No waiver is required for a station application located three channels away from the proposed application frequency.

LPFM Far Far Away

Radio Tower ConstructionOther changes include the maximum distance that board members may be from the proposed transmitter site. Previously that was ten miles. Now that can be as much as twenty miles if the application is located outside of the top fifty markets. Many times a rural LPFM radio will have board members living more than ten miles from the site, this new rule change will be very helpful to rural applicants.

 

We Need More Time – You Got It! New LPFM radio construction permits will be good for up to eighteen months initially (This was changed to 36 months). If the LPFM radio CP holder is unable to build within eighteen months, an extension is now available for an additional eighteen months. Extensions should be requested no less than three months from the expiration date to allow sufficient time for the Commission to process the request.

 

Once the station is built and on the air, the station cannot be transferred to another entity for three years. The Commission put this restriction in place to discourage speculators from snatching up LPFM radio frequencies from serious applicants.

Hasta La Vista LP10 Radio

The Commission abandoned the LP10 – 10 Watt version of LPFM radio. An LPFM radio filing window was never opened for this service. It died on the vine so to speak. There are still some rumblings from an attorney who has been pressing the FCC to allow stations in the 10-50 Watt range. So far it appears to be landing on deaf ears. And rightly so, as the current service allows licensing as low as 50 Watts already. The noise floor of the FM band is such that anything less than 50 Watts is really useless anyway, especially in metro areas where they claim this wattage is necessary to squeeze in more stations. The reality is that lowering from 50 Watts to say 10 Watts doesn’t really create many more availabilities in metro areas. And many metro LPFM radio stations are already complaining about the noise floor even with 100 Watts.

More Power to LPFM Radio

Radio Tower LightThere is a proposal coming to increase the maximum power of an Low Power FM radio station to 250 Watts. The FCC has taken that possibility seriously and positive comments from the Commission have been noted.

That change will likely occur in 2014 where existing LPFM radio licensees may have the opportunity to upgrade to 250 Watts. Of course an engineering study would be needed to prove the upgrade would not interfere with existing stations. However, with the buffer zone on these existing LPFM radio stations, there is a good possibility many will qualify.

Even More Power to LPFM Radio

One exciting change for Low Power FM radio licensees is the ability to own up to two 250 Watt translators to extend their coverage. Previously an LPFM radio licensee could not own any other licensed broadcast properties, so this is a major thing for the LPFM radioservice. An LPFM radio station could be rebroadcast on a translator; they just couldn’t own that translator.

So with a couple of translators at 250 Watts and 328 feet max, that’s a major power increase and coverage for an LPFM radio station! But don’t get too excited – there are restrictions on how far the translator can be from the LPFM radio station. Additionally, the Commission will not accept translator applications during the upcoming LPFM radio filing window. That translator window will likely be in 2015. LPFM radio stations can purchase existing licensed or construction permits for translators. We’ve been getting a lot of calls from both sides of this recently.

Ready Set Go!

LPFM Radio Quick & EasyFirst things first though. We need to get through the next LPFM radio filing window first. And yes, finally the Commission has announced the official filing window. This window will be open on October 15th through the 29th. Yes, that’s a two week national window for all states. The previous window nearly thirteen years ago was only five days and divided the United States into several regions. This was a bit of a mess; we’re elated the Commission has decided to handle this through a single national filing window.

LPFM Radio Shock

With so many delays of this window – starting back from 2010 – many would-be applicants are a bit shell shocked and in a bit of disbelief that this really is happening in October, after thirteen years and three years of recent delays. Trust me – this window is happening and will likely be the very last LPFM radio filing window. Now is not the time for procrastination for an LPFM radio applicant.

Several steps need to be taken in preparation for the window. Non-profit formation can sometimes take up to two months, and locating a workable tower site and securing reasonable assurance of availability, for instance. September and definitely not October is not the time to start thinking about getting started.

Leo Ashcraft is CEO of Nexus Broadcast “Broadcast Outside The Box!” Leo may be reached at email: Leo@NexusBroadcast.com, and at phone number: 239-427-RADIO

Published in Radio-Guide Magazine August 2013

Wednesday, May 29, 2013

A Working Radio Retirement

Published in Radio Guide Magazine – March 2013

On The Beach - Working RetirementAs many who follow this column know, I recently retired. I looked forward to taking some relaxation time and enjoying myself, as I ease myself into the older years of my life. I planned to open a restaurant, which is still in the works. I intended to continue to help the LPFM service as an advisor/consultant to make sure it stayed on track. I’ve made great progress in detaching myself from many of the day-to-day activities of Nexus Broadcast and the Conexus LPFM Advocacy. Dustin Williams and John Guiteress have taken the reigns at Nexus Broadcast, while Gene Rowley and Alan Mccall are operating Conexus.

So, with these very capable people taking over my babies, I set off for vacation to sunny Florida! In the meantime, as always seems the case, someone began calling me for help. They had installed their directional antenna system without our help or guidance, and suddenly had given up on trying to do it themselves – they wanted someone down there pronto! Off went Dustin from Nebraska, to help this fellow put his mess of an antenna system back together.

Monday, May 20, 2013

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Saturday, March 2, 2013

Tribal Radio Priority

Tribal Radio OpportunitiesIn 2010, the Federal Communications Commission established a Tribal Radio Priority to expand the number of radio stations owned by American Indian Tribes broadcasting to Tribal lands.  The Tribal Priority is a FCC rule through which Tribes or Tribally owned or controlled entities may more easily obtain broadcast radio licenses in both the AM and FM bands.  The Tribal Priority is intended not only to provide radio service tailored to specific Tribal needs and cultures, but to increase ownership of such radio stations by Tribes and Tribally owned entities.  In doing so, the Tribal Priority also fosters localism and diversity of ownership.

Thursday, February 28, 2013

FCC opens window for uncontested FM translator applications

FCC LogoThe FCC is opening a new window in the spirit of its “expedited Auction 83 licensing initiative” which is part of the LPFM proceeding.  It gives proponents of translator CPs which are not mutually exclusive to any other applicants the chance to file for CPs.  Since these are singleton applicants, they will not be subjected to a future auction.  The  “filing window”  will be  open through 3/28 for 713 singleton applicants to submit their long forms.  This is a huge step in clearing the backlog of thousands of applications from the 2003 “Great Translaot Invasion”.  It will clear the way for an LPFM radio filing window later this year.

The FCC stated, “This window is limited to timely filed proposals which are not mutually exclusive with any other applications submitted in the Auction 83 Filing Window and specify transmitter site locations which are (1) outside all Spectrum Limited markets and (2) not within 39 km of any Spectrum Limited market grid. These ‘singleton’ applications are exempt from the Commission’s auction procedures.”

Applicants may make minor amendments (including channel changes) as long as the designated LPFM channel/points are protected as well as in compliance with the Top-50 preclusion rule. This may impact the available LPFM channels (ie; they may change).  The FCC requires a Form 349 for each eligible facility by 3/28/13.

Appendix A to the announcement, listing the proposals germane to this proceeding, can be seen here:
http://transition.fcc.gov/Daily_Releases/Daily_Business/2013/db0226/DA-13-283A2.pdf