Update: Effective Date of Ownership Report Revisions Set, Sort of

By | April 3rd, 2016|Legal News|

Commission’s Order makes it into the Federal Register, establishing deadlines petitions for reconsideration and/or judicial review as well as effective date of the underlying order – but what exactly will take effect on that date? Back in January we reported on the FCC’s latest attempt to craft the Perfect Broadcast Ownership Report for both the … Continue Reading

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If At First You Don’t Succeed …: FCC Unveils Latest Versions of Broadcast Ownership Reports

By | January 24th, 2016|Legal News|

Among the changes: RUFRNs, static NCE biennial deadlines, increased reporting burdens for NCE licensees The FCC’s seemingly Sisyphian quest to design the Perfect Broadcast Ownership Report has yielded a number of changes. Whether, as the Commission hopes, they are changes for the better remains to be seen, presumably when the next round of biennial ownership … Continue Reading

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Update: Comment Deadlines Set for Form 323 RUFRN NPRM

By | February 26th, 2015|Legal News|

We recently reported on the FCC’s proposal to revise its broadcast ownership reporting requirements to permit all attributable interest holders to utilize a “Restricted Use FCC Registration Number” (RUFRN) in connection with both comm...

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Form 323: So Long, SUFRNs; Hello, RUFRNs?

By | February 16th, 2015|Legal News|

Another ownership reporting cycle, another acronym: the FCC continues to struggle to devise an ownership reporting mechanism that will give the Commission what it wants. The Commission has once again waded into the muck of how individual interest holde...

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