If LPFM stations operating under a time share arrangement wish to temporarily alter their schedules for a specific event, they should follow these steps:
Yes, it’s possible to utilize the broadcasting hours that are not being used by the school during vacation and holiday periods. Since you are in a time-share agreement with the school, you could potentially make arrangements to broadcast during those periods when the school is closed. This way, you could maximize your station’s airtime and ensure compliance with the broadcasting requirements outlined in the rules. Just be sure to coordinate with the school and follow any necessary procedures to make use of the available hours.
As a school that is closing for summer vacation, you might be concerned about meeting the requirement to broadcast for 36 hours a week as specified by the regulations. According to §73.850 of the rules, schools are not required to broadcast on weekends or during periods designated as vacation or recess on the school calendar.
Certainly. The requirement you’re referring to is part of the LPFM station’s initial program test period. During the first year of operation, LPFM stations are required to conduct an initial program test for a period of at least 36 hours. This test period helps ensure that the station’s operations do not cause interference to any authorized stations, especially those on third adjacent channels.
This statement contains a misconception. It’s important to differentiate between broadcasting and subsidiary services. Broadcasting encompasses services that can be received using a standard radio, without any special arrangements or subscriptions. On the other hand, subsidiary services are not accessible to the general public and necessitate a subscription for reception. In digital television, multicast streams are considered broadcasting. This same argument could apply to multicast digital radio. Since these streams can be received with a standard HD radio without any subscription or access control, they are classified as broadcasting. Consequently, they would remain subject to the non-commercial requirements outlined in section 399B of the Communications Act.
Yes, it is possible for two LPFM stations to simulcast programming, but there are certain restrictions to consider. The two LPFM stations cannot be engaged in a time brokerage agreement or a management agreement. This means that they can share and broadcast the same programs simultaneously, but one station cannot provide compensation (cash or other considerations) to the other station, as that would constitute a time brokerage agreement. Additionally, both stations must maintain separate and independent management teams; one station cannot manage the operations of the other.
Yes, LPFM/NCE stations can interrupt their programming to raise funds for another organization, such as the Red Cross, during a local disaster. The FCC recognizes the importance of providing emergency information and assistance to the public in times of crisis. These stations are allowed to engage in fundraising activities to support disaster relief efforts and provide vital information to their communities. However, it’s important to ensure that such interruptions are done in compliance with FCC regulations and guidelines and that the fundraising efforts are genuine and transparent.
No, LPFM (Low Power FM) stations are not specifically required to broadcast a minimum amount of local programming according to the FCC regulations. However, some LPFM stations might choose to prioritize local content as part of their mission to serve their community. The regulations for LPFM stations are generally more flexible compared to full-power stations, allowing them to decide on their programming approach based on their community’s needs and their station’s goals.
It’s generally advisable to exercise caution when broadcasting old-time radio programs that include historical commercials. The context of these commercials and their impact on your station’s compliance with regulations should be carefully considered. Some commercials might be harmless from a regulatory standpoint, especially if they promote products that no longer exist. However, it’s always a good idea to review the content of the commercials and ensure that they do not violate any current advertising regulations or guidelines set by the FCC for LPFM/NCE stations. If in doubt, consulting with a legal professional experienced in broadcast regulations would be a prudent step to take.
Yes, an LPFM/NCE station can typically broadcast an underwriting message that encourages people to “attend church.” However, it’s important to ensure that the message remains within the guidelines of underwriting announcements and doesn’t cross the line into a direct call to action. Underwriting messages should focus on acknowledging the support of the underwriter without urging immediate action from the audience. While promoting attendance at a church event may be acceptable, the message should avoid using language that creates a sense of urgency or insistence on immediate participation. It’s always a good practice to review the specific wording with legal experts familiar with FCC regulations to ensure compliance.