Export Compliance Daily is a Warren News publication.

Broadcasters, Interest Groups Spar Over Vacant Channels, ATSC 3.0

Broadcasters seeking to use vacant channels for the ATSC 3.0 transition are attempting to “squat” on free spectrum, said Consumers Union, Public Knowledge and the New America Foundation's Open Technology Institute in replies in FCC docket 16-142 Tuesday on a…

Sign up for a free preview to unlock the rest of this article

Export Compliance Daily combines U.S. export control news, foreign border import regulation and policy developments into a single daily information service that reliably informs its trade professional readers about important current issues affecting their operations.

Further NPRM on the new standard (see 1802210064). Allowing temporary use of the vacant channels “will trigger a lobbying frenzy to make the giveaway permanent,” the groups said. That claim is “nonsense,” said One Media. “The use would be temporary in the same way the second simulcast digital channel provided to broadcasters during the analog-to-digital conversion was temporary.” Special temporary authority process would govern channel provision, ensuring temporary use, Pearl said. Mutually exclusive applications for vacant channels during the switch will be unlikely because broadcasters will coordinate with each other, but would be resolved with auctions as the rules require, NAB said. Giving broadcasters access to vacant channels “is not necessary at this time to protect consumers and it comes at a high cost,” said the interest groups. The vacant channels will let stations maintain signal quality during the transition, NAB said. “Any party claiming to be concerned about consumer protection during the Next Gen deployment should support the use of vacant channels as a concrete step that may help to minimize disruption of service.” Granting broadcasters' vacant channel request will impose costs on MVPDs, the interest groups said. “If the broadcaster‘s 1.0 signal is transferred to a transmitter other than one that is already transmitting a broadcast signal being carried by the cable system, the cable operator would need to purchase and install new receiving equipment.” The broadcaster entities also said the FCC should be flexible in granting waivers of the 3.0 simulcast requirements, and Pearl said the agency should grant blanket waivers for noncommercial and Class A stations. “Implementing this exemption would show the Commission’s support for deployment of ATSC 3.0 across the country, particularly in more remote or rural areas,” said Pearl.