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Pillsbury’s communications lawyers have published the FCC Enforcement Monitor monthly since 1999 to inform our clients of notable FCC enforcement actions against FCC license holders and others.  This month’s issue includes:

  • Public File Violations Lead to Spate of FCC Consent Decrees
  • California Tower Owner Cited for Multiple Violations
  • Montana TV Translators Miss License Renewal Deadline

Public File Violations Lead to Consent Decrees with Multiple California Licensees

In a flurry of Consent Decrees, the FCC resolved investigations into Public Inspection File violations by three California television licensees.  Two of the Consent Decrees impose $32,500 civil penalties for willfully and repeatedly violating the FCC’s rules by failing to timely upload to the Public Inspection File required Quarterly Issues/Programs Lists and children’s commercial limits certifications.  The third licensee agreed to pay a $42,500 civil penalty for the same violations, as well as for the late filing of a license to cover application and the resulting unauthorized operation.

In each instance, while processing license renewal applications, the FCC’s Media Bureau noted that the applicant had been unable to certify that all required documentation had been uploaded to the station’s Public Inspection File when required during the license term.  Each station disclosed that it had been late in uploading Quarterly Issues/Programs Lists and children’s commercial limits certifications to its Public Inspection File, asserting “administrative oversight and/or employee turnover.”

Section 73.3526(e)(11)(i) of the FCC’s Rules requires that every full power commercial television station place in its Public Inspection File “a list of programs that have provided the station’s most significant treatment of community issues during the preceding three month period.”  Section 73.3526(e)(11)(ii) of the FCC’s Rules requires that every full power commercial television station place in its Public Inspection File “records sufficient to permit substantiation of the station’s certification, in its license renewal application, of compliance with the commercial limits on children’s programming….”

Each Consent Decree details the respective station’s failure to timely upload multiple Issues/Programs Lists and commercial limits certifications.  The first station uploaded 26 Issues/Programs lists late and 21 children’s commercial limits certifications late.  The second station uploaded 31 Issues/Programs Lists late and 23 children’s commercial limits certifications late.  The third station uploaded 27 Issues/Programs lists late and 20 children’s commercial limits certifications late.  Each station had several such Lists and certifications that were uploaded over a year late.  As of the date each Consent Decree was adopted, the respective station had uploaded all required documents to its Public Inspection File.

With regard to the third station, in addition to the late Quarterly Issues/Program Lists and children’s commercial limits certifications, it had failed to timely file a license to cover application.  In June 2021, the FCC granted the station a construction permit to modify the station’s facilities to increase power.  The construction permit had an expiration date of June 2024.  Despite timely completing construction of the new facilities around October 2021, the licensee did not file a license application for the new facilities until March 2025.  Sections 73.3536 and 73.3598(a) of the FCC’s Rules require that a license application be filed promptly upon completion of construction. Continue reading →

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June 1 is the deadline for broadcast stations licensed to communities in Arizona, the District of Columbia, Idaho, Maryland, Michigan, Nevada, New Mexico, Ohio, Utah, Virginia, West Virginia, and Wyoming to place their Annual EEO Public File Report in their Public Inspection File and post the report on their station website.

Under the FCC’s EEO Rule, all radio and television station employment units (“SEUs”), regardless of staff size, must afford equal opportunity to all qualified persons and practice nondiscrimination in employment.

In addition, those SEUs with five or more full-time employees (“Nonexempt SEUs”) must also comply with the FCC’s three-prong outreach requirements.  Specifically, Nonexempt SEUs must (i) broadly and inclusively disseminate information about every full-time job opening, except in exigent circumstances, (ii) send notifications of full-time job vacancies to referral organizations that have requested such notification, and (iii) earn a certain minimum number of EEO credits based on participation in various non-vacancy-specific outreach initiatives (“Menu Options”) suggested by the FCC, during each of the two-year segments (four segments total) that comprise a station’s eight-year license term.  These Menu Option initiatives include, for example, sponsoring job fairs, participating in job fairs, and having an internship program.

Nonexempt SEUs must prepare and place their Annual EEO Public File Report in the Public Inspection Files and on the websites of all stations comprising the SEU (if they have a website) by the anniversary date of the filing deadline for that station’s license renewal application.  The Annual EEO Public File Report summarizes the SEU’s EEO activities during the previous 12 months, and the licensee must maintain adequate records to document those activities.

For a detailed description of the EEO Rule and practical assistance in preparing a compliance plan, broadcasters should consult The FCC’s Equal Employment Opportunity Rules and Policies – A Guide for Broadcasters published by Pillsbury’s Communications Practice Group.

Deadline for the Annual EEO Public File Report for Nonexempt Radio and Television SEUs

Consistent with the above, June 1, 2025 is the date by which Nonexempt SEUs of radio and television stations licensed to communities in the states identified above, including Class A television stations, must (i) place their Annual EEO Public File Report in the Public Inspection Files of all stations comprising the SEU, and (ii) post the Report on the websites, if any, of those stations.  Once the new Report is posted on a station’s website, the prior year’s Report may be removed from that website. Continue reading →