An advocacy group, Frequency Forward, is challenging Sinclair's sale of five Midwestern TV stations to Rincon Broadcasting. The group's petition to deny the sale, filed yesterday, alleges that Sinclair's conduct in station purchases has not complied with the FCC's regulations on multiple station ownership. That conduct, Frequency Forward argues, disqualifies Sinclair to be a licensee of the five stations, and thus can't sell the stations to Rincon:
The petition continues:
Frequency Forward's petition zeroes in on an attempted sale of WGN-TV (Chicago) to Sinclair, which Sinclair later dropped. Frequency Forward asserts that Sinclair thereby avoided an examination of its use of "sidecar" companies where it does not own a station whose daily operations it manages. The advocacy group also alleges that the Media Bureau of the FCC did not act properly in the aftermath of the failed sale:
The petition makes no specific assertions regarding Rincon Broadcasting, the proposed buyer of the stations.
The stations specifically affected by this petition are KHQA-TV Hannibal, Missouri (Quincy, Illinois market); KTVO Kirksville, Missouri; WICS Springfield, Illinois; WICD Champaign, Illinois (misstated in the petition as "Champlain, Illinois"); and WVTV Milwaukee, Wisconsin. Given that the petition attacks Sinclair's qualifications to be a licensee, other Sinclair stations could be affected as well.
The pleading: Pleadings « License Modernization « FCC
(Edited to indicate WGN-TV is licensed to Chicago.)
Sinclair lacks the basic character qualifications to remain a licensee of the Federal Communications Commission. (“FCC or Commission”). Sinclair is in de facto control of Cunningham Broadcasting Corporation (“Cunningham”), Deerfield Media, Inc. (“Deerfield”) and other sidecar television stations. In addition to controlling television stations in violation of the Commission’s multiple ownership rules, Sinclair has made material misrepresentations to conceal the extent of its control over these sidecar stations. (page 2)
The petition continues:
Sinclair has a history of operating stations it cannot legally own. It controls its various front entities by entering into agreements with individuals who have close business ties to Sinclair or its controlling shareholders. These agreements give Sinclair control over the individual shareholder/managing member, as well as de facto control of the corporate entity and its stations’ licenses. These contractual arrangements give Sinclair, inter alia, the power to control daily operations; make policy decisions; hire, fire and control personnel; pay financial obligations, including operating expenses; and receive the profits from the operations of the stations. Sinclair’s control over these entities is so pervasive that under the rules of the SEC they have been subsumed into Sinclair as VIEs (variable interest entities). There is no aspect of station operations that Sinclair does not control. Should a nominal owner dissent or vary from Sinclair’s wishes, Sinclair has the power to immediately remove him and replace him with a compliant nominal licensee. (pages 12-13)
Frequency Forward's petition zeroes in on an attempted sale of WGN-TV (Chicago) to Sinclair, which Sinclair later dropped. Frequency Forward asserts that Sinclair thereby avoided an examination of its use of "sidecar" companies where it does not own a station whose daily operations it manages. The advocacy group also alleges that the Media Bureau of the FCC did not act properly in the aftermath of the failed sale:
Rather than be tested in the crucible of a hearing, Sinclair dismissed its assignment applications. On bended knee and with a checkbook in hand, Sinclair went to the Media Bureau seeking to resolve its outstanding character issues. Despite a clear prohibition in the rules against resolving character issues through a consent decree, the Bureau agreed to settle the case in exchange for a payment of 48 million dollars. To add a patina of credibility to the process the Bureau issued a LOI (letter of inquiry). Sinclair’s answers to the Bureau’s questions lacked candor. (page 26)
The petition makes no specific assertions regarding Rincon Broadcasting, the proposed buyer of the stations.
The stations specifically affected by this petition are KHQA-TV Hannibal, Missouri (Quincy, Illinois market); KTVO Kirksville, Missouri; WICS Springfield, Illinois; WICD Champaign, Illinois (misstated in the petition as "Champlain, Illinois"); and WVTV Milwaukee, Wisconsin. Given that the petition attacks Sinclair's qualifications to be a licensee, other Sinclair stations could be affected as well.
The pleading: Pleadings « License Modernization « FCC
(Edited to indicate WGN-TV is licensed to Chicago.)