Hopefully someone has an answer for me on this. I have heard of Christian ministries doing the following, and just wonder why it's allowed by the FCC. Many radio stations are being transferred from one ministry to another just before the CP expiration date. The FCC rules clearly state that the FCC granting and the parties' consumation of the sale both need to occur BEFORE the CP expiration date. How can there be exceptions to this rule by the FCC when the rule says otherwise? For instance, Edgewater Broadcasting filed on April 14 to transfer to them an FM CP licensed to Romney, West Virginia. THE CP EXPIRES THE NEXT DAY - APRIL 15!! The application (review it on FCC website) says something about how the parties to this application confirm to consummate the transaction BEFORE the permit expiration date, according to the FCC Public Notice in force from April 7, 2009. Obviously, NO WAY this happens in a day! What about the necessary 30 day public objection period before the CP expires? What's going on with this?