several times I have gone to WSRO at mt. wayte avenue in framingham to look at public files, but nobody is there. this is during daytime hours. i thought public files should always be availble to anyone to examine?
ferreira_67 said:several times I have gone to WSRO at mt. wayte avenue in framingham to look at public files, but nobody is there. this is during daytime hours. i thought public files should always be availble to anyone to examine?
dumber than a box of hair said:They must be available during regular business hours only. No availability of the public file, plus a lack of management presence at the station's main studio location, are grounds for a hefty fine if they are inspected. The relevant rule is 47 CFR sec. 73.3526.
DanStrassberg said:But there must be a legal way for stations to obtain waivers of this rule. I can almost guarantee that WSRO is not unique in having its main studio unstaffed during business hours. Maybe the availability of a toll-free phone number that would allow you to reach a person who could set up an appointment to see the public file is considered a way of satisfying the requirement.
dumber than a box of hair said:They must be available during regular business hours only. No availability of the public file, plus a lack of management presence at the station's main studio location, are grounds for a hefty fine if they are inspected.
The relevant rule is 47 CFR sec. 73.3526.
Eli Polonsky said:What about stations that are unstaffed full-power full-time programming repeaters of other stations? Some of those don't even have offices, just a downlink and transmitter facility. Do they also have to have a public file available during business hours at those stations, or does the availability of a public file at the studio of the parent station suffice?
DanStrassberg said:But there must be a legal way for stations to obtain waivers of this rule. I can almost guarantee that WSRO is not unique in having its main studio unstaffed during business hours.
DanStrassberg said:Maybe the availability of a toll-free phone number that would allow you to reach a person who could set up an appointment to see the public file is considered a way of satisfying the requirement.
DanStrassberg said:BTW, rumor has it that the FCC is considering requiring stations to make their public files available on-line. That would be a bonanza to software companies that could provide secure hosting of such station sites.
4CX1000A said:DanStrassberg said:But there must be a legal way for stations to obtain waivers of this rule. I can almost guarantee that WSRO is not unique in having its main studio unstaffed during business hours.
WSRO's main studio is staffed, even if they don't always answer the door. Your best bet is to call ahead, I find.
4CX1000A said:DanStrassberg said:Maybe the availability of a toll-free phone number that would allow you to reach a person who could set up an appointment to see the public file is considered a way of satisfying the requirement.
The rule requiring a management and staff presence during business hours has nothing to do with access to the public file (which can be posted on a Web site).
Eli Polonsky said:What about stations that are unstaffed full-power full-time programming repeaters of other stations? Some of those don't even have offices, just a downlink and transmitter facility. Do they also have to have a public file available during business hours at those stations, or does the availability of a public file at the studio of the parent station suffice?
reelyreal said:That public file MUST be in hard copy form, and must be accessible. If a station wants to put it on their website, more power to them, but that doesn't release them from any of the hard copy obligations.
4CX1000A said:reelyreal said:That public file MUST be in hard copy form, and must be accessible. If a station wants to put it on their website, more power to them, but that doesn't release them from any of the hard copy obligations.
I'm not aware of anything in the Rules requiring that the public file be in hard copy form. Where have you read this?
The FCC's FM Broadcast Self-Inspection Checklist states: "All or part of the file may be maintained in a computer database as long as the computer terminal is made available to members of the public who wish to review it."
reelyreal said:47 CFR 73.3526 - Local public inspection file for commercial stations
Subpart B - Location of the file:
The public inspection file shall be located as follow:
(1) A hard copy of the public inspection file shall be maintained at the main studio of the station. An applicant for a new station or change of community shall maintain its file at an acceptable place in the proposed community of license or at its proposed main studio.
The rules go on to specify that as of 2008, TV stations must also maintain the public file online.
I'd say that's a pretty clear cut requirement of a hard copy public file.
4CX1000A said:reelyreal said:47 CFR 73.3526 - Local public inspection file for commercial stations
Subpart B - Location of the file:
The public inspection file shall be located as follow:
(1) A hard copy of the public inspection file shall be maintained at the main studio of the station. An applicant for a new station or change of community shall maintain its file at an acceptable place in the proposed community of license or at its proposed main studio.
The rules go on to specify that as of 2008, TV stations must also maintain the public file online.
I'd say that's a pretty clear cut requirement of a hard copy public file.
But 73.3526 (c) states: "...All or part of the file may be maintained in a computer database, as long as a computer terminal is made available, at the location of the file, to members of the public who wish to review the file. Material in the public inspection file shall be made available for printing or machine reproduction upon request made in person."
Moreover, I've visited somebody in the past year or so that made its public file available in the form of a PC in the lobby with a link to a Web site.