NOTICE ********************************************************* NOTICE ********************************************************* This document was originally prepared in Word Perfect. If the original document contained-- * Footnotes * Boldface & Italics --this information is missing in this version The document format (spacing, margins, tabs, etc.) is changed too. If you need the complete document, download the Word Perfect version. For information about downloading documents (FTP) see file pnmc5021. File pnmc5021 (.txt & .wp) is in directory \pub\Public_Notices\Miscellaneous. ***************************************************************** ******** Before the FEDERAL COMMUNICATIONS COMMISSION Washington, D.C. 20554 DA 95-1132 In the Matter of ) ) Mile-Hi Cable Partners, L.P. ) CUID No. CO0254 (Denver) ) TCI Cablevision of New England, Inc. ) CUID No. MA0149 (Somerset) ) TCI of Southern Maine, Inc. ) CUID Nos. ME0159 (York) and ) ME0160 (Ogunquit) ) TCI Cablevision of Greater Michigan, Inc.) CUID Nos. MI0043 (Tecumseh) and ) MI0779 (Raisin) ) TCI of New York, Inc. ) CUID Nos. NY0167 (Ulster) and ) NY0223 (Poughkeepsie) ) TCI Cablevision of Ohio, Inc. ) CUID No. OH0203 (Perry) ) TCI Cablevision of Central Texas, Inc.) CUID No. TX0234 (Yoakum) ) TCI Cablevision of Wyoming, Inc. ) CUID No. WY0027 (Gillette) ) Benchmark Filings to Support ) Cable Programming Service Prices ) MEMORANDUM OPINION AND ORDER Adopted: May 19, 1995 Released: May 24, 1995 By the Chief, Financial Analysis and Compliance Division, Cable Services Bureau: 1. Here we consider complaints about the prices the above-captioned operators (collectively "Operators") were charging for their cable programming service ("CPS") tier in the communities referenced above. Operators have chosen to attempt to justify their prices through benchmark showings on FCC Form 393. This Order addresses the reasonableness of Operators' prices only through May 14, 1994. At a later time we will issue a separate order addressing the reasonableness of the prices after that date. 2. Under the Cable Television Consumer Protection and Competition Act of 1992, and our rules implementing it, 47 C.F.R. Part 76, Subpart N, the Commission must review CPS prices upon the filing of a complete and timely complaint. The filing of a complete and timely complaint triggers an obligation on behalf of the cable operator to file a justification of its CPS prices. Under our rules, an operator may attempt to justify its prices through either a benchmark showing or a cost-of-service showing. In either case, the operator has the burden of demonstrating that its CPS prices are not unreasonable. 3. The Commission's original rate regulations took effect on September 1, 1993. The Commission subsequently revised its rate regulations effective May 15, 1994. Operators with complete and timely CPS complaints filed against them prior to May 15, 1994 must demonstrate that their CPS prices were in compliance with the Commission's initial rules from the time the complaint was filed through May 14, 1994, and that their prices were in compliance with the revised rules from May 15, 1994 forward. Operators attempting to justify their prices for the period prior to May 15, 1994 through a benchmark showing must complete and file FCC Form 393. Generally, to justify their prices for the period beginning May 15, 1994 through a benchmark showing, operators must use the FCC Form 1200 series. 4. Operators assert that their monthly CPS prices are justified by their benchmark filings because these prices are equal to or lower than the maximum permitted charges. Upon review, we have found no apparent errors that would result in Operators' actual CPS prices exceeding their maximum permitted CPS prices. 5. Accordingly, IT IS ORDERED, pursuant to Section 0.321 of the Commission's Rules, 47 C.F.R.  0.321, that the complaints referenced herein against the cable programming service prices charged by Operators in the communities referenced above ARE DENIED TO THE EXTENT INDICATED HEREIN. FEDERAL COMMUNICATIONS COMMISSION JoAnn Lucanik Chief, Financial Analysis and Compliance Division Cable Services Bureau