WPC 2MBVRKZ3|X7jC:,8Xj\  P6G;XP"i~'^:DPddDDDdp4D48dddddddddd88pppX|pDL|pp||D8D\dDXdXdXDdd88d8ddddDL8ddddX`(`lD4l\DDD4DDDDDDDDd8XXXXXX|X|X|X|XD8D8D8D8ddddddddddXdbdddpdXXXXXlX~|X|X|X|XdddldldD8DdDDDdplld|8|P|D|D|8dvddddDDDpLpLpLpl|T|8|\ddddddl|X|X|Xd|DdpL|Dd~4ddC$CWxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxNHxxH\dDXddddd8@d<@d<DDXXdDDxddzHxxHvppDXd<"dxtldpxxdHP4Si (Additional); Rm. 918_1; LPT2HPLA4SAD.PRSXj\  P6G;\ RXP2> K Z3|X"i~'^09CSS999S]+9+/SSSSSSSSSS//]]]Ixnnxg]xx9?xgxx]xn]gxxxxg9/9MS9ISISI9SS//S/SSSS9?/SSxSSIP!PZ9+ZM999+99999999S/xIxIxIxIxIlnIgIgIgIgI9/9/9/9/xSxSxSxSxSxSxSxSxSxSxIxSxRxSxSxS]SxIxIxInInInZnIxigIgIgIgIxSxSxSxZxSxZxS9/9S999Su]ZZxSg/gCg9g9g/xSbxSxSxSxSxn9n9n9]?]?]?]ZgFg/gMxSxSxSxSxSxSxxZgIgIgIxSg9xS]?g9xSi+SS88WuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxN/>/>/>/x]SSSSx]x]x]x]xSxSx]SSxSxSf]xSxSxSxIxIxWxIx{nInInInISSSWS]a?/?]?9?]]WW]n/nKn9nCn/x]xx]x]SSxxIxIxI]?]?]?]WnUn9nax]x]x]x]x]x]xxWnInInIx]n9x]]?n9xSz+SS8-8WuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxNwas electing mustcarry status, rather than retransmission consent, and that it would begin  xoperations on January 24, 1996. Since it received no response, KWMJ sent Tahlequah another  x.letter dated January 30, 1996, stating that it had, in fact, commenced operations on January 24,  x1996 and requesting carriage by the system. Again Tahlequah did not respond, so KWMJ sent  xit a third letter dated February 9, 1996, asking that the system comply with the Commission's  xmandatory carriage rules and providing names of station personnel who might assist in evaluating  x[KWMJ's signal. However, Tahlequah neither responded to any of these letters, nor added the  x<station, so KWMJ sent a fourth letter to the cable system dated March 27, 1996, again requesting carriage, which the system also ignored. "~&,))ZZb%"Ԍ X- b  b ( DISCUSSION ă Xxhpppppppppppppppppppppp(#p   x3. According to 76.55(e) of the Commission's Rules, the market of a commercial  xtelevision broadcast station, such as KWMJ, is defined as its Area of Dominant Influence (or  x b  b "ADI"). A commercial station is entitled to request carriage on any cable system operating in  x\that ADI. 47 C.F.R. 76.56(b). KWMJ made its carriage request by letter dated January 30,  x1996. Tahlequah failed to respond to KWMJ within the thirty days allowed by 76.61(a)(2) of  xthe Commission's Rules. Subsequently, KWMJ filed a complaint within sixty days thereafter,  xas provided by 76.7(c)(4)(iii)(B) of the Commission's Rules. KWMJ is currently in the Tulsa,  xLOklahoma ADI, which is also where Cherokee County is located. Therefore, KWMJ is entitled to mandatory carriage on the cable system serving Tahlequah.  X -  ORDERING CLAUSES  X -   x4. Accordingly, IT IS ORDERED, that the "Complaint" (CAR4711M), filed April 8,  x1996, by University Broadcasting Company, licensee of Television Broadcast Station KWMJ  xl(Ind., Channel 53), Tulsa, Oklahoma, IS GRANTED in accordance with 614 (d)(3) of the  x]Communications Act of 1934, as amended (47 U.S.C. 534) and 47 C.F.R 76.56(b).   x5, IT IS FURTHER ORDERED, that KWMJ shall notify the relevant cable system in  xzwriting of its channel position election (76.57 of the Commission's Rules), within thirty (30)  X-days of the release date of this Memorandum Opinion and Order.   x6. IT IS FURTHER ORDERED, that the affected cable system shall come into  xcompliance with the applicable rules within sixty (60) days of such notification.   x7. This action is taken pursuant to authority delegated by 0.321 of the Commission's Rules. pX` hp x (#%'0*,.8135@8: