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With regard to the remaining cable communities,  d(#we find that the evidence evaluated pursuant to the four statutory factors and other relevant factors persuades us that those communities are properly considered part of WSHE's television market. "v#),`(`(88%"Ԍ S-  17.` ` In this case, while we evaluate each modification petition on an individual basis, we have  S- d(#taken into consideration the Bureau's previous decisions in Great Trails and in Good Companion. Those  d(#ytwo cases indicate our belief that many of the cable communities at issue in this case and the Hagerstown  S- d(#ADI form a single economic market. In Great Trails, we found that, among others, the communities at  d(#\issue here in the Counties of Allegheny and Frederick, Maryland; Franklin and Fulton, Pennsylvania;  d(#Frederick, Virginia; and Hampshire, Jefferson, and Morgan, West Virginia were part of the Hagerstown  S- d(#ADI.H* {O|-ԍGreat Trails at 86338634.H In Good Companion, we relied upon the earlier Great Trails decision and we found that, in  S- d(#addition to the communities added to the Hagerstown ADI by Great Trails, the communities located in  S- d(#lthe Counties of Adams and Cumberland, Pennsylvania and in Clark, Virginia were also part of the  S- d(#Hagerstown ADI.J+Z {O -ԍGood Companion at 48354836.J We further found that the communities in the Counties of Allegheny, Morgan, and  d(#Hampshire and that the communities of Berryville and Boyce in Clarke County, Virginia and the  d(#community of Winchester in Frederick County, Virginia are geographically closer to Hagerstown than they  d(#are to Washington, D.C., the ADI to which they were assigned or which formed the center of the ADI  d(#to which they were assigned. With regard to the communities in Allegheny County, we further found that  d(#many of the communities at issue are located along or near a commercial artery, I70Maryland40, which  S -runs EastWest and connects Allegheny County to the Hagerstown area.2,  {O<-ԍId. 2  )  S`- 18.` ` We find additional support for adding the cable communities noted above to WSHE's  d(#television market in statutory factor one, historic carriage. The historic carriage factor encompasses other  d(#stations located in the same area which have been historically carried on the cable system or cable systems  d(#zserving the relevant communities. Such carriage provides evidence of the scope of the market because  d(#it demonstrates the belief of both the television stations and the cable systems involved that there is a  d(#market nexus between each station and the communities where the station is carried. In this case, as noted  d(#Labove, broadcast stations WJAL and WHAGTV, both of which are licensed to the same city as WSHE,  SH- d(#have a history of carriage in certain of the cable communities here at issue.-H~ {Of-X` hp x (#%'0*,.8135@8:of the market boundaries of the television station. The evidence submitted with regard to the second  d(#Kstatutory factor demonstrates that WSHE provides technical service to the Communities with the exception  S\- d(#jof those in Carroll and Montgomery Counties.0\ yO- d(#ԍWe note that we are relying on WSHE's Grade B contour map which is on file with the Commission and a copy of which is attached to Opposition I at Exhibit 4. WSHE does not cover cable communities in Carroll and  d(#Montgomery Counties with a Grade B contour nor can it be said that those communities lie with WSHE's  S - d(#.predicted Grade B contour fringe.1   {O- d(#ԍWe note that WSHE stated that its actual Grade B contour covers Carroll and Montgomery Counties but did not provide the supporting evidence required by Commission rules. The remaining cable communities are covered by WSHE's predicted  S-Grade B contour or are within WSHE's Grade B contour fringe.Z2d  {O-ԍSee Opposition I at Exhibit 4.  Z  S-  P21.` ` With regard to the third statutory factor, whether other stations eligible to be carried serve  d(#the relevant cable communities, we do not believe that Congress intended this third criterion to operate  d(#as a bar to a station's ADI claim whenever it could be shown that other stations do not serve the  d(#.communities at issue. Thus when we consider the totality of facts and circumstances, we are persuaded  d(#Nthat WSHE's television market should be modified to add certain of the cable communities here in question.  S|- ~22.` ` We have carefully considered each statutory and other relevant factors in the context of  d(#=the circumstances presented here. We are under no obligation to give particular weight to any one of the"T 2,`(`(88"  S- d(#]several factors under consideration.3$ {Oh- d(#ԍSee Time Warner Entertainment Co. v. FCC, 56 F.3d 151, 175 (D.C. Cir. 1995); accord, Omnipoint Corp. v.  {O2- d(#FCC, 78 F.#d 620, 633634 (D.C. Cir. 1996) (When Congress directs an agency to consider certain factors, the  d(#iagency simply "must reach an express and considered conclusion about the bearing of a factor, but is not required to give any specific weight to it."). However, given the difficulties of relying exclusively on the  d(#<statutory factors which could severely narrow the carriage rights of stations even within what is undeniably  d(#their local market area, we have found it necessary to focus more heavily on factors that are not  d(#influenced by the type or age of the stations involved. We have also taken into consideration our previous  d(#modification decisions pertaining to the Hagerstown ADI. We find that WSHE's Grade B contour  d(#\coverage coupled with the historic carriage of similarly situated stations demonstrate WSHE's market nexus to the Communities.   S- V.ORDERING CLAUSES  Sp- @23.` ` ACCORDINGLY, IT IS ORDERED , pursuant to 614(h) of the Communications Act  d(#of 1934, as amended, 47 U.S.C.  534, and Section 706.59 of the Commission's rules, 47 C.F.R. 76.59,  d(#\that the petition for special relief (CSR5086A) filed by D P Media of Martinsburg, Inc., licensee of  S - d(#WSHE(TV), IS GRANTED with respect to the cable communities at issue located in Counties of  d(#Allegheny and Frederick, Maryland; Adams, Bedford, Franklin, Fulton, and Huntingdon, Pennsylvania;  d(#Clarke, Fauquier, Frederick, Loudoun, Rappahannock, Shenandoah, Warren, and Winchester, Virginia;  S - d(#and Hampshire, Hardy, Jefferson, and Morgan, West Virginia and IS DENIED with respect to the cable  SX-communities in the Counties of Carroll and Montgomery, Maryland.  S- O24.` ` IT IS FURTHER ORDERED that Frederick Cablevision, Inc., C/R TV Cable TV Cable,  d(#Inc., and GS Communications, Inc., Benchmark Acquisition Fund I, L.P. d/b/a Cablevision of Loudoun,  d(#jSBC Media Ventures, L.P., Prestige Cable TV, Inc., TCI of Pennsylvania, Inc. and TCI of West Virginia,  d(#Inc. shall commence carriage of WSHE on their respective cable systems serving the Counties of  d(#Allegheny and Frederick, Maryland; Adams, Bedford, Franklin, Fulton, and Huntingdon, Pennsylvania;  d(#Clarke, Fauquier, Frederick, Loudoun, Rappahannock, Shenandoah, Warren, and Winchester, Virginia; and Hampshire, Hardy, Jefferson, and Morgan, West Virginia.  S- 25.` ` IT IS FURTHER ORDERED that WSHE shall notify the Cable Operators in writing of  d(#its carriage and channel position elections pursuant to Sections 76.56, 76.57 and 76.64(f) of the  d(#Commission's rules, 47 C.F.R. 76.56, 76.57, and 76.64(f), within thirty (30) days of the release date  d(#of this Order. The affected cable systems shall comply with the applicable rules within sixty (60) days of such notification from WSHE.  S- _26.` ` This action is taken pursuant to authority delegated by Section 0.321 of the Commission's rules, 47 C.F.R. 0.321.  S`-` `  hhCFEDERAL COMMUNICATIONS COMMISSION   ` `  hhCWilliam H. Johnson ` `  hhCDeputy Chief, Cable Services Bureau