******************************************************** NOTICE ******************************************************** This document was converted from WordPerfect to ASCII Text format. Content from the original version of the document such as headers, footers, footnotes, endnotes, graphics, and page numbers will not show up in this text version. All text attributes such as bold, italic, underlining, etc. from the original document will not show up in this text version. Features of the original document layout such as columns, tables, line and letter spacing, pagination, and margins will not be preserved in the text version. If you need the complete document, download the WordPerfect version or Adobe Acrobat version, if available. ***************************************************************** Before the Federal Communications Commission Washington, D.C. 20554 In re Petition of: ) ) Greater Worcester Cablevision, Inc., et al.) CSR-5276-A ) For Modification of Market Station) WBPX, Channel 46, Norwell, Massachusetts) ) Petition for Special Relief ) ) Complaint filed by Channel 46 of Boston, Inc.) CSR-5212-M against Greater Media Cable ) ) Petition for Reconsideration ) ERRATUM Adopted: December 23, 1998 Released: December 30, 1998 By the Deputy Chief, Cable Services Bureau: The Memorandum Opinion and Order, DA 98-2262 (released November 9, 1998) is corrected as follows, and the Caption on the Order is amended to read as indicated above: Paragraph 20 is corrected to read as follows: 20. We also believe that Greater Worcester's carriage of other local television stations provides support for the action requested. Where a cable operator is seeking to delete a station's mandatory carriage rights in certain communities, the issue of local coverage by other stations becomes a factor to which we will give greater weight than in cases where a party is seeking to add communities. In this case, we find the stations carried by Greater Worcester to have a closer nexus to the cable systems herein than does WBPX. These market facts, coupled with the distance between the cable systems and WBPX, support Greater Worcester's arguments under the third statutory factor. FEDERAL COMMUNICATIONS COMMISSION William H. Johnson Deputy Chief, Cable Services Bureau