WPCd2 2BJZ Courier3|jix6X@`7X@HP LaserJet 4M 712_1 LPT2tional)HL4MPCAD.PRSx  @\ vOX@266 ZFKK3|jHP LaserJet 4M 712_1 LPT2tional)HL4MPCAD.PRSXj\  P6G;\ vOXP"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$CWxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxNHxxH\dDXddddd8@d<@d<DDXXdDDxddzHxxHvppDXd<"dxtldpxxd"i~'^09CSS999S]+9+/SSSSSSSSSS//]]]Ixnnxg]xx9?xgxx]xn]gxxxxg9/9MS9ISISI9SS//S/SSSS9?/SSxSSIP!PZ9+ZM999+99999999S/xIxIxIxIxIlnIgIgIgIgI9/9/9/9/xSxSxSxSxSxSxSxSxSxSxIxSxRxSxSxS]SxIxIxInInInZnIxigIgIgIgIxSxSxSxZxSxZxS9/9S999Su]ZZxSg/gCg9g9g/xSbxSxSxSxSxn9n9n9]?]?]?]ZgFg/gMxSxSxSxSxSxSxxZgIgIgIxSg9xS]?g9xSi+SS88WuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxN/>/>/>/x]SSSSx]x]x]x]xSxSx]SSxSxSf]xSxSxSxIxIxWxIx{nInInInISSSWS]a?/?]?9?]]WW]n/nKn9nCn/x]xx]x]SSxxIxIxI]?]?]?]WnUn9nax]x]x]x]x]x]xxWnInInIx]n9x]]?n9xSz+SS8-8WuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxN*K,\."i~'^#)0<8HH"&H>XHH8HB8>HH^HH>"".2",2,2,"222N2222"&22H22,006"6."""""""""""2H,H,H,H,H,XAB,>,>,>,>,""""H2H2H2H2H2H2H2H2H2H2H,H2H1H2H2H282H,H,H,B,B,B6B,H?>,>,>,>,H2H2H2H6H2H6H2""2"""2F866H2>>(>">">H2;H2H2H2H2XHB"B"B"8&8&8&86>*>>.H2H2H2H2H2H2^HH6>,>,>,H2>"H28&>"H2?22!!WFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxN$<<$.2",2222`2 LL2 LL2L"",,2d""average of 20 hours of formal educational programming per channel per week. Because the  x=amount of programming specified fails to reach the threshold amount at which merit points are  xawarded, North American is not entitled to any programming merit points. In contrast, the  xillustrative schedule and programming grid set forth in Clark County's application propose over  x21 hours of formal educational programming per channel per week. Consequently, Clark County is entitled to one programming merit point.  X_- x E and FChannel Relocations. Neither applicant is the current licensee of an E or Fchannel  xseeking to relocate on other channels. Therefore, neither is entitled to the one point awarded to such applicants.  X - x Total. North American is entitled to a total of two points for observing the fourchannel  xlimitation. Clark County is entitled to four points for being local, three points for being  xaccredited, and one point for proposing at least 21 hours of formal educational programming per channel per week, for a total of eight points. Thus, Clark County is the tentative selectee.  X- w OTHER MATTERS ă   x7. Clark County does not propose to lease its excess capacity for nonITFS use, as  xLpermitted by Section 74.931. Rather, it intends to finance the construction and operation of its  x[ITFS facilities by reliance upon a grant from the National Telecommunications and Information  xyAdministration (NTIA). The certification of reliance on NTIA funding in response to Question  x1(a) of Section III, FCC Form 330, establishes "reasonable assurance" of Clark County's financial  X- x|ability to construct and operate the proposed station. See Hispanic Information and  X-Telecommunications Network, Inc., 7 FCC Rcd 5924, 592627 (1992).   }x8. We find Clark County fully qualified to be an ITFS licensee. There are no other  xobjections pending against its application. We therefore conclude that grant of Clark County's application would serve the public interest, convenience, and necessity.   x9. Accordingly, IT IS ORDERED, That the petition to deny filed by North American  xCatholic Educational Programming Foundation, Inc. IS DENIED. IT IS FURTHER ORDERED,  x@That the application filed by North American (BPLIF920513DB) IS DENIED; and the application filed by Clark County School District (BPLIF931230HK) IS GRANTED. x   x` ` hhFEDERAL COMMUNICATIONS COMMISSION x` ` hhBarbara A. Kreisman x` `  hhChief, Video Services Division x` `  hhMass Media Bureau