WPC4 2a BKf Z CG Times3|jXw PE37XP",tB^ f ^;C]ddCCCdCCCCddddddddddCCY~~vCN~sk~CCCddCYdYdYCdd88d8ddddJN8ddddYYdYd4dddddCddddddddd8YYYYYY~Y~Y~Y~YC8C8C8C8ddddddddddYdddddsdXdXXXddx|X~d~d|XdddddddC8ddddCdoddd|8|H~d<|8dtddddHHdlLlLlLkd|H|8~ddddddddXXXd~ddkd~ddxCddCCCWxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxNdddCYQQddddddFddddFCChhd44ddzzdddvooChdF"dhd9dCCzCddoddCdYds]zUvdYYCCCCz~ozoY~NYdYC8YooYdYzsdzdd~YYzozzz~CdzYzzzzCCdddddddzCsdYC\   pxtll\tll@\@\`LHP LaserJet 4 (Add) 1919M RM 702HPLA4ADD.PRSXw PE37\"nXP2E  Z KB  Y-#Xw PE37XP#3|jHP LaserJet 4 (Add) 1919M RM 702HPLA4ADD.PRSXj\  P6G;\"nXP"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$CWxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxNHxxH\dDXddddd8@d<@d<DDXXdDDxddzHxxHvppDXd<"dxtldpxxd2:K EK"i~'^09CSS999S]+9+/SSSSSSSSSS//]]]Ixnnxg]xx9?xgxx]xn]gxxxxg9/9MS9ISISI9SS//S/SSSS9?/SSxSSIP!PZ9+ZM999+99999999S/xIxIxIxIxIlnIgIgIgIgI9/9/9/9/xSxSxSxSxSxSxSxSxSxSxIxSxRxSxSxS]SxIxIxInInInZnIxigIgIgIgIxSxSxSxZxSxZxS9/9S999Su]ZZxSg/gCg9g9g/xSbxSxSxSxSxn9n9n9]?]?]?]ZgFg/gMxSxSxSxSxSxSxxZgIgIgIxSg9xS]?g9xSi+SS88WuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxN/>/>/>/x]SSSSx]x]x]x]xSxSx]SSxSxSf]xSxSxSxIxIxWxIx{nInInInISSSWS]a?/?]?9?]]WW]n/nKn9nCn/x]xx]x]SSxxIxIxI]?]?]?]WnUn9nax]x]x]x]x]x]xxWnInInIx]n9x]]?n9xSz+SS8-8WuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuuxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxN8HH"&H>XHH8HB8>HH^HH>"".2",2,2,"222N2222"&22H22,006"6."""""""""""2H,H,H,H,H,XAB,>,>,>,>,""""H2H2H2H2H2H2H2H2H2H2H,H2H1H2H2H282H,H,H,B,B,B6B,H?>,>,>,>,H2H2H2H6H2H6H2""2"""2F866H2>>(>">">H2;H2H2H2H2XHB"B"B"8&8&8&86>*>>.H2H2H2H2H2H2^HH6>,>,>,H2>"H28&>"H2?22!!WFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFFxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxN$<<$.2",2222`2 LL2 LL2L"",,2d""><q*"xxxxWWxxxWWkkxxxԙ Instructional Programming . To assist us in our comparative determination under the   minstructional programming criteria, we require all ITFS applicants to detail their formal   educational and other ITFS programming proposals in both an illustrative schedule and a   /programming grid. The illustrative schedule and programming grid set forth in Clarendon's   application propose 21 hours of formal educational programming per channel per week. Lamar's   {illustrative schedule and programming grid propose an average of 22.625 hours of formal   Leducational programming per channel per week. Consequently, Clarendon and Lamar are each entitled to one programming merit point.  X1-   E and FChannel Relocations . Neither applicant is the current licensee of an E or Fchannel   seeking to relocate on other channels. Therefore, neither is entitled to the one point awarded to such applicants.  X -   Total . Clarendon is entitled to two points for observing the fourchannel limitation and one point   for proposing at least 21 hours of formal educational programming per channel per week, for a   total of three points. Lamar is entitled to four points for being local, three points for being   accredited, two points for observing the fourchannel limitation, and one point for proposing at   least 21 hours of formal educational programming per channel per week, for a total of ten points. Thus, Lamar is the tentative selectee.  X4-w0 OTHER MATTERS ă  X-  35.` ` Lamar proposes to lease its excess capacity for nonITFS use, as permitted by   Section 74.931 of the Commission's Rules, and has submitted an executed copy of its lease   agreement with Eagle Vision, L.L.C. The lease, however, does not entirely conform to the   Commission's requirements. Specifically, it does not provide for the licensee's right to purchase   |the ITFS equipment at fair market value in the event the lease is terminated. We have   Kconsistently maintained that the licensee be permitted to purchase the ITFS equipment necessary   to maintain its operation in the event of any action on the lessee's part which would terminate  Xe-  the lease arrangement. See Turner Independent School District, 8 FCC Rcd 3153, 3155 (1993).   Although inconsistent with our requirements for excess capacity leases, the lack of such a   provision in Lamar's lease neither reflects on the applicant's basic or comparative qualifications,  X"-  =nor precludes a grant of an authorization. See Highland Independent School District, 10 FCC   \Rcd 13646, 13647 (1995). Nevertheless, the authorization of Lamar will be conditioned upon  X-  <the conformity of the lease to Commission requirements. See Henry County Board of Education, 10 FCC Rcd 8066, 8067 (1995).  X!-  R6.` ` No petitions to deny or informal objections have been filed against Lamar's  Y"-  application, and we find Lamar fully qualified to be an ITFS licensee. We a#Xw PE37=!XP#lso conclude that grant of Lamar's application would serve the public interest, convenience and necessity.  YX%-   7.` ` Accordingly, IT IS ORDERED, That the application of Clarendon Foundation   (BPLIF951020QB) IS DENIED, and the application of Lamar Community College (BPLIF  951020TQ) IS GRANTED, subject to the condition that within 30 days from the release date of"*',-(-(ZZ&"   this Order, Lamar Community College submits to the Chief, Distribution Services Branch for   approval, information demonstrating compliance with Commission requirements, including if appropriate, an amended excess capacity lease conforming in the manner discussed herein.   ` `  hh,VFEDERAL COMMUNICATIONS COMMISSION ` `  hh,VBarbara A. Kreisman ` `  hh,VChief, Video Services Division ` `  hh,VMass Media Bureau  Y - ` `