WPC 2B3T 3|P)Times New Roman (TT)Times New Roman (Bold) (TT)Times New Roman (TT) 555A LPT2HPLAIISI.WRSx  @,,,?"LX@2@3P Z@3|P Times New Roman (TT)Times New Roman (Bold) (TT)HP LaserJet IIISiroom 555A LPT2HPLAIISI.WRSC\  P6Q,,,?"LP"5@^*7DTT77T^*7*/TTTTTTTTTT//^^^Jxooxf\xx7Axfxx\xo\fxxxxf7/7NT7JTJTJ7TT//T/TTTT7A/TTxTTJP!PZ*7777BE7TTxJxJxJxJxJooJfJfJfJfJ7/7/7/7/xTxTxTxTxTxTxTxTxTxTxJxTxTxTxTxT\TxTxJxJoJoJoJfJfJfJxTxTxxTxTxTxTBT7T777TAxTf/fExTxTxTxo7oE\A\AN:*KT7JTTTTT.3}}T2T}277JJT77TT7J72t7[[[[^ee*B`^-wSTTn[Cfx`xWkRx[\[ceIfIs`Wx[rriwhe*7DTT77T^*7*/TTTTTTTTTT//^^^Jxooxf\xx7Axfxx\xo\fxxxxf7/7NT7JTJTJ7TT//T/TTTT7A/TTxTTJP!PZ7TJTT7\777JJ:T7A7xx*7TTTT!T7.T^7TB[227`K*723T}}}Jxxxxxxoffff7777xxxxxxx^xxxxxx\TJJJJJJoJJJJJ////TTTTTTT[TTTTTTT2@OX/ Zo "5@^2BRdd$BBdq2B28dddddddddd88qqqYzoBNzoozzB8B^dBYdYdYBdd88d8ddddBN8ddddY`(`l2BB!BBPRBddYYYYYYzYzYzYzYB8B8B8B8ddddddddddYdddddoddYYYYYzYzYzYddddddPdBdBBBdNdz8zRdddBRoNoNNF2ZdBYddddd7>d<d<BBYYdBBddBYBdYzzzzBBBBqodYYYYYYYYYYY8888dddddddnddddddd X4 I. A. 1. a.(1)(a) i) a) 1. 1. 1. a.(1)(a) i) a)#C\  P6Q/P#X01Í ÍX01Í Í#XP\  P6QCXP#y.C8*,/C\  P6QP7PC2,CXP\  P6QXP.7UC2,XU4  pQXW!0(,߳h0\  P6QhPCCddCdCeducational station at Ada on Channel 204C2 (File No. BPED960404MB). That application  x conflicted with the Channel 257A allotment at Ada. Subsequently, American Family Radio  xZamended its application to propose an alternate transmitter site which removed the shortspacing.  xIn its Supplemental Comments, Hunt Broadcasting and American Family Radio submitted  x[affidavits pursuant to Section 1.420(j) of the Rules in which reimbursement to American Family  xLRadio was limited to the reasonable and prudent costs of amending its application to specify a new transmitter site.   x5. We are also taking this opportunity to clarify our earlier action regarding Station  X|- x[KDDQ, Comanche, Oklahoma. As indicated in paragraph 15 of the Report and Order, a Station  xyKDDQ operation on either Channel 245C2 or Channel 244A precludes an operation on Channel  x\244C at Flower Mound. Therefore, it was necessary to modify the Station KDDQ license to  xspecify operation on Channel 246A. To this end, Hunt Broadcasting entered into an agreement  x.with Harold Cochran of Station KDDQ agreeing to reimburse him for the reasonable costs and  xZexpenses of changing the channel. However, Comanche Radio filed Comments in this proceeding  xin which it claims to be the licensee of Station KDDQ. Subsequently, Hunt Broadcasting entered  x<into an agreement with Comanche Radio agreeing to pay to Comanche Radio its reasonable costs  x.and expenses of changing the channel in the event it is ultimately determined that Comanche  xRadio is the licensee of Station KDDQ. Hunt Broadcasting specifically stated that it did not and  x|will not pay Comanche Radio for withdrawing its Comments in this proceeding. Hunt  xBroadcasting along with Comanche Radio and Harold Cochran filed separate Joint Supplements  xin which all parties filed affidavits stating that reimbursement is being limited to the costs  xynecessary to effectuate operation on Channel 264A at Comanche and that no payment is being made for not pursuing any Class C2 operation. "#',-(-(ZZ%"Ԍ  !x6. Accordingly, IT IS ORDERED, That the aforementioned Petition for Reconsideration filed by Gleiser Communications, Inc. IS DISMISSED.   |x7. IT IS FURTHER ORDERED, That the aforementioned Joint Emergency Motion for  xStay of Filing Window filed by Farmersville Radio Group, Gleiser Communications, Inc., Hunt Broadcasting, Inc. and Cowboy Broadcasting, L.L.C. IS DISMISSED. x8. IT IS FURTHER ORDERED, That this proceeding IS TERMINATED.   /x9. For further information concerning this proceeding, contact Robert Hayne, Mass Media Bureau, (202) 4182177. x` `  hh@FEDERAL COMMUNICATIONS COMMISSION x` `  hh@Douglas W. Webbink, Chief x` `  hh@Policy and Rules Division x` `  hh@Mass Media Bureau