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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 the Matter of ) ) Amendment of Section 73.622(b), ) MM Docket No. 00-118 Table of Allotments, ) RM-9757 Digital Television Broadcast Stations. ) (Lexington, Kentucky) ) REPORT AND ORDER (Proceeding Terminated) Adopted: February 15, 2001 Released: February 16, 2001 By the Chief, Video Services Division: 1. At the request of WKYT Licensee Corporation ("WKYT"), licensee of station WKYT- TV, NTSC channel 27, Lexington, Kentucky, the Commission has before it the Notice of Proposed Rule Making, 15 FCC Rcd 11367 (2000), proposing the substitution of DTV channel 13 for station WKYT-TV's assigned DTV channel 59. WKYT, Gateway Communications, Inc. ("Gateway"), ACME Communications, Inc. and ACME Television License of Kentucky, LLC (hereafter collectively "ACME") filed comments. WKYT filed responsive comments. 2. Gateway, licensee of station WOWK-TV, NTSC channel 13, Huntington, West Virginia, requests the Commission to defer action on WKYT's proposal pending the outcome of MM Docket No. 00-39 or limit station WKTY-DT's power to 1 kW. Gateway states that WKYT can elect to operate its assigned DTV channel 59 facility once the post-transition occurs on its currently assigned NTSC channel 27. Gateway states that in the Notice, the Commission requested comments on certain issues including whether to adopt a requirement that DTV stations elect their post-transition DTV channel by a certain date. Gateway contends that Lexington, Kentucky, is in an area of spectrum congestion and Gateway requests that WKYT's request be deferred until the Commission resolve the issue of post-transition DTV channel. Gateway further requests that if the Commission elects not to defer action on WKYT's request that it restrict station WKYT-TV power to replicate its current NTSC service area, thus reducing the potential impact to post-transition facilities. 3. In reply comments, WKYT states that Gateway cannot and does not oppose the requested channel change for station WKYT-TV. WKYT argues that its proposed substitution complies with every aspect of the Commission's rules and has absolutely no impact upon WOWK-TV, Huntington, West Virginia. WKYT further contends that its channel change would have no impact upon WOWK-TV even were it sometime in the future to elect to change its digital allocation to channel 13. Furthermore, it notes there is no reason to reduce its power below the proposed 5 kW. WKYT argues that such a limitation would result in an ERP below the minimum value set by the Commission for DTV allotments. Specifically, it states that in the Commission's Sixth Report and Order, 12 FCC Rcd 14588 (1997), a minimum ERP of 3.2 kW was established for upper VHF channels (7-13). Minimum ERP levels were established to "ensure that stations have a sufficient service area to compete effectively in the provision of DTV services and is consistent with the maximization concept supported by the industry." (par. 30) Thus, WKYT asserts that the limitation of the WKYT-DR ERP to less than 1 kW does not comport with the Commission's stated goals and policy. WKYT states it is prepared to proceed to construct and operate WKYT-DT on channel 13 within the time requirements of the Commission. WKYT notes that its present allotment of DTV channel 59 is a non-core digital allotment and were WKYT-DT to commence operation on channel 59 it would be required to change its digital allocation to a core frequency at the conclusion of the digital transition period. That, concludes WKYT, is a totally unnecessary expense to impose upon its station. Furthermore, WKYT states, as reflected in ACME's comment, adoption of WKYT's channel change permits the advent of a new television station in Lexington. 4. Based on the record before us, we will not defer action as Gateway requests. Gateway implies that adoption of WKYT's channel substitution will cause impact to post-transition facilities but, has failed to provide any documentation to support that allegation. There is no legal or technical justification to delay action on WKYT's request to substitute channels. To do so would only circumvent the Commission's goal to expedite requests to modify initial DTV allotments that involve eligible television broadcasters. Therefore, we believe the public interest would be served by substituting DTV channel 5 for DTV channel 59 since it will enable station WKYT-TV to operate on a core allotment and construct only one set of digital transmission facilities. 5. DTV channel 13 can be allotted to Lexington, Kentucky, as proposed, in compliance with the principle community coverage requirements of Section 73.625(a) at coordinates (38-02-23 N. and 84-24-10 W.). In addition, we find that this channel is acceptable under the 2 percent criterion for de minimis impact that is applied in evaluating requests for modification of initial DTV allotments under Section 73.623(c)(2) for Station WKYT-TV with the following specifications: DTV DTV power Antenna DTV Service State & City Channel (kW) HAAT (m) Pop. (thous.) KY Lexington 13 5 300 758 6. Accordingly, pursuant to the authority contained in Sections 4(i), 5(c)(1), 303(g) and (r) and 307(b) of the Communications Act of 1934, as amended, and Sections 0.61, 0.204(b) and 0.283 of the Commission's Rules, IT IS ORDERED, That effective April 2, 2000, the DTV Table of Allotments, Section 73.622(b) of the Commission's Rules, IS AMENDED, with respect to the community listed below, to read as follows: City Channel No. Lexington, Kentucky 13, 22, 40, *42 7. IT IS FURTHER ORDERED, That within 45 days of the effective date of this Order, WKYT Licensee Corporation shall submit to the Commission a minor change application for a construction permit (FCC Form 301) specifying DTV Channel 13 in lieu of DTV Channel 59 for station. 8. IT IS FURTHER ORDERED, That this proceeding IS TERMINATED. 9. For further information concerning this proceeding, contact Pam Blumenthal, Mass Media Bureau, (202) 418-1600. FEDERAL COMMUNICATIONS COMMISSION Barbara A. Kreisman Chief, Video Services Division Mass Media Bureau