WPCd- 2BET Z 3|x )Courier New (TT)Times New Roman (TT)Times New Roman (Bold) (TT)HP LaserJet 4/4MScript_230_1HPLAS4.WRSSx  @,, @[X@2@(P d3|xCourier New (TT)Times New Roman (TT)MPCAD.PRSx  @\ X@Courier New (TT)Times New Roman (TT)Times New Roman (Bold) (TT)Times New Roman (Italic) (TT)X DXP\  P6QXP.7UC2X(xXU4  pQXW!0(X h0\  P6QhPd|DdpL|Dd~4ddC$CWxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxNHxxH\dDXddddd8@d<@d<DDXXdDDxddzHxxHvppDXd<"dxtldpxxd2> K1,|KK "i~'^:DpddȨDDDdp4D48ddddddddddDDpppd|Ld|pȐD8DtdDdpXpXDdp8Dp8pdppXLDpdddXP,PhD4htDDD4DDDDDDdDp8dddddȐXXXXXJ8J8J8J8pddddppppddpddddzpdddXXhXXXXXdddhdptL8LpLDLpphhp8ZDP8pppddƐXXXpLpLpLphfDtppppppȐhXXXpDppLDd4ddC6CWxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxxNHxxHjdDddddddd<d<CCYYdCCddCYCdYzzzzCCCCqodYYYYYYYYYYY8888dddddddnddddddd<r5ddd,|d6X@`7@ r5ddd,K~ޡd6Nhez7H?xxxXZix6X@B X@CourierTimes New RomanTimes New Roman BoldSymbolTimes New Roman ItalicCourier ItalicLine Draw (Scalable-Cr)2"#@@HZ@"5@^2Coddȧ8CCdr2C28ddddddddddCCrrrdzNdzoȐC8CtdCdoYoYCdo8Co8odooYNCodddYO,Oh2CC!CCPRCdodddddȐYYYYYN8N8N8N8oddddooooddoddddzodddYYYYYYddddooPoNoNCNodo8RoodȐYYoNoNNF2ldCddddddd<d<CCoodCCddCoCddzzzzzzzzzzCCCCozdddddddYYYYY8888dddddddndddddYd"5@^*7FSS$77Sq*7*.SSSSSSSSSS77qqqSffoxffxx7Jo]oxfxfS]xff]]A.AFS7SSJSJ.SS..J.xSSSSAA.SJoJJAC.CZ*7777CE7SSfSfSfSfSfSooJfJfJfJfJ7.7.7.7.oSxSxSxSxSxSxSxSxS]JfSxSxSxS]JxSfSfSfSfSoJoJoJfJfJfJxSxSxxSxSxSxSCS7S777SJoJ].]EoSoSxSofAfESASAN:*WSASSSSSS.4}}S2S}277]]S77SS7]72t7[[[[qee*C`q.wRSSn[Cfx`xWlRx[][ceIfIs`Wx[rriwge*7FSS$77Sq*7*.SSSSSSSSSS77qqqSffoxffxx7Jo]oxfxfS]xff]]A.AFS7SSJSJ.SS..J.xSSSSAA.SJoJJAC.CZ7S]SS7S777]]:S7A7o]*ASSSS.S7.Sq7SC[227`W*724S}}}Sffffffoffff7777xoxxxxxqxxxxx]fSSSSSSSoJJJJJ....SSSSSSS[SSSSSJS?xxxX/Xx6X@DQX@7PC2X DXP\  P6QXP.7UC2X(xXU4  pQXW!0(X h0\  P6QhPR&HHHX,hH6X@DQh@ y.C8*XC\  P6QP!5PC2XEEXP*f9 xQXX{,C8*XE,C*f9 xQX7fEL: Unable to enterNEL: Unabo init Unable to open KEREL: Unable to l2b- X4u X4{#Xj\  P6G; DXP##x6X@`7/X@#ѐ\ԻS#Xj\  P6G; DXP#DA 961273  X'(#    `*Before the V FEDERAL COMMUNICATIONS COMMISSION  X_'+Washington, D.C. 20554 Đ\#Xj\  P6G; DXP#  X 4In the Matter of )  X 4C.H. PCS, Inc. ) ` `  )  X 4Request for Waiver of)  X 4Section 24.711(a)(2) of the)  X4Commission's Rules )  X4'j ORDER Đ\ #Xj\  P6G; DXP#  X4Adopted: August 9, 1996hhCqppReleased: August 9, 1996 By the Chief, Auctions Division:  1. On July 24, 1996, C.H. PCS, Inc. ("CHPCS") filed an Emergency Petition for  XN4Waiver ("Petition") of Section 24.711(a)(2) of the Commission's Rules,N O4ԍ#X\  P6G;P# 47 C.F.R.  24.711(a)(2)#x6X@`7/X@#ђ requesting that the Commission extend the deadline for submission of the down payment for the license upon which it was the winning bidder in the PCS Broadband Entrepreneurs' Block ("C Block") reauction. Upon review of CHPCS's arguments, we deny the Petition.  X42. Background. CHPCS was a successful bidder for license number B347, covering the Phoenix, Arizona Basic Trading Area ("BTA"), in the C Block reauction which closed on  X!4July 16, 1996. By Public Notice on July 17, 1996, the Commission notified successful  X"4bidders that down payments would be due on or before July 24, 1996."h O&4ԍ#X\  P6G;P# See Public Notice, "Entrepreneurs' C Block Reauction Closes," DA 961153 (rel. July 17, 1996).#x6X@`7/X@# In the Petition,""0*'' " CHPCS states that the Daewoo Corporation ("Daewoo"), from which CHPCS had received financial commitment in support of its participation in the reauction, withdrew its commitment less than twentyfour hours before the close of the reauction. CHPCS contends that the shortness of the notice prior to Daewoo's withdrawal distinguishes its request for relief from prior Commission actions in which it denied waivers of deadlines for the submission of down  X-payments. O<ԍ#X\  P6G;P# See Emergency Petition for Waiver of Deadline for Submission of Down Payment for the Broadband  {O-PCS C Block Auction filed by BDPCS, Inc., Order on Reconsideration, DA 96874 (rel. May 30, 1996); Emergency Petition for Waiver of Deadline for Submission of Down Payment for the Broadband PCS C Block  Op <auction filed by BDPCS, Inc., Order, DA 96811 (rel. May 20, 1996).#x6X@`7>X@# #X\  P6G;P#See also In the Matter of Interactive  {OH -Video and Data Service (IVDS) Licenses Requests to Extend Payment Deadline, Memorandum Opinion And  {O -Order, 11 FCC Rcd 5240 (1996); In the Matter of Interactive Video and Data Service (IVDS) Licenses  {O -Requests to Extend Payment Deadline, Order (IVDS Order), 10 FCC Rcd 4520 (1995).#x6X@`7>X@# Therefore, CHPCS argues, the Commission should extend the deadline for submission of its down payment. x3. We find that CHPCS has failed to demonstrate that a waiver of Section 24.711(a)(2), which governs the deadline for submission of down payments, serves the  X -underlying purpose of the rule or is otherwise in the public interest. 0 O<ԍ#X\  P6G;P# See 47 C.F.R.  24.819 (setting forth waiver standard).#x6X@`7>X@#ѷ In the Second Report  X -and Order in the competitive bidding docket, the Commission established the requirement of a full and timely down payment to ensure that bidders are financially capable of constructing  X -and operating their systems.  OZ<ԍ#X\  P6G;P# See Implementation of Section 309(j) of the Communications Act Competitive Bidding, Second  {O2-Report and Order, PP Docket No. 93253, 9 FCC Rcd 2348, 23812382 (1994). The Commission noted that this requirement would also deter defaults by discouraging insincere or financially unqualified bidders from "shopping" a  X -winning bid in order to obtain financing for a down payment.l :  O<ԍ#X\  P6G;P# See supra, n. 3.l x4. CHPCS contends that special circumstances, in this case the lastminute withdrawal of a funding commitment from Daewoo, warrant the Commission's departure from its general rule. We disagree. The Commission has expressed in prior rulings that difficulties in  X8-obtaining funding do not support waiver of the down payment deadline._8  M <ԍ#X\  P6G;P# Id._ As the Commission  X!-noted in the IVDS Order, CHPCS could have taken reasonable precautions, such as securing backup financing, to ensure that funds were available for a timely down payment in the event  X-of unanticipated difficulties.x O%<ԍ#X\  P6G;P# See IVDS Order at 4521.#x6X@`7>X@#њ In its Order denying a Petition for waiver of the upfront  X-payment in the Broadband PCS A and B Block auction, the Bureau stated that a "third party's"0*''" failure to perform its contractual obligation did not constitute a special circumstance justifying  X-a waiver of the deadline date associated with that rule."W  Ob<ԍ#X\  P6G;P#See Emergency Petition for Waiver of Deadline for Submission of Upfront Payments for Broadband  {O:-PCS Auction filed by Personal Communications Corporation, Order, DA 9537 (rel. January 12, 1995).#x6X@`7>X@#W As such, we believe that the circumstances presented here do not warrant deviation from the Commission's policy. X` hp x (#%'0*,.8135@8:X@#Ѳ Under the circumstances described by CHPCS, it would not be in the public interest to grant a waiver here, since it would undermine the purpose of our bid withdrawal rules. x6. Accordingly, IT IS ORDERED that pursuant to Section 24.819 of the Commission's Rules, C.H. PCS Inc.'s Emergency Petition for Waiver IS DENIED. This action is taken under delegated authority pursuant to Section 0.331 of the Commission's Rules. x7. IT IS FURTHER ORDERED that pursuant to Sections 1.2109 and 24.708 of the Commission's Rules, the longform application (FCC Form 600) submitted by C.H. PCS, Inc. IS DISMISSED.  X-#x6X@`7>X@##Xj\  P6G;9XP#x` `  hhFEDERAL COMMUNICATIONS COMMISSION x x` `  hhKathleen O'Brien Ham  X|-x` `  hhChief, Auctions Division  Xe-x` `  hhWireless Telecommunications Bureau#x6X@`7>X@#