Before the Federal Communications Commission Washington, D.C. 20554 In the Matter of ) ) William Stehr, Jr. ) (call sign WPIR454) ) ) Don F. Hough ) (call sign WPFX512) ) ) MacSween Family Trust ) (call signs WPEX499 and WPFD690)) ) Jane Kozlowski ) (call sign WPFY287) ) ) Requests for Reinstatement and Additional) Time to Construct Specialized Mobile ) Radio Licenses ) ORDER Adopted: December 3, 1999 Released: December 3, 1999 By the Chief, Policy and Rules Branch, Commercial Wireless Division, Wireless Telecommunications Bureau: 1. In this Order, we deny the above-captioned requests for reinstatement of certain Specialized Mobile Radio (SMR) licenses. Each licensee argues that its license was erroneously cancelled and requests that we reinstate its license. 2. In the Goodman/Chan Order and the Goodman/Chan Reconsideration Order, the Commission implemented procedures to grant four-month construction period extensions to the approximately 4,000 so-called "Goodman/Chan" licensees who had obtained General Category SMR licenses through four application processing companies that were placed in receivership in a federal court fraud action, and who were the subject of a waiver petition filed with the Commission by the Receiver in that action. In the Goodman/Chan Reconsideration Order, the Commission also addressed requests by approximately 2,125 additional General Category SMR licensees for an extension of their construction periods on grounds similar to those advanced by the Receiver. In addressing these "non-Goodman/Chan" extension requests, the Commission concluded that only those licensees who had (1) received initial construction periods of eight months and (2) filed timely extension requests prior to the expiration of their eight-month construction periods should receive the same four-month extension granted to the Goodman/Chan licensees. 3. None of the above-captioned licensees meets the requirements set forth in the Goodman/Chan Reconsideration Order. Specifically, the licenses held by Don F. Hough, the MacSween Family Trust and Jane Kozlowski were cancelled because their respective extension requests were untimely filed. The license held by William Stehr, Jr. was cancelled for failure to construct. His license received an initial construction period of twelve months, not eight months, and only eight-month licenses were covered by the Goodman/Chan Reconsideration Order. For the reasons set forth above, all of the licenses were properly cancelled, and we deny the above-captioned requests for reinstatement. 4. Accordingly, IT IS ORDERED that pursuant to sections 4(i) and 405 of the Communications Act, as amended, 47 U.S.C.  154(i), 405, and sections 0.331 and 1.106 of the Commission's rules, 47 C.F.R.  0.331, 1.106, the above-captioned requests for reinstatement ARE HEREBY DENIED. FEDERAL COMMUNICATIONS COMMISSION Paul D'Ari Chief, Policy and Rules Branch Commercial Wireless Division Wireless Telecommunications Bureau Before the Federal Communications Commission Washington, D.C. 20554 In the Matter of ) ) William Stehr, Jr. ) (call sign WPIR454) ) ) Don F. Hough ) (call sign WPFX512) ) ) MacSween Family Trust ) (call signs WPEX499 and WPFD690)) ) Jane Kozlowski ) (call sign WPFY287) ) ) Requests for Reinstatement and Additional) Time to Construct Specialized Mobile ) Radio Licenses ) ORDER Adopted: December 3, 1999 Released: December 3, 1999 By the Chief, Policy and Rules Branch, Commercial Wireless Division, Wireless Telecommunications Bureau: 1. In this Order, we deny the above-captioned requests for reinstatement of certain Specialized Mobile Radio (SMR) licenses. Each licensee argues that its license was erroneously cancelled and requests that we reinstate its license. 2. In the Goodman/Chan Order and the Goodman/Chan Reconsideration Order, the Commission implemented procedures to grant four-month construction period extensions to the approximately 4,000 so-called "Goodman/Chan" licensees who had obtained General Category SMR licenses through four application processing companies that were placed in receivership in a federal court fraud action, and who were the subject of a waiver petition filed with the Commission by the Receiver in that action. In the Goodman/Chan Reconsideration Order, the Commission also addressed requests by approximately 2,125 additional General Category SMR licensees for an extension of their construction periods on grounds similar to those advanced by the Receiver. In addressing these "non-Goodman/Chan" extension requests, the Commission concluded that only those licensees who had (1) received initial construction periods of eight months and (2) filed timely extension requests prior to the expiration of their eight-month construction periods should receive the same four-month extension granted to the Goodman/Chan licensees. 3. None of the above-captioned licensees meets the requirements set forth in the Goodman/Chan Reconsideration Order. Specifically, the licenses held by Don F. Hough, the MacSween Family Trust and Jane Kozlowski were cancelled because their respective extension requests were untimely filed. The license held by William Stehr, Jr. was cancelled for failure to construct. His license received an initial construction period of twelve months, not eight months, and only eight-month licenses were covered by the Goodman/Chan Reconsideration Order. For the reasons set forth above, all of the licenses were properly cancelled, and we deny the above-captioned requests for reinstatement. 4. Accordingly, IT IS ORDERED that pursuant to sections 4(i) and 405 of the Communications Act, as amended, 47 U.S.C.  154(i), 405, and sections 0.331 and 1.106 of the Commission's rules, 47 C.F.R.  0.331, 1.106, the above-captioned requests for reinstatement ARE HEREBY DENIED. FEDERAL COMMUNICATIONS COMMISSION Paul D'Ari Chief, Policy and Rules Branch Commercial Wireless Division Wireless Telecommunications Bureau