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                                  Before the
Federal Communications Commission
Washington, D.C. 20554

In the Matter of	)
Super Nice Cab Corp	)		 File No.: EB-FIELDSCR-15-00020151
Licensee of Station WPCK321	)		 NOV No.: V201632600001
Miami, Florida	)



By the Resident Agent, Miami Office, South Central Region, Enforcement

* This is a Notice of Violation (Notice) issued pursuant to Section 1.89
of the Commission's rules (Rules) to Super Nice Cab Corp (Super Nice),
licensee of radio station WPCK321 in Miami, Florida.  Pursuant to Section
1.89(a) of the Rules, issuance of this Notice does not preclude the
Enforcement Bureau from further action if warranted, including issuing
a Notice of Apparent Liability for Forfeiture for the violation noted
* On October 27, 2015, based on a Commission licensee's complaint of
radio interference, an agent of the Enforcement Bureau's Miami Office
monitored transmissions from radio station WPCK321, and observed the
following violations:

  + 47 C.F.R. § 1.903(a): "...Stations in the Wireless Radio services
  must be used and operated only in accordance with the rules applicable
  to their particular service as set forth in this title and with a
  valid authorization granted by the Commission under the provisions of
  this part."  Furthermore, 47 C.F.R. § 1.903(b) states: "The holding
  of an authorization does not create any rights beyond the terms,
  conditions and period specified in the authorization."  Super Nice is
  authorized under its license, WPCK321, to operate a base station on
  frequency 462.075 MHz only from 401 NE 62[nd] St, Miami, Florida, at
  coordinates 25° 47' 53.4" N latitude and 080° 11' 32.2" W longitude,
  with an antenna height of 43 meters.	On October 27, 2015, the agent
  observed that Super Nice was transmitting on frequency 462.075 MHz
  from 350 NW 215[th] St, Miami, Florida, at coordinates 25° 58' 16.3"
  N latitude and 080° 12' 31.2" W longitude.  Super Nice personnel
  confirmed that it was operating on 462.075 MHz at a height of 850
  feet (259 meters) under call sign WPCK321 from 350 NW 215[th] St,
  Miami, Florida.  Thus, Super Nice was operating on 462.075 MHz from
  a location which is 12 miles from the authorized coordinates and with
  an antenna height which exceeds the authorized height by 216 meters.

  + 47 C.F.R. § 90.210(d): "Emission Mask D  -  12.5 kHz channel
  bandwidth equipment.	For transmitters designed to operate with a 12.5
  kHz channel bandwidth, any emission must be attenuated below the power
  (P) of the highest emission contained within the authorized bandwidth
  as follows: ... (3) On any frequency removed from the center of the
  authorized bandwidth by a displacement frequency (fd in kHz) of more
  than 12.5 kHz: At least 50 + 10 log (P) dB or 70 dB (at Super Nice's
  110 watts operating power, this calculates to 70.4 dB) whichever is
  the lesser attenuation."  On October 27, 2015, an agent observed that
  Super Nice's transmissions generated spurious emissions in the range
  of 458.250 MHz to 458.450 MHz that were only attenuated 53 dB from
  the authorized frequency of 462.075 MHz.

  + 47 C.F.R. § 90.425(a):  "Except as provided for in paragraphs (d)
  and (e) of this section, each station or system shall be identified by
  the transmission of the assigned call sign during each transmission
  or exchange of transmissions, or once each 15 minutes (30 minutes
  in the Public Safety Pool) during periods of continuous operation.
  The call sign shall be transmitted by voice in the English language or
  by International Morse Code in accordance with paragraph (b) of this
  section...."	On October 27, 2015, between 1:00 p.m. and 2:30 p.m.,
  the agent observed that station WPCK321 did not transmit its call sign
  identification on the frequency 462.075 MHz.

* Pursuant to Section 308(b) of the Communications Act of 1934, as
amended, and Section 1.89 of the Rules, we seek additional information
concerning the violations and any remedial actions taken.  Therefore,
Super Nice Cab Corp must submit a written statement concerning this matter
within twenty (20) days of release of this Notice.  The response (i) must
fully explain each violation, including all relevant surrounding facts and
circumstances, (ii) must contain a statement of the specific action(s)
taken to correct each violation and preclude recurrence, and (iii) must
include a time line for completion of any pending corrective action(s).
The response must be complete in itself and must not be abbreviated by
reference to other communications or answers to other notices.
* In accordance with Section 1.16 of the Rules, we direct Super Nice
Cab Corp to support its response to this Notice with an affidavit
or declaration under penalty of perjury, signed and dated by an
authorized officer of Super Nice Cab Corp, with personal knowledge
of the representations provided in Super Nice Cab Corp's response,
verifying the truth and accuracy of the information therein, and
confirming that all of the information requested by this Notice which
is in the licensee's possession, custody, control, or knowledge has
been produced.	To knowingly and willfully make any false statement or
conceal any material fact in reply to this Notice is punishable by fine
or imprisonment under Title 18 of the U.S. Code.
* All replies and documentation sent in response to this Notice should
be marked with the File No. and NOV No. specified above, and mailed to
the following address:

Federal Communications Commission
Miami Office
P.O. Box 266468
Weston, FL 33326

* This Notice shall be sent to Super Nice Cab Corp, at its address
of record.
* The Privacy Act of 1974 requires that we advise you that the
Commission will use all relevant material information before it,
including any information disclosed in your reply, to determine what,
if any, enforcement action is required to ensure compliance.


Steven DeSena
Resident Agent
Miami Office
South Central Region
Enforcement Bureau