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                                   Before the

                       Federal Communications Commission

                             Washington, D.C. 20554


                                )                               
                                                                
                                )                               
     In the Matter of                                           
                                )    File Number EB-09-PA-0287  
     J.M.J. Radio, Inc.                                         
                                )   NAL/Acct. No. 201032400002  
     Licensee of Station WQOR                                   
                                )               FRN 0017570847  
     Facility ID # 8092                                         
                                )                               
                                                                
                                )                               


                  NOTICE OF APPARENT LIABILITY FOR FORFEITURE

   Adopted: December 1, 2010 Released: December 1, 2010

   By the District Director, Philadelphia Office, Northeast Region,
   Enforcement Bureau:

   I. INTRODUCTION

    1. In this Notice of Apparent Liability for Forfeiture ("NAL"), we find
       that J.M.J. Radio, Inc. ("J.M.J. Radio"), the licensee of radio
       station WQOR in Olyphant, Pennsylvania, apparently willfully and
       repeatedly violated Section 73.1125(a) of the Commission's Rules
       ("Rules")  by failing to maintain a management and staff presence at
       the Station WQOR main studio. We conclude that J.M.J. Radio is
       apparently liable for a total forfeiture in the amount of ten thousand
       dollars ($10,000).

   II. BACKGROUND

    2. On November 25, 2009, an agent from the Enforcement Bureau's
       Philadelphia Office ("Philadelphia Office") conducted an inspection of
       Station WQOR's main studio, which was located inside a church building
       at St. Joseph Oblate Seminary, 1880 Highway 315, Pittston,
       Pennsylvania. A church employee escorted the agent to the station's
       main studio on the second floor of the church building. The agent
       found that the main studio was locked. When the church employee opened
       the door for the agent, the agent found no station personnel present.
       The church employee reported that no one associated with Station WQOR
       works at the main studio location and the room is always locked. He
       further reported that, although he was not associated with Station
       WQOR, he often helped the station engineer if he needed any assistance
       at the main studio.

    3. After speaking to the church employee, the agent contacted the station
       engineer by telephone and requested his assistance with the
       inspection. The station engineer arrived at the main studio within
       thirty minutes and the agent conducted the inspection. In response to
       questions about staffing at the main studio, the station engineer
       reported that the room was always locked and that there were no
       designated full-time or part-time personnel at the main studio. The
       station engineer also reported that he usually came to the main studio
       once a week to review Emergency Alert System (EAS) log printouts and
       perform any necessary maintenance. The agent advised the station
       engineer that the station must maintain a presence at its main studio
       during normal business hours.

    4. On December 17, 2009, another FCC agent attempted to conduct a
       follow-up inspection at Station WQOR's main studio at 1880 Highway 315
       in Pittston, Pennsylvania. The agent observed that there were no
       employees at the main studio to facilitate an FCC inspection or to
       provide public access. The agent then contacted the licensee and
       conducted a phone conversation with an individual identified in the
       station records as a Director and Officer of J.M.J. Radio. She
       acknowledged that the main studio does not have any designated
       personnel. The agent advised the J.M.J. employee that the station must
       maintain a presence at its main studio during normal business hours.
       The J.M.J. employee stated that she was not aware of the main studio
       requirement and would thereafter staff the station's main studio as
       required.

   III. DISCUSSION

    5. Section 503(b) of the Communications Act of 1934, as amended ("Act")
       provides that any person who willfully or repeatedly fails to comply
       substantially with the terms and conditions of any license, or
       willfully or repeatedly fails to comply with any of the provisions of
       the Act or of any rule, regulation or order issued by the Commission
       thereunder, shall be liable for a forfeiture penalty. The term
       "willful" as used in Section 503(b) has been interpreted to mean
       simply that the acts or omissions are committed knowingly. The term
       "repeated" means the commission or omission of such act more than once
       or for more than one day.

    6. Section 73.1125(a) of the Rules requires broadcast stations to
       maintain a main studio. The Commission has interpreted Section 73.1125
       (also known as the "Main Studio Rule") to require, among other things,
       that a licensee maintain a "meaningful management and staff presence"
       at its main studio. Specifically, the Commission has found that a main
       studio "must, at a minimum, maintain full-time managerial and
       full-time staff personnel." Although management personnel need not be
       "chained to their desks" during normal business hours, they must
       "report to work at the main studio on a daily basis, spend a
       substantial amount of time there and...use the studio as a `home
       base.'"

    7. During the November 25, 2009 and December 17, 2009 inspections of
       Station WQOR, agents found that there were no station personnel
       present at the main studio. When an agent interviewed the station
       engineer on November 25, 2009, the station engineer admitted that
       Station WQOR does not have any designated full-time or part-time
       personnel at its main studio and the room is always locked. Although
       the agent explained the main studio staffing requirements to the
       station engineer at that time, there were again no staff or management
       available at the Station WQOR main studio three weeks later. An agent
       then contacted an officer of J.M.J. Radio, who admitted that the main
       studio does not have any designated personnel. Accordingly, based on
       the evidence before us, we find that J.M.J. Radio apparently willfully
       and repeatedly violated Section 73.1125(a) of the Rules by failing to
       maintain a full-time management and staff presence at the Station WQOR
       main studio during regular business hours.

    8. Pursuant to the Commission's Forfeiture Policy Statement and Section
       1.80 of the Rules, the base forfeiture amount is $7,000 for violation
       of main studio rule. In assessing the monetary forfeiture amount, we
       must also take into account the statutory factors set forth in Section
       503(b)(2)(D) of the Act, which include the nature, circumstances,
       extent, and gravity of the violations, and with respect to the
       violator, the degree of culpability, and history of prior offenses,
       ability to pay, and other such matters as justice may require. Here,
       we find that J.M.J. Radio's failure to correct the violation after
       receiving a warning during the first inspection was egregious and
       warrants an upward adjustment. Applying the Forfeiture Policy
       Statement, Section 1.80, and the statutory factors to the instant
       case, we conclude that J.M.J. Radio is apparently liable for a
       forfeiture in the amount of $10,000. We further order J.M.J. Radio to
       submit a sworn written statement within 30 days of this NAL that it is
       now in compliance with the Main Studio Rule.

   IV. ORDERING CLAUSES

    9. Accordingly, IT IS ORDERED that, pursuant to Section 503(b) of the
       Communications Act of 1934, as amended, and Sections 0.111, 0.311,
       0.314 and 1.80 of the Commission's Rules, J.M.J. Radio, Inc. is hereby
       NOTIFIED of this APPARENT LIABILITY FOR A FORFEITURE in the amount of
       ten  thousand dollars ($10,000) for violations of Section 73.1125(a)
       of the Rules.

   10. IT IS FURTHER ORDERED that, pursuant to Section 1.80 of the
       Commission's Rules, within thirty days of the release date of this
       Notice of Apparent Liability for Forfeiture, J.M.J. Radio Inc.  SHALL
       PAY the full amount of the proposed forfeiture or SHALL FILE a written
       statement seeking reduction or cancellation of the proposed
       forfeiture.

   11. IT IS FURTHER ORDERED that J.M.J. Radio Inc. SHALL SUBMIT a sworn
       statement, as described in paragraph 8, within thirty days of the
       release date of this NAL. The statement  must be mailed to Federal
       Communications Commission, Enforcement Bureau, Philadelphia Office,
       One Oxford Valley Office Building, Room 404, 2300 East Lincoln
       Highway, Langhorne, Pennsylvania, 19047-1859.

   12. Payment of the forfeiture must be made by credit card, check or
       similar instrument, payable to the order of the Federal Communications
       Commission. The payment must include the Account Number and FRN Number
       referenced above. Payment by check or money order may be mailed to
       Federal Communications Commission, P.O. Box 979088, St. Louis, MO
       63197-9000. Payment by overnight mail may be sent to U.S. Bank -
       Government Lockbox #979088, SL-MO-C2-GL, 1005 Convention Plaza, St.
       Louis, MO 63101. Payment by wire transfer may be made to ABA Number
       021030004, receiving bank TREAS/NYC, and account number 27000001. For
       payment by credit card, an FCC Form 159 (Remittance Advice) must be
       submitted.  When completing the FCC Form 159, enter the NAL/Account
       number in block number 23A (call sign/other ID), and enter the letters
       "FORF" in block number 24A (payment type code). Requests for full
       payment under an installment plan should be sent to:  Chief Financial
       Officer -- Financial Operations, 445 12th Street, S.W., Room 1-A625,
       Washington, D.C.  20554.   If you have questions, please contact the
       Financial Operations Group Help Desk at 1-877-480-3201 or Email:
       ARINQUIRIES@fcc.gov. J.M.J. Radio, Inc. shall also send electronic
       notification to NER-Response@fcc.gov  on the date said payment is
       made.

   13. The written statement seeking reduction or cancellation of the
       proposed forfeiture, if any, must include a detailed factual statement
       supported by appropriate documentation and affidavits pursuant to
       Sections 1.80(f)(3) and 1.16 of the Rules. The written statement, if
       any, must be mailed to Federal Communications Commission, Enforcement
       Bureau, Northeast Region, Philadelphia Office, One Oxford Valley
       Building, Suite 404, 2300 East Lincoln Highway, Langhorne,
       Pennsylvania 19047 and must include the NAL/Acct. No. referenced in
       the caption. The statement should also be emailed to
       NER-Response@fcc.gov.

   14. The Commission will not consider reducing or canceling a forfeiture in
       response to a claim of inability to pay unless the petitioner submits:
       (1) federal tax returns for the most recent three-year period; (2)
       financial statements prepared according to generally accepted
       accounting practices ("GAAP"); or (3) some other reliable and
       objective documentation that accurately reflects the petitioner's
       current financial status. Any claim of inability to pay must
       specifically identify the basis for the claim by reference to the
       financial documentation submitted.

   15. IT IS FURTHER ORDERED that a copy of this Notice of Apparent Liability
       for Forfeiture shall be sent by Certified Mail, Return Receipt
       Requested, and regular mail, to J.M.J. Radio, Inc. at 1880 Highway
       315, Pittston, Pennsylvania, 18640.

   FEDERAL COMMUNICATIONS COMMISSION

   Gene J Stanbro

   District Director,

   Philadelphia Office

   Northeast Region

   Enforcement Bureau

   47 C.F.R. S: 73.1125.

   The agent found that the station had broadcast transmission capabilities,
   operational EAS equipment, and a complete local public inspection file.

   47 U.S.C. S: 503(b).

   Section 312(f)(1) of the Act, 47 U.S.C. S: 312(f)(1), which applies to
   violations for which forfeitures are assessed under Section 503(b) of the
   Act, provides that "[t]he term 'willful', when used with reference to the
   commission or omission of any act, means the conscious and deliberate
   commission or omission of such act, irrespective of any intent to violate
   any provision of this Act or any rule or regulation of the Commission
   authorized by this Act...." See, e.g., Southern California Broadcasting
   Co., Memorandum Opinion and Order, 6 FCC Rcd 4387 (1991).

   Section 312(f)(2) of the Act, 47 U.S.C. S: 312(f)(2), which also applies
   to violations for which forfeitures are assessed under Section 503(b) of
   the Act, provides that "[t]he term 'repeated', when used with reference to
   the commission or omission of any act, means the commission or omission of
   such act more than once or, if such commission or omission is continuous,
   for more than one day."

   47 C.F.R. S: 73.1125.

   Amendment of Sections 73.1125 and 73.1130 of the Commission's Rules, the
   Main Studio and Program Origination Rules for Radio and Television
   Broadcast Stations, Memorandum Opinion and Order, 3 FCC Rcd 5024, 5026
   (1988) ("Main Studio and Program Origination Rules"), erratum issued, 3
   FCC Rcd 5717 (1988) (correcting language in n.29).

   See  Jones Eastern of the Outer Banks, Inc., Memorandum Opinion and Order,
   6 FCC Rcd 3615, 3616 & n.2 (1991)  ("Jones Eastern")  (noting that, "This
   is not to say that the same staff person and manager must be assigned
   full-time to the main studio. Rather, there must be management and staff
   presence on a full-time basis during normal business hours to be
   considered `meaningful.'"), clarified, 7 FCC Rcd 6800 (1992)  ("Jones
   Eastern II"). See also Birach Broadcasting Corporation, Notice of Apparent
   Liability, 25 FCC Rcd 2635 (Enf. Bur. 2010).

   Jones Eastern II, 7 FCC Rcd at 6802.

   The Commission's Forfeiture Policy Statement and Amendment of Section 1.80
   of the Rules to Incorporate the Forfeiture Guidelines, Report and Order,
   12 FCC Rcd 17087 (1997) ("Forfeiture Policy Statement"), recon. denied, 15
   FCC Rcd 303 (1999); 47 C.F.R. S:1.80.

   47 U.S.C. S: 503(b)(2)(E).

   47 U.S.C. S: 503(b); 47 C.F.R. S:S: 0.111, 0.311, 0.314, 1.80, 73.1125(a).

   See 47 C.F.R. S:1.1914.

   (...continued from previous page)

                                                              (continued....)

   Federal Communications Commission DA 10-2268

                                       3

   Federal Communications Commission DA 10-2268