Tag Archives: RUFRN

Under New Leadership, FCC Media Bureau Reverses January Decision on Reconsideration of NCE Ownership Reporting Requirements

Back in early January, the FCC’s Media Bureau released an Order denying a number of Petitions for Reconsideration of an earlier Bureau Order that had adopted new requirements regarding FCC Registration Numbers (“FRNS”) and “Restricted Use FRNs” (“RUFRNS”) used in broadcasters’ biennial ownership reports.  The Petitions had objected to application of certain new FRN and … Continue Reading

Does the FCC Know How Long It Takes to Complete an Ownership Report?

PRA notice suggests low-ball estimate, but what about, um, the 10 hours of outside attorney time the FCC told OMB about six months ago? Back in January the Commission announced its most recent overhaul of the biennial Ownership Reports that commercial and noncommercial broadcasters are required to file using, respectively, Forms 323 and 323-E. As … Continue Reading

Update: Reconsideration of New Ownership Reporting Requirements Sought

The saga of the FCC’s quest to devise the Perfect Ownership Report slogs on. Readers will recall that, back in January, the Commission adopted a new approach to identifying individual attributable owners for tracking purposes across reports (so long, SUFRN; hello, RUFRN!). Also, among other changes, noncommercial educational licensees were advised that they, too, would … Continue Reading

If At First You Don’t Succeed …: FCC Unveils Latest Versions of Broadcast Ownership Reports

Among the changes: RUFRNs, static NCE biennial deadlines, increased reporting burdens for NCE licensees The FCC’s seemingly Sisyphian quest to design the Perfect Broadcast Ownership Report has yielded a number of changes. Whether, as the Commission hopes, they are changes for the better remains to be seen, presumably when the next round of biennial ownership … Continue Reading
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