*Pages 1--2 from Microsoft Word - 58735.doc* Federal Communications Commission DA 06- 1533 Before the Federal Communications Commission Washington, D. C. 20554 In the Matter of Amendment of Section 73. 202( b), Table of Allotments, FM Broadcast Stations. (Rockmart, Aragon, and Ellijay, Georgia, Lynchburg, Chattanooga, Decatur, Harrison, and Wartrace, Tennessee, and Anderson, South Carolina) 1 ) ) ) ) ) ) ) ) ) ) MB Docket No. 05- 282 RM- 11229 RM- 11333 RM- 11337 ORDER TO SHOW CAUSE Adopted: July 26, 2006 Released: July 28, 2006 Comment Date: August 31, 2006 By the Assistant Chief, Audio Division, Media Bureau: 1. The Audio Division has before it a counterproposal filed by J. L. Brewer Broadcasting of Cleveland, LLC, licensee of Station WAYA( FM), Spring City, Tennessee, and J. L. Brewer Broadcasting, LLC, licensee of Station WMPZ( FM), Ringgold, Georgia (together, “Brewer”) in response to the Notice of Proposed Rule Making in this proceeding. 2 The counterproposal requires the issuance of this Order to Show Cause directed at Tri- State Communications, Inc. (“ Tri- State”), licensee of Station WLJA- FM, Channel 228A, Ellijay, Georgia. 2. Brewer filed a timely counterproposal in response to the allotment changes proposed in the Notice. Specifically, Brewer requests a change of community for Station WAYA( FM), Channel 230C3, Spring City, Tennessee, deleting Channel 230C3 at Spring City and allotting Channel 230C3 at Decatur, Tennessee, as that community’s first local service. In order to accommodate that change of community, Brewer requests a change of community for Station WMPZ( FM), Channel 229A, Ringold, Georgia, deleting Channel 229A at Ringold and allotting Channel 228A at Harrison, Tennessee, as that community’s first local service. In order to accommodate that change of community, Brewer requests that Station WLJA- FM, Ellijay, Georgia, be required to change from Channel 228A to Channel 266A, and requests that the Commission require Tri- State to show cause why its channel should not be changed at its current site. 3 Consistent with the Circleville policy, Brewer states that it will reimburse Tri- State for the reasonable costs incurred in connection with the proposed channel change for FM Station WLJA. 4 1 Ellijay, Georgia, Anderson, South Carolina and Decatur, Harrison, and Wartrace, Tennessee have been added to the caption to reflect the two counterproposals submitted in this proceeding. See Public Notice, Report No. 2773, released June 16, 2006, and Public Notice, Report No. 2781, released July 20, 2006. 2 See Rockmart and Aragon, Georgia, and Lynchburg and Chattanooga, Tennessee, Notice of Proposed Rule Making, 20 FCC Rcd 16, 259 (MB 2005) (“ Notice”). 3 As a final element of its counterproposal, Brewer represents that it has secured the consent of Entercom Greenville License, LLC, the licensee of WROQ( FM), Channel 266C0, Anderson, South Carolina, for the downgrade of that station to Channel 266C1. 4 See Circleville, Ohio, Second Report and Order, 8 FCC 2d 159 (1967). 1 Federal Communications Commission DA 06- 1533 2 3. Section 316( a) of the Communications Act of 1934, as amended, 5 permits us to modify a station’s license or construction permit if such action is in the public interest. The Act requires that we notify the affected station of the proposed action, the public interest reasons for the action, and afford at least 30 days to respond. This procedure is now set forth in Section 1.87 of the Commission’s Rules. 6 We find that Brewer’s counterproposal, which would provide a first local service to two communities, has sufficient public interest benefits to justify the issuance of a show cause order. Therefore, we are issuing this Order to Show Cause directed to Tri- State Communications, Inc., requiring Tri- State to show cause why the license of Station WLJA- FM should not be modified to specify operation of Channel 266A, in lieu of Channel 228A, at Ellijay, Georgia. 4. Accordingly, IT IS ORDERED, That pursuant to the Act, Tri- State Communications, Inc., licensee of Station WLJA- FM, Ellijay, Georgia, SHALL SHOW CAUSE why its license should not be modified to specify operation on Channel 266A in lieu of Channel 228A. 5. Pursuant to Section 1.87 of the Communications Rules, Tri- State Communications, Inc. may, no later than August 31, 2006, file a written statement showing with particularity why its license should not be modified as proposed in this Order to Show Cause. The Commission may call upon the affected licensees herein to furnish additional information. If Tri- State raises any substantial and material questions of fact, a hearing may be required to resolve such questions of fact pursuant to Section 1.87 of the Rules. Upon review of the statements and/ or additional information furnished, the Commission may grant the modification, deny the modification, or set the matter of modification for hearing. If no written statement is filed by the date referred to above, the respective licensee( s) will be deemed to have consented to the respective modification( s) as proposed in this Order to Show Cause and a final Order will be issued if the modification( s) is found to be in the public interest. 6. IT IS FURTHER ORDERED, that a copy of this Order to Show Cause shall be sent BY CERTIFIED MAIL, RETURN RECEIPT REQUESTED, to the following: Tri- State Communications, Inc. Dennis J. Kelly, Esq. 141 Tabor Street Law Office of Dennis J. Kelly Post Office Box 545 Post Office Box 41177 Ellijay, Georgia 30540 Washington, DC 20018 (Counsel for Tri- State Communications, Inc.) 7. For further information concerning this proceeding, contact Deborah A. Dupont, Media Bureau, (202) 418- 2180. FEDERAL COMMUNICATIONS COMMISSION John A. Karousos Assistant Chief Audio Division Media Bureau 5 47 U. S. C. § 316( a) (the “Act”). 6 See Modification of FM and Television Licenses Pursuant to Section 316 of the Communications Act, Order, 2 FCC Rcd 3327 (1987). 2