Federal Communications Commission Washington, D.C. 20554 June 24, 2010 DA 10-1149 Via First-Class Mail and E-mail William M. Wiltshire, Esquire Wiltshire & Grannis LLP 1200 18th Street, NW Suite 1200 Washington, DC 20036 Re: Applications of Comcast Corporation, General Electric Company and NBC Universal, Inc. for Consent to Assign Licenses or Transfer Control of Licensees, MB Docket No. 10-56; Response to Request for Confidentiality Dear Mr. Wiltshire: On June 21, 2010, you filed, on behalf of DIRECTV, confidential and redacted versions of its comments (the “Comments”) in the above-referenced proceeding. In addition, you contemporaneously filed a letter requesting highly confidential treatment for information contained in the Comments and giving reasons why such treatment should be accorded to DIRECTV. As we stated in the Second Protective Order,1 consistent with past practice, the Commission will in this proceeding grant more limited access to those materials which, if released to competitors, would allow those competitors to gain a significant advantage in the marketplace. We will permit persons submitting such documents and information to designate those materials as Highly Confidential and, as specified in the Second Protective Order, we will limit access to such materials to Outside Counsel of Record, their employees, and Outside Consultants and experts whom they retain to assist them in this proceeding, as the aforementioned terms are defined in the Second Protective Order. As we found at paragraph 3 of that Order, such materials develop a more complete record on which to base the Commission’s decision in this proceeding. We are mindful of the highly sensitive nature of all information, documents, and data described in this letter, but we must also protect the right of the public to participate in this proceeding in a meaningful way. We conclude that the protections adopted in the Second Protective Order give appropriate access to the public while protecting a submitting party’s competitively sensitive information, and thereby will serve the public interest. You request highly confidential treatment for data from a statistical and economic analysis of the effect on subscribership of introducing local-into-local service and you further represent that the Commission gave highly confidential protection to the same material in 2007 in connection with the Liberty Media-DIRECTV transaction.2 You state that the data at issue includes some of DIRECTV’s 1 Applications of Comcast Corporation, General Electric Company and NBC Universal, Inc. For Consent to Assign Licenses or Transfer Control of Licensees, Second Protective Order, 25 FCC Rcd 2140 (MB 2010) (“Second Protective Order”). 2 Klein, Benjamin; Lerner, Andres; and Dacey, Emmett, “An Economic Analysis of DIRECTV Providing Local- Into-Local Service via Satellite in All 210 DMAs,” attached to Letter from William M. Wiltshire to Marlene H. Dortch, MB Docket No. 07-18 (filed Aug. 23, 2007). 2 most sensitive business and financial information, such as: (1) the percentage by which subscribership grew as a result of DIRECTV’s implementation of local-into-local service; (2) average monthly gross customer-addition rates over various time periods; (3) average monthly customer-disconnect rates over various time periods; and (4) estimates of the effect that the absence of local-into-local service had on DIRECTV subscribership. You further represent that DIRECTV keeps these data confidential, that the data at issue are not available from public sources, and that the data would, if released to competitors, allow those competitors to gain a significant advantage in the marketplace. Accordingly, to the extent that the information, data or documents (or portions thereof) both (a) contain Highly Confidential Information, as defined in the Second Protective Order3, and (b) contain information of the type described herein, then such information and documents (or portions thereof) may be designated and submitted as “Highly Confidential” under the Second Protective Order. Sincerely, William T. Lake Chief, Media Bureau 3 “Highly Confidential Information” means information contained in Stamped Highly Confidential Documents or derived therefrom that is not otherwise available from public sources, that the Submitting Party has kept strictly confidential, and that, the Submitting Party claims, constitutes some of its most sensitive business data which, if released to competitors, would allow those competitors to gain a significant advantage in the marketplace. See Second Protective Order at para 5.