• ARRL Regular Bulletin

    From Daryl Stout@HURRICAN to All on Monday, September 28, 2020 12:51:40
    SB QST @ ARL $ARLB026
    ARLB026 ARRL Seeks Changes in FCC Proposal to Delete 3.4 GHz Amateur
    Band

    ZCZC AG26
    QST de W1AW
    ARRL Bulletin 26 ARLB026
    From ARRL Headquarters
    Newington CT September 28, 2020
    To all radio amateurs

    SB QST ARL ARLB026
    ARLB026 ARRL Seeks Changes in FCC Proposal to Delete 3.4 GHz Amateur
    Band

    ARRL met via telephone with FCC staff members this week to emphasize
    its opposition to the FCC Notice of Proposed Rulemaking (NPRM) in
    Docket 19-348 to delete amateur radio from the 3.3 - 3.5 GHz band.

    The FCC will take final action in the proceeding when it meets on
    September 30.

    The NPRM can be found online in PDF format at, https://ecfsapi.fcc.gov/file/121661888341/FCC-19-130A1.pdf .

    In comments filed earlier this year, ARRL urged that the secondary
    status for amateur radio in the band be continued. In a series of
    meetings with Commissioner legal advisors and staff members, ARRL
    explained how continued secondary use by radio amateurs will not
    impair or devalue use of this spectrum by future primary licensees,
    including those intending to provide 5G or other services. ARRL also
    stressed the various public-benefit uses of the spectrum by
    amateurs, including ongoing use of television and mesh networks on
    the west coast of the US as part of efforts to contain wildfires.

    With regard to interference potential, ARRL stated that amateur
    radio operators using these bands are technically proficient and
    have a long history of sharing with primary users in this and other
    bands without causing interference.

    FCC staff expressed concern that because amateur operations in the
    band are less clearly defined than those of other services also
    operating on a non-interference in the band, they would be difficult
    to locate should interference occur. ARRL Washington Counsel David
    Siddall, K3ZJ, noted that Section 97.303(g), an existing amateur
    rule, could be amended or used to craft a notification requirement,
    if the FCC concluded that relying on other methods would be
    insufficient.

    The FCC participants indicated that such a requirement, in place of
    deleting the secondary allocation, would be given serious
    consideration. (Section 97.303(g) contains specific
    frequency-sharing requirements for the 2200- and 630-meter amateur
    bands.)

    Siddall also pointed out that the Amateur Television Network (ATN)
    filed an email with the Commission that included a letter from the
    California Governor's Office of Emergency Services (Cal OES)
    describing amateur radio's contributions, specifically calling out
    the need for 3.4 GHz access and explaining why other bands are not
    sufficient.

    ARRL also argued that, in any event, continued operation in the band
    should be permitted until and unless an actual potential for
    interference exists in a specific geographic area. ARRL said the FCC
    should not intentionally leave spectrum capacity unused during a
    build-out period that the Commission's own proposal indicates will
    last for at least 12 years in some areas.

    The record in the proceeding is now closed. Please be reminded that
    there can be no calls, emails, or filings to the FCC with regard to
    the issues under consideration until a final FCC Report and Order
    and Further Notice of Proposed Rulemaking is released.

    Release is currently expected to be within a few days after the
    Commission's September 30 meeting. At that time, ARRL will evaluate
    the impact on amateur radio of the Commission's decisions and
    consider what further action, if any, may be merited.
    NNNN
    /EX
    --- SBBSecho 3.11-Win32
    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Thursday, October 01, 2020 18:44:31
    SB QST @ ARL $ARLB027
    ARLB027 Stuart Wolfe, KF5NIX, Appointed South Texas Section Manager

    ZCZC AG27
    QST de W1AW
    ARRL Bulletin 27 ARLB027
    From ARRL Headquarters
    Newington CT October 1, 2020
    To all radio amateurs

    SB QST ARL ARLB027
    ARLB027 Stuart Wolfe, KF5NIX, Appointed South Texas Section Manager

    Stuart Wolfe, KF5NIX, has been appointed ARRL South Texas Section
    Manager. He succeeds Paul Gilbert, KE5ZW, of Cedar Park, who has
    stepped down as Section Manager to become ARRL Director of Emergency Management.

    Wolfe, of Rockdale, Texas, will complete the remainder of Gilbert's
    term. Wolfe's appointment as Section Manager begins on October 1 and
    extends until September 30, 2021. ARRL Radiosport and Field Services
    Manager Bart Jahnke, W9JJ, made the appointment after consulting
    with ARRL West Gulf Division Director John Robert Stratton, N5AUS,
    and receiving recommendations from Gilbert, West Gulf Division Vice
    Director Lee Cooper, W5LHC, and others in the South Texas Section.

    Stuart Wolfe currently serves as South Texas ARRL Affiliated Club
    Coordinator and Emergency Coordinator. He is the founding member and
    President of the Milam Amateur Radio Club. He is also active as a
    Volunteer Examiner and teacher of amateur radio licensing classes.
    NNNN
    /EX
    --- SBBSecho 3.11-Win32
    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Thursday, October 08, 2020 19:05:55
    SB QST @ ARL $ARLB028
    ARLB028 FCC Orders Amateur Access to 3.5 GHz Band to "Sunset"

    ZCZC AG28
    QST de W1AW
    ARRL Bulletin 28 ARLB028
    From ARRL Headquarters
    Newington CT October 8, 2020
    To all radio amateurs

    SB QST ARL ARLB028
    ARLB028 FCC Orders Amateur Access to 3.5 GHz Band to "Sunset"

    Despite vigorous and continuing opposition from ARRL and others, the
    FCC has ordered the "sunsetting" of the 3.3 - 3.5-GHz amateur radio
    secondary spectrum allocation. The decision allows current amateur
    activity on the band to continue, "grandfathering" the amateur
    operations subject to a later decision. The FCC proposed two
    deadlines for amateur operations to cease on the band. The first
    would apply to the 3.4 - 3.5 GHz segment, the second to 3.3 - 3.4
    GHz. The FCC will establish the dates once it reviews additional
    comments.

    "We adopt our proposal from the Notice of Proposed Rulemaking to
    remove the amateur allocation from the 3.3 - 3.5 GHz band," the FCC
    said in its R&O. "[W]e adopt changes to our rules today that provide
    for the sunset of the secondary amateur allocation in the band, but
    allow continued use of the band for amateur operations, pending
    resolution of the issues raised in the Further Notice."

    The Report and Order (R&O) and Further Notice of Proposed Rulemaking
    in WT Docket No. 19-348 adopted on September 30 followed a 2019 FCC
    Notice of Proposed Rulemaking (NPRM) in which the FCC proposed
    re-allocating 3.45 - 3.55 GHz for "flexible-use service" and
    auctioning the desirable "mid-band" spectrum (generally defined as
    between 1 GHz and 6 GHz) to 5G providers. These and other recent spectrum-repurposing actions stem from the MOBILE NOW Act, enacted
    in 2018, in which Congress directed the Commission to make
    additional spectrum available to auction for mobile and fixed
    wireless broadband. The FCC action is consistent with worldwide
    allocations adopted by the ITU for these frequencies.

    The Report and Order can be found online in PDF format at, https://ecfsapi.fcc.gov/file/1002214202488/FCC-20-138A1.pdf .

    In the run-up to the Commission's decision, ARRL met with the FCC's professional staff to explain its concerns and to answer questions. Subsequently, ARRL met with the wireless advisors to the FCC
    Chairman and two Commissioners. In those meetings, ARRL reiterated
    that continued secondary status for amateurs will not impair or
    devalue use of this spectrum by the primary licensees intending to
    provide 5G or other service. ARRL noted amateur radio's long history
    of successful coexistence with primary users of the 9 cm band,
    sharing this spectrum with the federal government users and
    secondary, non-federal occupants.

    ARRL pointed out that vital links in amateur television and amateur
    radio high-speed mesh networks using the band have been especially
    valuable during such emergency situations as the wildfires currently
    raging on the west coast. Deleting the amateur secondary allocation
    will result in lost opportunities for experimentation and public
    service with no public interest benefit to make up for that.

    ARRL argued that deleting the secondary allocation would waste the
    scarce spectrum resource, particularly in areas where commercial
    services often do not construct full facilities due to small
    populations. The FCC action means that amateur radio will lose
    access to the 3.5-GHz secondary allocation even where commercial
    operations do not exist. ARRL told the Commission that it should not intentionally allow this spectrum to be vacant and unused, wasting
    the public resource, when amateurs can use some portion of it in
    many geographic areas with no detriment to any other licensee, just
    as it has in the past. ARRL argues that amateur operations should be
    permitted until and unless an actual potential for interference
    exists.

    Deletion of the 3.3 - 3.5 GHz secondary amateur allocation will
    become effective on the effective date of the FCC's order, but
    amateur radio operation as of that date may continue while the FCC
    finalizes rules to license spectrum in the 3.45 - 3.55 GHz band and
    establishes deadlines for amateur operations to cease. The FCC
    proposed allowing amateur operation in the 3.3 - 3.4 GHz portion of
    the band to continue "pending further decisions about the future of
    this portion of the spectrum," the timing for which is unknown. The
    Commission proposed to mandate that operations cease in the 3.4 -
    3.5 GHz portion when commercial licensing commences for the new 3.45
    - 3.55 GHz "5G" band, which is predicted to begin in the first half
    of 2022.

    "[W]e seek comment on whether it is in the public interest to sunset
    amateur use in the 3.3 - 3.55 GHz band in two separate phases, e.g.,
    first above 3.4 GHz, which is the focus of [the R&O] and later in
    that portion of the band below 3.4 GHz," the FCC said.

    ARRL expressed gratitude to the many members and organizations that
    joined ARRL in challenging the FCC throughout this nearly year-long
    proceeding. They included multiple radio clubs, weak signal
    enthusiasts, moonbounce participants, and the Amateur Radio
    Emergency Data Network (AREDN), the Amateur Television Network
    (ATN), AMSAT, and Open Research Institute (ORI).

    ARRL will continue its efforts to preserve secondary amateur radio
    access to 3.3 - 3.5 GHz. Members are invited to share comments by
    visiting http://www.arrl.org/3-GHz-Band .

    "We recognize that any loss of our privileges will most directly
    impact radio amateurs who use the frequencies to operate and
    innovate," said ARRL President Rick Roderick, K5UR. "Such instances
    only embolden ARRL's role to protect and advocate for the Amateur
    Radio Service and Amateur Satellite Service. There will be continued
    threats to our spectrum. So I urge all amateurs, now more than ever,
    to strengthen our hold by being ceaseless in our public service,
    experimenting, and discovery throughout the radio spectrum."
    NNNN
    /EX
    --- SBBSecho 3.11-Win32
    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Wednesday, October 14, 2020 09:28:24
    SB QST @ ARL $ARLB029
    ARLB029 Bob Buus, W2OD, Appointed as Northern New Jersey Section
    Manager

    ZCZC AG29
    QST de W1AW
    ARRL Bulletin 29 ARLB029
    From ARRL Headquarters
    Newington CT October 13, 2020
    To all radio amateurs

    SB QST ARL ARLB029
    ARLB029 Bob Buus, W2OD, Appointed as Northern New Jersey Section
    Manager

    Bob Buus, W2OD, of Holmdel, has been appointed as Northern New
    Jersey Section Manager to succeed Steve Ostrove, K2SO (SK), who
    stepped down on September 22 due to failing health. Buus will serve
    out the current term of office, which concludes on June 30, 2021.

    An ARRL Life Member, Buus had been serving as an Assistant SM and an
    Emergency Coordinator. He is also an ARRL Volunteer Examiner and
    Life Member of ARRL. Ostrove had recommended Buus to be appointed to
    replace him, and ARRL Hudson Division Director Ria Jairam, N2RJ,
    agreed with his choice. ARRL Radiosport and Field Services Manager
    Bart Jahnke, W9JJ, made the appointment, which is effective
    immediately.
    NNNN
    /EX
    --- SBBSecho 3.11-Win32
    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Wednesday, October 14, 2020 09:28:33
    SB QST @ ARL $ARLB030
    ARLB030 Mark Stillman, KA3JUJ, Appointed as New Delaware Section
    Manager

    ZCZC AG30
    QST de W1AW
    ARRL Bulletin 30 ARLB030
    From ARRL Headquarters
    Newington CT October 13, 2020
    To all radio amateurs

    SB QST ARL ARLB030
    ARLB030 Mark Stillman, KA3JUJ, Appointed as New Delaware Section
    Manager

    Mark Stillman, KA3JUJ, of Newark, Delaware, has been appointed as
    ARRL Delaware Section Manager. He succeeds Bill Duveneck, KB3KYH,
    who had served since 2014. Duveneck has moved out of the Delaware
    Section.

    ARRL Radiosport and Field Services Manager Bart Jahnke, W9JJ,
    appointed Stillman after consulting with ARRL Atlantic Division
    Director Tom Abernethy, W3TOM. The appointment is effective
    immediately and extends through the end of Duveneck's term on
    December 31, 2021.

    Stillman is a member of the local Amateur Radio Emergency Service
    (ARES), an ARRL Volunteer Examiner, and an American Red Cross
    volunteer. He serves as treasurer of the Delaware Repeater
    Association.
    NNNN
    /EX
    --- SBBSecho 3.11-Win32
    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Thursday, October 29, 2020 06:12:54
    SB QST @ ARL $ARLB031
    ARLB031 ARRL Urges Members to Join in Strongly Opposing FCC's
    Application Fees Proposal

    ZCZC AG31
    QST de W1AW
    ARRL Bulletin 31 ARLB031
    From ARRL Headquarters
    Newington CT October 28, 2020
    To all radio amateurs

    SB QST ARL ARLB031
    ARLB031 ARRL Urges Members to Join in Strongly Opposing FCC's
    Application Fees Proposal

    ARRL will file comments in firm opposition to an FCC proposal to
    impose a $50 fee on amateur radio license and application fees. With
    the November 16 comment deadline fast approaching, ARRL urges
    members to add their voices to ARRL's by filing opposition comments
    of their own. The FCC Notice of Proposed Rulemaking (NPRM) MD Docket
    20-270 appeared in the October 15 edition of The Federal Register
    and sets deadlines of November 16 to comment and November 30 to post
    reply comments, which are comments on comments already filed.

    The NPRM can be found online at, https://tinyurl.com/yyk8f2yp .

    ARRL has prepared a Guide to Filing Comments with the FCC which
    includes tips for preparing comments and step-by-step filing
    instructions. File comments on MD Docket 20-270 using the FCC's
    Electronic Comment Filing System (ECFS). The instructions can be
    found online at, http://www.arrl.org/FCC-Fees-Proposal .

    Under the proposal, amateur radio licensees would pay a $50 fee for
    each amateur radio application for new licenses, license renewals,
    upgrades to existing licenses, and vanity call sign requests. The
    FCC also has proposed a $50 fee to obtain a printed copy of a
    license. Excluded are applications for administrative updates, such
    as changes of address, and annual regulatory fees. Amateur Service
    licensees have been exempt from application fees for several years.

    The FCC proposal is contained in a Notice of Proposed Rulemaking
    (NPRM) in MD Docket 20-270, which was adopted to implement portions
    of the "Repack Airwaves Yielding Better Access for Users of Modern
    Services Act" of 2018 - the so-called "Ray Baum's Act." The Act
    requires that the FCC switch from a Congressionally-mandated fee
    structure to a cost-based system of assessment. In its NPRM, the FCC
    proposed application fees for a broad range of services that use the
    FCC's Universal Licensing System (ULS), including the Amateur Radio
    Service. The 2018 statute excludes the Amateur Service from annual
    regulatory fees, but not from application fees. The FCC proposal
    affects all FCC services and does not single out amateur radio.

    ARRL is encouraging members to file comments that stress amateur
    radio's contributions to the country and communities. ARRL's Guide
    to Filing Comments includes "talking points" that may be helpful in
    preparing comments. These stress amateur radio's role in
    volunteering communication support during disasters and emergencies,
    and inspiring students to pursue education and careers in
    engineering, radio technology, and communications.

    As the FCC explained in its NPRM, Congress, through the Ray Baum's
    Act, is compelling regulatory agencies such as the FCC to recover
    from applicants the costs involved in filing and handling
    applications.

    In its NPRM the FCC encouraged licensees to update their own
    information online without charge. Many, if not most, Amateur
    Service applications may be handled via the largely automated
    Universal License Service (ULS). The Ray Baum's Act does not exempt
    filing fees in the Amateur Radio Service, and the FCC stopped
    assessing fees for vanity call signs several years ago.

    See also "FCC Proposes to Reinstate Amateur Radio Service Fees,"
    reported by ARRL in August, at, http://www.arrl.org/news/fcc-proposes-to-reinstate-amateur-radio-service-fees
    .

    A summary page of the proceeding can also be found online at, http://www.arrl.org/FCC-Fees-Proposal .
    NNNN
    /EX
    --- SBBSecho 3.11-Win32
    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Monday, November 02, 2020 11:46:13
    SB QST @ ARL $ARLB032
    ARLB032 W1AW 2020/2021 Winter Operating Schedule

    ZCZC AG32
    QST de W1AW
    ARRL Bulletin 32 ARLB032
    From ARRL Headquarters
    Newington CT November 2, 2020
    To all radio amateurs

    SB QST ARL ARLB032
    ARLB032 W1AW 2020/2021 Winter Operating Schedule

    Morning Schedule:

    Time Mode Days
    ------------------- ---- ---------
    1400 UTC (9 AM EST) CWs Wed, Fri
    1400 UTC (9 AM EST) CWf Tue, Thu

    Daily Visitor Operating Hours:

    1500 UTC to 1700 UTC - (10 AM to 12 PM EST)
    1800 UTC to 2045 UTC - (1 PM to 3:45 PM EST)

    (Station closed 1700 to 1800 UTC (12 PM to 1 PM EST))

    Afternoon/Evening Schedule:

    2100 UTC (4 PM EST) CWf Mon, Wed, Fri
    2100 " " CWs Tue, Thu
    2200 " (5 PM EST) CWb Daily
    2300 " (6 PM EST) DIGITAL Daily
    0000 " (7 PM EST) CWs Mon, Wed, Fri
    0000 " " CWf Tue, Thu
    0100 " (8 PM EST) CWb Daily
    0200 " (9 PM EST) DIGITAL Daily
    0245 " (9:45 PM EST) VOICE Daily
    0300 " (10 PM EST) CWf Mon, Wed, Fri
    0300 " " CWs Tue, Thu
    0400 " (11 PM EST) CWb Daily


    Frequencies (MHz)
    -----------------
    CW: 1.8025 3.5815 7.0475 14.0475 18.0975 21.0675 28.0675 50.350 147.555 DIGITAL: - 3.5975 7.095 14.095 18.1025 21.095 28.095 50.350 147.555
    VOICE: 1.855 3.990 7.290 14.290 18.160 21.390 28.590 50.350 147.555

    Notes:

    CWs = Morse Code practice (slow) = 5, 7.5, 10, 13 and 15 WPM
    CWf = Morse Code practice (fast) = 35, 30, 25, 20, 15, 13 and 10 WPM
    CWb = Morse Code Bulletins = 18 WPM

    CW frequencies include code practices, Qualifying Runs and CW
    bulletins.

    DIGITAL = BAUDOT (45.45 baud), BPSK31 and MFSK16 in a revolving
    schedule.

    Code practice texts are from QST, and the source of each practice is
    given at the beginning of each practice and at the beginning of
    alternate speeds.

    On Tuesdays and Fridays at 2330 UTC (6:30 PM EST), Keplerian
    Elements for active amateur satellites are sent on the regular
    digital frequencies.

    A DX bulletin replaces or is added to the regular bulletins between
    0100 UTC (8 PM EST) Thursdays and 0100 UTC (8 PM EST) Fridays.

    Audio from W1AW's CW code practices, CW/digital bulletins and phone
    bulletin is available using EchoLink via the W1AW Conference Server
    named "W1AWBDCT." The monthly W1AW Qualifying Runs are presented
    here as well. The audio is sent in real-time and runs concurrently
    with W1AW's regular transmission schedule.

    All users who connect to the conference server are muted. Please
    note that any questions or comments about this server should not be
    sent via the "Text" window in EchoLink. Please direct any questions
    or comments to w1aw@arrl.org .

    In a communications emergency, monitor W1AW for special bulletins as
    follows: Voice on the hour, Digital at 15 minutes past the hour, and
    CW on the half hour.

    All licensed amateurs may operate the station from 1500 UTC to 1700
    UTC (10 AM to 12 PM EST), and then from 1800 UTC to 2045 UTC (1 PM
    to 3:45 PM EST) Monday through Friday. Be sure to bring your
    current FCC amateur radio license or a photocopy.

    However, please note that because of current COVID-19 restrictions,
    W1AW is not open for visitor operations at this time.

    The W1AW Operating Schedule may also be found on page 87 in the
    November 2020 issue of QST or on the web at, http://www.arrl.org/w1aw-operating-schedule .
    NNNN
    /EX
    --- SBBSecho 3.11-Win32
    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Monday, November 09, 2020 17:46:47
    SB QST @ ARL $ARLB033
    ARLB033 Kristen McIntyre, K6WX, is New ARRL Pacific Division
    Director

    ZCZC AG33
    QST de W1AW
    ARRL Bulletin 33 ARLB033
    From ARRL Headquarters
    Newington CT November 9, 2020
    To all radio amateurs

    SB QST ARL ARLB033
    ARLB033 Kristen McIntyre, K6WX, is New ARRL Pacific Division
    Director

    Kristen McIntyre, K6WX, of San Jose, California, has assumed the
    office of ARRL Pacific Division Director following the recent
    vacancy in the office. The ARRL Articles of Association stipulate
    she will serve as Director for the remainder of the current term,
    which expires on December 31, 2022. She will join the ARRL Board
    which is comprised of the organization's 15 Directors - each
    representing a geographical area.

    McIntyre was appointed as the Division's Vice Director in 2018, and
    was unopposed as a candidate for the position in 2019. She was first
    licensed in the late 1970s while a student at Massachusetts
    Institute of Technology. She holds an Amateur Extra class license.

    She has served as ARRL Technical Coordinator for the East Bay
    Section, and is a member of the Palo Alto Amateur Radio Club.
    McIntyre also is licensed in Japan, her second home, as JI1IZZ. She
    is a senior software engineer at Apple.
    NNNN
    /EX
    --- SBBSecho 3.11-Win32
    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Monday, November 16, 2020 23:56:18
    SB QST @ ARL $ARLB034
    ARLB034 Clear Frequencies Requested for Caribbean Hurricane
    Emergency Traffic

    ZCZC AG34
    QST de W1AW
    ARRL Bulletin 34 ARLB034
    From ARRL Headquarters
    Newington CT November 17, 2020
    To all radio amateurs

    SB QST ARL ARLB034
    ARLB034 Clear Frequencies Requested for Caribbean Hurricane
    Emergency Traffic

    Stations handling emergency traffic during the response to Category
    5 Hurricane Iota, just off the eastern coast of Nicaragua, are
    requesting clear frequencies.

    Radio amateurs not involved in the emergency response are asked to
    avoid (plus/minus 5 KHz) the Hurricane Watch Net (HWN) and WX4NHC
    (National Hurricane Center) frequencies of 14.325 and 7.268 MHz, as
    well as a Honduran emergency net operation on 7.180 MHz (net control
    station is HR1JFA), and a Nicaraguan emergency net operating on
    7.098 MHz.

    With maximum sustained winds of 160 MPH, Hurricane Iota is expected
    to bring catastrophic winds, life-threatening storm surge, and
    torrential rainfall to Central America.
    NNNN
    /EX
    --- SBBSecho 3.11-Win32
    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Thursday, November 19, 2020 12:23:52
    SB QST @ ARL $ARLB035
    ARLB035 ARRL Seeks Waiver of Proposed FCC Amateur Application Fees

    ZCZC AG35
    QST de W1AW
    ARRL Bulletin 35 ARLB035
    From ARRL Headquarters
    Newington CT November 19, 2020
    To all radio amateurs

    SB QST ARL ARLB035
    ARLB035 ARRL Seeks Waiver of Proposed FCC Amateur Application Fees

    ARRL has urged the FCC to waive its proposed $50 amateur radio
    application fee. The Commission proposal was made last month in a
    Notice of Proposed Rulemaking (NPRM) in MD 20-270. The proposal
    already has drawn more than 3,200 individual comments overwhelmingly
    opposed to the plan. The fees, directed by Congress and imposed on
    all FCC-regulated services, are to recover the FCC's costs of
    handling and processing applications.

    The NPRM can be found in PDF format at, https://docs.fcc.gov/public/attachments/FCC-20-116A1.pdf .

    "Amateur radio applications were not listed when the Congress
    adopted its 1985 fee schedule for applications, and therefore
    amateur license applications were excluded from the collection of
    fees," ARRL said on November 16 in its formal comments on the
    proposal. "Similarly, a decade later when regulatory fees were
    authorized, the Amateur Service was excluded, except for the costs
    associated with issuing vanity call signs." The new statutory
    provisions are similar. Amateur radio license applications are not
    addressed in the application fees section and explicitly excluded
    from regulatory fees," ARRL said, and there is "no evidence of any
    intent by Congress to change the exempt status of amateur
    applications and instead subject them to new fees."

    ARRL's formal comments can be found online at, https://www.fcc.gov/ecfs/filing/111762316365 .

    ARRL argued that the FCC has explicit authority to waive the fees if
    it would be in the public interest, and should do so for the Amateur
    Radio Service. Unlike other FCC services, the Amateur Radio Service
    is all volunteer and largely self-governing, with examination
    preparation, administration, and grading handled by volunteers, who
    submit licensing paperwork to the FCC, ARRL pointed out.

    "Increasingly, the required information is uploaded to the
    Commission's database, further freeing personnel from licensing
    paperwork as well as from day-to-day examination processes," ARRL
    said. "The addition of an application fee will greatly increase the
    complexity and requirements for volunteer examiners."

    The Communications Act, ARRL noted, also permits the FCC to accept
    the volunteer services of individual radio amateurs and
    organizations in monitoring for rules violations. In 2019, ARRL and
    the FCC signed a memorandum of understanding to renew and enhance
    the ARRL's Volunteer Monitor program, relieving the Commission of
    significant time-consuming aspects of enforcement.

    These volunteer services lessen the regulatory burden - including
    the application burden - on the Commission's resources and budget in
    ways that licensees in other services do not, ARRL said.

    Amateur radio's role in providing emergency and disaster
    communication, education, and other volunteer services also
    justifies exempting radio amateurs from FCC application fees. For
    example, ARRL noted, last year more than 31,000 participated as
    members of the ARRL Amateur Radio Emergency Service (ARES), and
    local ARES teams reported taking part in more than 37,000 events,
    donating nearly 573,000 volunteer hours, providing a total value of
    more than $14.5 million.

    Amateur radio also has motivated many students to develop critical
    science, technology, engineering, and mathematics (STEM) skills.
    ARRL noted that the Amateur Radio Service contributes to the
    advancement of the radio art, advances skills in communication and
    technology, and expands the existing reservoir of trained operators, technicians, and electronics experts - all expressed bases and
    purposes of the Amateur Radio Service.

    "Accomplishing these purposes entails working with young people,
    many of whom may have difficulty paying the proposed application
    fees of $50, $100, or $150," ARRL said. "The $150 fee would be the
    cost of passing the examinations for the three amateur license
    levels in three examination sessions," ARRL said. "Such multiple
    application fees to upgrade would dampen the incentive to study and
    demonstrate the greater proficiency needed to pass the examinations
    for the higher amateur classes."

    ARRL concluded that the FCC should exercise its authority to exempt
    amateur radio from application fees generally. If the FCC cannot see
    its way clear to waive fees for all amateur radio license
    applications, the fees should be waived for applicants age 26 years
    and younger. Such individuals, ARRL contended, have the most to
    contribute to the future of radio technology and other STEM-related
    activities and are the most likely to find the proposed application
    fees burdensome.
    NNNN
    /EX
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  • From Daryl Stout@HURRICAN to All on Monday, November 23, 2020 17:48:12
    SB QST @ ARL $ARLB036
    ARLB036 ARRL Announces Director, Vice Director Election Results

    ZCZC AG36
    QST de W1AW
    ARRL Bulletin 36 ARLB036
    From ARRL Headquarters
    Newington CT November 23, 2020
    To all radio amateurs

    SB QST ARL ARLB036
    ARLB036 ARRL Announces Director, Vice Director Election Results

    The ARRL Dakota Division will have a new Director, and the Great
    Lakes and Midwest Divisions will have new Vice Directors on January
    1. The results of four contested elections for Director and Vice
    Director in three ARRL Divisions were announced on November 20,
    after ballots were tallied at ARRL Headquarters.

    In the Dakota Division, incumbent Matt Holden, K0BBC, lost his
    re-election bid to challenger Vernon ''Bill'' Lippert, AC0W. The vote
    was 982 to 485. Holden had served as Director since 2018.

    In the Great Lakes Division, incumbent Director Dale Williams,
    WA8EFK, retained his seat in a challenge from Michael Kalter, W8CI.
    The vote was 1,840 to 1,398. In a three-way contest for Great Lakes
    Division Vice Director, Ohio Section Manager Scott Yonally, N8SY,
    received 1,670 votes to outpoll Jim Hessler, K8JH, with 975 votes,
    and Frank Piper, KI8GW, who received 611 votes. Incumbent Vice
    Director Tom Delaney, W8WTD, did not run for another term.

    In the Midwest Division, Dave Propper, K2DP, will become the new
    Vice Director in January. He received 1,164 votes to 623 votes for
    challenger Lloyd Colston, KC5FM. Current Vice Director Art
    Zygielbaum, K0AIZ, will become the new Director in January. He was
    unopposed to succeed incumbent Director Rod Blocksome, K0DAS, who
    did not seek a new term.

    Declared Elected without Opposition:

    * In the Atlantic Division, Director Tom Abernethy, W3TOM, who has
    held the seat since 2015, and Vice Director Bob Famiglio, K3RF,
    elected to a 3-year term (2015 - 2018) and then appointed in 2019 to
    fill a vacancy when the incumbent stepped down.

    * In the Dakota Division, Vice Director Lynn Nelson, W0ND, in office
    since 2018.

    * In the Delta Division, Director David Norris, K5UZ, who's served
    in that office since 2012, and Vice Director Ed Hudgens, WB4RHQ,
    appointed in 2013.

    * In the Midwest Division, current Vice Director Art Zygielbaum,
    K0AIZ, will become the new Director in January, succeeding incumbent
    Rod Blocksome, K0DAS, who is stepping down. Zygielbaum has been Vice
    Director since 2014.

    All newly elected officials take office at noon on January 1, 2021.
    NNNN
    /EX
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    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Wednesday, November 25, 2020 17:47:55
    SB QST @ ARL $ARLB037
    ARLB037 New York City-Long Island Section Manager Re-Elected in Fall
    Balloting

    ZCZC AG37
    QST de W1AW
    ARRL Bulletin 37 ARLB037
    From ARRL Headquarters
    Newington CT November 25, 2020
    To all radio amateurs

    SB QST ARL ARLB037
    ARLB037 New York City-Long Island Section Manager Re-Elected in Fall
    Balloting

    New York City-Long Island Section Manager Jim Mezey, W2KFV, has been
    re-elected in the Fall election cycle. Mezey, of Carle Place,
    received 527 votes to 136 for challenger Donnie Katzovicz, W2BRU.
    The race for NYC-LI SM was the only contested election. Mezey begins
    a new 2-year term of office on January 1, 2021. He has served as New
    York City-Long Island Section Manager since 2013.

    In the West Central Florida (WCF) Section, Michael Douglas, W4MDD,
    of Wauchula, Florida, will become Section Manager starting on
    January 1, 2021. He was the only nominee for the post. Douglas is
    currently Affiliated Club Coordinator, a Technical Specialist, and
    an Official Emergency Station. Incumbent WCF Section Manager Darrell
    Davis, KT4WX, did not run for a new term after serving for the past
    6 years.

    These incumbent Section Managers were the only candidates for
    re-election and will begin new terms of office on January 1: Tom
    Walsh, K1TW (Eastern Massachusetts); Cecil Higgins, AC0HA
    (Missouri); Matt Anderson, KA0BOJ (Nebraska); Thomas Dick, KF2GC
    (Northern New York); Marc Tarplee, N4UFP (South Carolina); Tom
    Preiser, N2XW (Southern New Jersey), and Joe Shupienis, W3BC
    (Western Pennsylvania).
    NNNN
    /EX
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  • From Daryl Stout@HURRICAN to All on Wednesday, December 02, 2020 18:41:16
    SB QST @ ARL $ARLB038
    ARLB038 FCC to Require Email Addresses on Applications

    ZCZC AG38
    QST de W1AW
    ARRL Bulletin 38 ARLB038
    From ARRL Headquarters
    Newington CT December 2, 2020
    To all radio amateurs

    SB QST ARL ARLB038
    ARLB038 FCC to Require Email Addresses on Applications

    Amateur radio licensees and candidates will have to provide the FCC
    with an email address on applications, effective sometime in
    mid-2021.

    If no email address is included, the FCC may dismiss the application
    as defective.

    The FCC is fully transitioning to electronic correspondence and will
    no longer print or provide wireless licensees with hard-copy
    authorizations or registrations by mail.

    A Report and Order (R&O) on "Completing the Transition to Electronic
    Filing, Licenses and Authorizations, and Correspondence in the
    Wireless Radio Services" in WT Docket 19-212 was adopted on
    September 16. The new rules will go into effect 6 months after
    publication in the Federal Register, which hasn't happened yet, but
    the FCC is already strongly encouraging applicants to provide an
    email address.

    When an email address is provided, licensees will receive an
    official electronic copy of their licenses when the application is
    granted.

    The Report and Order can be found in PDF format online at, https://www.fcc.gov/document/fcc-adopts-electronic-licensing-report-and-order
    .

    Under Section 97.21 of the new rules, a person holding a valid
    amateur station license "must apply to the FCC for a modification of
    the license grant as necessary to show the correct mailing and email
    address, licensee name, club name, license trustee name, or license
    custodian name." For a club or military recreation station license,
    the application must be presented in document form to a club station
    call sign administrator who must submit the information to the FCC
    in an electronic batch file.

    Under new Section 97.23, each license will have to show the
    grantee's correct name, mailing address, and email address. "The
    email address must be an address where the grantee can receive
    electronic correspondence," the amended rule will state. "Revocation
    of the station license or suspension of the operator license may
    result when correspondence from the FCC is returned as undeliverable
    because the grantee failed to provide the correct email address."
    NNNN
    /EX
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  • From Daryl Stout@HURRICAN to All on Tuesday, December 22, 2020 13:53:01
    SB QST @ ARL $ARLB039
    ARLB039 FCC Posts Email Address Reminder On ULS Landing Page

    ZCZC AG39
    QST de W1AW
    ARRL Bulletin 39 ARLB039
    From ARRL Headquarters
    Newington CT December 22, 2020
    To all radio amateurs

    SB QST ARL ARLB039
    ARLB039 FCC Posts Email Address Reminder On ULS Landing Page

    The FCC is encouraging users of the Universal Licensing Service
    (ULS) to have an email address on file with the FCC.

    The ULS Landing Page can be found at, https://www.fcc.gov/wireless/systems-utilities/universal-licensing-system
    .

    "Applicants are strongly encouraged to provide an email address on
    their license application(s), which will trigger the electronic
    issuance of an official copy of their license(s) to the email
    provided upon application grant. Per the timing specified in
    Rulemaking FCC 20-126, the FCC will no longer print, and licensees
    will no longer be able to request, hard copy license authorizations
    sent by mail."

    The Rulemaking can be found online in PDF format at, https://docs.fcc.gov/public/attachments/FCC-20-126A1.pdf .

    The FCC has not yet established the date by which an email address
    will be required on all applications. ARRL VEC already has begun
    including email addresses on FCC applications for as many applicants
    as possible.
    NNNN
    /EX
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    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Tuesday, December 22, 2020 13:53:12
    SB QST @ ARL $ARLB040
    ARLB040 Tom Sly, WB8LCD, Appointed as Ohio Section Manager

    ZCZC AG40
    QST de W1AW
    ARRL Bulletin 40 ARLB040
    From ARRL Headquarters
    Newington CT December 22, 2020
    To all radio amateurs

    SB QST ARL ARLB040
    ARLB040 Tom Sly, WB8LCD, Appointed as Ohio Section Manager

    Tom Sly, WB8LCD, of Kent, has been appointed as the Ohio Section
    Manager, effective January 1, 2021. Sly will assume the seat that
    incumbent Section Manager Scott Yonally, N8SY, is vacating to become
    Great Lakes Division Vice Director, after serving as Ohio Section
    Manager since 2014.

    Sly was appointed by ARRL Radiosport and Field Services Manager Bart
    Jahnke, W9JJ, after consulting with Great Lakes Division Director
    Dale Williams, WA8EFK. The Section Manager appointment extends
    through September 30, 2022.

    Sly is an ARRL Life Member and has served as Ohio Section Affiliated
    Club Coordinator since 2017. He is past president of the Portage
    County Amateur Radio Service (PCARS) and has been a radio amateur
    since 1968.
    NNNN
    /EX
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    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Monday, January 04, 2021 17:57:18
    SB QST @ ARL $ARLB001
    ARLB001 W1AW 2021 Winter Operating Schedule

    ZCZC AG01
    QST de W1AW
    ARRL Bulletin 1 ARLB001
    From ARRL Headquarters
    Newington CT January 4, 2021
    To all radio amateurs

    SB QST ARL ARLB001
    ARLB001 W1AW 2021 Winter Operating Schedule

    Morning Schedule:

    Time Mode Days
    ------------------- ---- ---------
    1400 UTC (9 AM EST) CWs Wed, Fri
    1400 UTC (9 AM EST) CWf Tue, Thu

    Daily Visitor Operating Hours:

    1500 UTC to 1700 UTC - (10 AM to 12 PM EST)
    1800 UTC to 2045 UTC - (1 PM to 3:45 PM EST)

    (Station closed 1700 to 1800 UTC (12 PM to 1 PM EST))

    Afternoon/Evening Schedule:

    2100 UTC (4 PM EST) CWf Mon, Wed, Fri
    2100 " " CWs Tue, Thu
    2200 " (5 PM EST) CWb Daily
    2300 " (6 PM EST) DIGITAL Daily
    0000 " (7 PM EST) CWs Mon, Wed, Fri
    0000 " " CWf Tue, Thu
    0100 " (8 PM EST) CWb Daily
    0200 " (9 PM EST) DIGITAL Daily
    0245 " (9:45 PM EST) VOICE Daily
    0300 " (10 PM EST) CWf Mon, Wed, Fri
    0300 " " CWs Tue, Thu
    0400 " (11 PM EST) CWb Daily


    Frequencies (MHz)
    -----------------
    CW: 1.8025 3.5815 7.0475 14.0475 18.0975 21.0675 28.0675 50.350 147.555 DIGITAL: - 3.5975 7.095 14.095 18.1025 21.095 28.095 50.350 147.555
    VOICE: 1.855 3.990 7.290 14.290 18.160 21.390 28.590 50.350 147.555

    Notes:

    CWs = Morse Code practice (slow) = 5, 7.5, 10, 13 and 15 WPM
    CWf = Morse Code practice (fast) = 35, 30, 25, 20, 15, 13 and 10 WPM
    CWb = Morse Code Bulletins = 18 WPM

    CW frequencies include code practices, Qualifying Runs and CW
    bulletins.

    DIGITAL = BAUDOT (45.45 baud), BPSK31 and MFSK16 in a revolving
    schedule.

    Code practice texts are from QST, and the source of each practice is
    given at the beginning of each practice and at the beginning of
    alternate speeds.

    On Tuesdays and Fridays at 2330 UTC (6:30 PM EST), Keplerian
    Elements for active amateur satellites are sent on the regular
    digital frequencies.

    A DX bulletin replaces or is added to the regular bulletins between
    0100 UTC (8 PM EST) Thursdays and 0100 UTC (8 PM EST) Fridays.

    Audio from W1AW's CW code practices, CW/digital bulletins and phone
    bulletin is available using EchoLink via the W1AW Conference Server
    named "W1AWBDCT." The monthly W1AW Qualifying Runs are presented
    here as well. The audio is sent in real-time and runs concurrently
    with W1AW's regular transmission schedule.

    All users who connect to the conference server are muted. Please
    note that any questions or comments about this server should not be
    sent via the "Text" window in EchoLink. Please direct any questions
    or comments to w1aw@arrl.org .

    In a communications emergency, monitor W1AW for special bulletins as
    follows: Voice on the hour, Digital at 15 minutes past the hour, and
    CW on the half hour.

    All licensed amateurs may operate the station from 1500 UTC to 1700
    UTC (10 AM to 12 PM EST), and then from 1800 UTC to 2045 UTC (1 PM
    to 3:45 PM EST) Monday through Friday. Be sure to bring a reference
    copy of your current FCC amateur radio license.

    The weekly W1AW and monthly West Coast Qualifying Runs are sent on
    the normal CW frequencies used for both code practice and bulletin transmissions. West Coast Qualifying Run stations may also use 3590
    kHz.

    Please note that because of current COVID-19 restrictions, W1AW is
    not open for visitor operations at this time.

    The W1AW Operating Schedule may also be found on page 85 in the
    January 2021 issue of QST or on the web at, http://www.arrl.org/w1aw-operating-schedule .
    NNNN
    /EX
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    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Monday, January 04, 2021 17:57:30
    SB QST @ ARL $ARLB002
    ARLB002 FCC to Require Email Address on Applications Starting on
    June 29, 2021

    ZCZC AG02
    QST de W1AW
    ARRL Bulletin 2 ARLB002
    From ARRL Headquarters
    Newington CT January 4, 2021
    To all radio amateurs

    SB QST ARL ARLB002
    ARLB002 FCC to Require Email Address on Applications Starting on
    June 29, 2021

    Effective on June 29, 2021, amateur radio licensees and candidates
    must provide the FCC with an email address on all applications. If
    no email address is included, the FCC may dismiss the application as "defective."

    On September 16, the FCC adopted a Report and Order (R&O) in WT
    Docket 19-212 on "Completing the Transition to Electronic Filing,
    Licenses and Authorizations, and Correspondence in the Wireless
    Radio Services." The R&O was published on December 29 in the Federal
    Register. The FCC has already begun strongly encouraging applicants
    to provide an email address. Once an email address is provided, the
    FCC will email a link to an official electronic copy of the license
    grant. An official copy will also be available at any time by
    accessing the licensee's password-protected Universal Licensing
    System (ULS) account.

    The R&O is available online in PDF format at, https://www.fcc.gov/document/fcc-adopts-electronic-licensing-report-and-order
    .

    Licensees can log into the ULS License Manager System with their FRN
    and password at any time and update anything in their FCC license
    record, including adding an email address. For questions or password
    issues, call the CORES/FRN Help Line, (877) 480-3201 (Monday -
    Friday, 1300 - 2300 UTC) or reset the password on the FCC website.

    The only way to refrain from providing an email address on an
    application would be to submit a request to waive the new rule,
    providing justification for the request. (The FCC would not be
    obliged to grant such a request.)

    Under Section 97.21 of the new rules, a person holding a valid
    amateur radio station license "must apply to the FCC for a
    modification of the license grant as necessary to show the correct
    mailing and email address, licensee name, club name, license trustee
    name, or license custodian name." For a club or military recreation
    station license, the application must be presented in document form
    to a club station call sign administrator who must submit the
    information to the FCC in an electronic batch file.

    Under new Section 97.23, each license must show the grantee's
    correct name, mailing address, and email address. "The email address
    must be an address where the grantee can receive electronic
    correspondence," the amended rule will state. "Revocation of the
    station license or suspension of the operator license may result
    when correspondence from the FCC is returned as undeliverable
    because the grantee failed to provide the correct email address."
    NNNN
    /EX
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    * Origin: The Thunderbolt BBS - tbolt.synchro.net (57:57/10)
    þ Synchronet þ Eye of The Hurricane BBS - hurrican.synchro.net
  • From Daryl Stout@HURRICAN to All on Thursday, December 31, 2020 18:03:40
    SB QST @ ARL $ARLB041
    ARLB041 FCC Reduces Proposed Amateur Radio Application Fee to $35

    ZCZC AG41
    QST de W1AW
    ARRL Bulletin 41 ARLB041
    From ARRL Headquarters
    Newington CT December 31, 2020
    To all radio amateurs

    SB QST ARL ARLB041
    ARLB041 FCC Reduces Proposed Amateur Radio Application Fee to $35

    The FCC has agreed with ARRL and other commenters that its proposed
    $50 fee for certain amateur radio applications was "too high to
    account for the minimal staff involvement in these applications."

    In a Report and Order (R&O), released on December 29, the FCC scaled
    back to $35 the fee for a new license application, a special
    temporary authority (STA) request, a rule waiver request, a license
    renewal application, and a vanity call sign application. All fees
    are per application. There will be no fee for administrative
    updates, such as a change of mailing or email address.

    The R&O can be found online in PDF format at, https://docs.fcc.gov/public/attachments/FCC-20-184A1.pdf .

    This fall, ARRL filed comments in firm opposition to the FCC
    proposal to impose a $50 fee on amateur radio license and
    application fees and urged its members to follow suit.

    As the FCC noted in its R&O, although some commenters supported the
    proposed $50 fee as reasonable and fair, "ARRL and many individual
    commenters argued that there was no cost-based justification for
    application fees in the Amateur Radio Service." The fee proposal was
    contained in a Notice of Proposed Rulemaking (NPRM) in MD Docket
    20-270, which was adopted to implement portions of the "Repack
    Airwaves Yielding Better Access for Users of Modern Services Act" of
    2018 - the so-called "Ray Baum's Act."

    Information on Ray Baum's Act can be found online in PDF format at, https://www.congress.gov/115/plaws/publ141/PLAW-115publ141.pdf .

    "After reviewing the record, including the extensive comments filed
    by amateur radio licensees and based on our revised analysis of the
    cost of processing mostly automated processes discussed in our
    methodology section, we adopt a $35 application fee, a lower
    application fee than the Commission proposed in the NPRM for
    personal licenses, in recognition of the fact that the application
    process is mostly automated," the FCC said in the R&O. "We adopt the
    proposal from the NPRM to assess no additional application fee for
    minor modifications or administrative updates, which also are highly automated."

    The FCC said it received more than 197,000 personal license
    applications in 2019, which includes not only ham radio license
    applications but commercial radio operator licenses and General
    Mobile Radio Service (GMRS) licenses.

    The FCC turned away the arguments of some commenters that the FCC
    should exempt amateur radio licensees. The FCC stated that it has no
    authority to create an exemption "where none presently exists."

    The FCC also disagreed with those who argued that amateur radio
    licensees should be exempt from fees because of their public service contribution during emergencies and disasters.

    "[W]e are very much aware of these laudable and important services
    amateur radio licensees provide to the American public," the FCC
    said, but noted that specific exemptions provided under Section 8 of
    the so-called "Ray Baum's Act" requiring the FCC to assess the fees
    do not apply to amateur radio personal licenses. "Emergency
    communications, for example, are voluntary and are not required by
    our rules," the FCC noted. "As we have noted previously, '[w]hile
    the value of the amateur service to the public as a voluntary
    noncommercial communications service, particularly with respect to
    providing emergency communications, is one of the underlying
    principles of the amateur service, the amateur service is not an
    emergency radio service.'"

    The Act requires that the FCC switch from a Congressionally-mandated
    fee structure to a cost-based system of assessment. The FCC proposed application fees for a broad range of services that use the FCC's
    Universal Licensing System (ULS), including the Amateur Radio
    Service, which had been excluded previously. The 2018 statute
    excludes the Amateur Service from annual regulatory fees, but not
    from application fees.

    "While the Ray Baum's Act amended Section 9 and retained the
    regulatory fee exemption for amateur radio station licensees,
    Congress did not include a comparable exemption among the amendments
    it made to Section 8 of the Act," the FCC R&O explained.

    The effective date of the fee schedule has not been established, but
    it will be announced at least 30 days in advance. The FCC has
    directed the Office of Managing Director, in consultation with
    relevant offices and bureaus, to draft a notice for publication in
    the Federal Register announcing when rule change(s) will become
    effective, "once the relevant databases, guides, and internal
    procedures have been updated."
    NNNN
    /EX
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  • From Daryl Stout@HURRICAN to All on Friday, January 08, 2021 17:54:16
    SB QST @ ARL $ARLB003
    ARLB003 FCC Invites Comments on Expanding the Number of Volunteer
    Examiner Coordinators

    ZCZC AG03
    QST de W1AW
    ARRL Bulletin 3 ARLB003
    From ARRL Headquarters
    Newington CT January 8, 2021
    To all radio amateurs

    SB QST ARL ARLB003
    ARLB003 FCC Invites Comments on Expanding the Number of Volunteer
    Examiner Coordinators

    In a January 5 Public Notice, the FCC requested comments on whether
    the current 14 Volunteer Examiner Coordinators (VECs) are sufficient
    to facilitate the efforts of their accredited Volunteer Examiners
    (VEs) in administering amateur radio examinations. The ARRL VEC is
    the largest of the 14 VECs in the US. Comments are due by February
    5, and reply comments are due by February 19. After Congress
    authorized it to do so, the FCC adopted rules in 1983 to allow
    volunteers to prepare and administer amateur radio examinations, and
    it established the system of VECs and VEs.

    The Public Notice can be found online in PDF format at, https://docs.fcc.gov/public/attachments/DA-21-9A1.pdf .

    "VECs introduced consistency into the volunteer examiner program by centralizing accreditation of volunteer examiners, coordinating the
    dates and times for scheduling examinations, and managing the
    various administrative tasks arising from examinations," the FCC
    said. Authorized VECs may operate in any of the 13 VEC regions but
    must service at least one region. The FCC pointed out that some VECs
    now offer remote examinations.

    "The Commission has long maintained 14 VECs and now seeks to
    consider whether they continue to serve the evolving needs of the
    amateur community, or whether there are unmet needs that warrant
    considering expanding the number of VECs."

    The FCC Public Notice provided questions for framing comments:

    * Are the existing 14 VECs sufficient to coordinate the efforts of
    Volunteer Examiners in preparing and administering examinations for
    amateur radio operator licenses, or are additional VECs needed?

    * What needs are currently being met, and which needs, if any, are
    not?

    * If the FCC were to allow additional VECs, how many more would be
    needed to satisfy existing Amateur Radio Service license examination
    needs? (The FCC indicated that it will likely cap the number of
    additional VECs at five.)

    * Given that VECs use a collaborative process to create examination
    question pools and volunteer examination administration protocols,
    would additional VECs enhance or hinder this process?

    * How would increasing the number of VECs address the unmet needs,
    if any, of the amateur radio community, and what obstacles or
    complications could result from increasing the number of VECs?

    Interested parties may file short comments on WT Docket No. 21-2 via
    the FCC's Electronic Comment Filing Service (Express) at, https://www.fcc.gov/ecfs/filings/express .

    Visit the FCC's "How to Comment on FCC Proceedings" page for
    information on filing extended comments at, https://www.fcc.gov/consumers/guides/how-comment .
    NNNN
    /EX
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