FCC Record, Volume 27, No. 7, Pages 5674 to 6652, May 23 - June 15, 2012 Page: 5,696
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that a Covered Employee must follow to ensure that Licensee-Conducted contests will not result
in a violation of the Commission's Laws regarding Licensee-Conducted contests. At a minimum,
the Compliance Checklist shall require at all times that at least two station employees, one of
which shall be a management-level employee, be involved in all aspects of the selection of
winners and the award of prizes to participants in Licensee-Conducted contests.
b. Compliance Manual. Within sixty (60) calendar days after the Effective Date, the
Compliance Officer shall develop and distribute a Compliance Manual to all Covered Employees.
The Compliance Manual shall explain Section 508 of the Act and the Licensee-Conducted
Contest Rule, and set forth the Operating Procedures that Covered Employees shall follow to help
ensure Fisher's compliance with the Communications Laws. Fisher shall periodically review and
revise the Compliance Manual as necessary to ensure that the information set forth therein
remains current and complete. Fisher shall distribute any revisions to the Compliance Manual
promptly to all Covered Employees.
c. Compliance Training Program. Fisher shall establish and implement a Compliance
Training Program on compliance with Section 508 of the Act, the Licensee-Conducted Contest
Rule and the Operating Procedures. As part of the Compliance Training Program, Covered
Employees shall be advised of Fisher's obligation to report any noncompliance with Section 508
of the Act or the Licensee-Conducted Contest Rule under paragraph I1 of this Consent Decree
and shall be instructed on how to disclose noncompliance to the Compliance Officer. All
Covered Employees shall be trained pursuant to the Compliance Training Program within ninety
(90) calendar days after the Effective Date, except that any person who becomes a Covered
Employee at any time after the Effective Date shall be trained within thirty (30) calendar days
after the date such person becomes a Covered Employee. Fisher shall repeat the compliance
training on an annual basis, and shall periodically review and revise the Compliance Training
Program as necessary to ensure that it remains current and complete and to enhance its
10. Reportin Noncompliance. Fisher shall report any noncompliance with Section 508 of
the Act, the Licensee-Conducted Contest Rule, and with the terms and conditions of this Consent Decree
within thirty (30) calendar days after discovery of such noncompliance. Such reports shall include a
detailed explanation of (i) each instance of noncompliance; (ii) the steps that Fisher has taken or will take
to remedy such noncompliance; (iii) the schedule on which such remedial actions will be taken; and (iv)
the steps that Fisher has taken or will take to prevent the recurrence of any such noncompliance. All
reports of noncompliance shall be submitted to the Chief, Investigations and Hearings Division,
Enforcement Bureau, Federal Communications Commission, Room 4-C330, 445 12th Street, S.W.,
Washington, D.C. 20554, with a copy submitted electronically to Theresa Z. Cavanaugh at
Terry.Cavanaughtfcc.gov, Jeffrey J. Gee at JefTre.Gee tfcc. go,, Kenneth M. Scheibel, Jr. at
Kenneth.Scheibel fcc.gov, and to Amelia Brown at Amelha.Brown(.c-fc.gov. The reporting obligations
set forth in this paragraph 11 shall expire thirty-six (36) months after the Effective Date.
11. Compliance Reports. Fisher shall file Compliance Reports with the Commission ninety
(90) days after the Effective Date, twelve (12) months after the Effective Date, twenty-four (24) months
after the Effective Date, and thirty six (36) months after the Effective Date.
a. Each compliance report shall include a detailed description of Fisher's efforts during the
relevant period to comply with the terms and conditions of this Consent Decree, Section 508 of
the Act, and the Licensee-Conducted Contest Rule. In addition, each Compliance Report shall
include a certification by the Compliance Officer, as an agent of and on behalf of Fisher, stating
that the Compliance Officer has personal knowledge that Fisher (i) has established and
implemented the Compliance Plan; (ii) has utilized the Operating Procedures since the
implementation of the Compliance Plan; and (iii) is not aware of any instances of noncompliance
Federal Commu ica in Cnmmicin
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United States. Federal Communications Commission. FCC Record, Volume 27, No. 7, Pages 5674 to 6652, May 23 - June 15, 2012, book, June 2012; Washington D.C.. (digital.library.unt.edu/ark:/67531/metadc111171/m1/39/: accessed April 26, 2017), University of North Texas Libraries, Digital Library, digital.library.unt.edu; crediting UNT Libraries Government Documents Department.