Xref: news.cs.tut.fi rec.radio.amateur.misc:45242 rec.radio.info:3686 Newsgroups: rec.radio.amateur.misc,rec.radio.info,sbay.hams Path: news.cs.tut.fi!news.funet.fi!sunic!EU.net!howland.reston.ans.net!vixen.cso.uiuc.edu!sdd.hp.com!decwrl!decwrl!netcomsv!netcom.com!marcbg From: marcbg@netcom.com (MB Grant) Subject: ARLB004 Licensing plan opposed Message-ID: <$arlb004.1994@ampr.org> Followup-To: rec.radio.amateur.misc Organization: NETCOM On-line Communication Services Distribution: na Date: Tue, 18 Jan 1994 16:42:00 GMT Approved: rec-radio-info@ve6mgs.ampr.ab.ca Lines: 51 SB QST @ ARL $ARLB004 ARLB004 Licensing plan opposed ZCZC AG68 QST de W1AW ARRL Bulletin 4 ARLB004 >From ARRL Headquarters Newington CT January 11, 1994 To all radio amateurs SB QST ARL ARLB004 ARLB004 Licensing plan opposed The ARRL has filed comments opposing an FCC proposal to grant immediate on-the-air privileges to amateur examinees before a license is issued by the Commission, preferring the early implementation of electronic filing as a better way to address the problem of excessive delays. The League said it stood by its comments already made, on a petition for rule making that resulted in the FCC's proposal, in PR Docket 93-267. The ARRL told the FCC that its Notice of Proposed Rule Making, issued November 4, did not seem to consider the League's comments made last summer. At that time, the ARRL said in response to a petition by the Western Carolina Amateur Radio Society-VEC that such a system was both unlawful and a would be detrimental to enforcement. The League said that the FCC had, as recently as 1987, denied such a concept and that the absence of an up-to-date database of such temporary call signs would make both self-regulation by amateurs themselves and rules enforcement by the Commission more difficult. The League now has added that suggestions in the NPRM that precedents for such a plan exist in other services are incorrect; has reiterated its opinion that such a plan is inconsistent with the international radio regulations; and has emphasized that electronic filing of applications with the FCC would accomplish the same goal, of reducing the wait to get on the air, while maintaining total FCC oversight of licensing. The reply comment date for this proposal is February 10, 1994. NNNN /EX -- Marc B. Grant 214-231-3998 marcbg@netcom.com Amateur Radio N5MEI marcbg@esy.com Richardson, TX