From: RST Engineering on Sep 14, 2:25 pm
I'm just not "in the know". Why would or would not the FCC consider all
comments, and what is an "FR Notice"? To be sure of being heard, can we
repost what we posted prior to the FR Notice?
"FR Notice" is Federal Register Notice. All announcements, news,
notices, laws enacted, etc., by any federal agency is printed in
there...every working day by the Government Printing Office (GPO).
If you look at the lower part of the Title of NPRM 05-143 you
will see that the "Comment period begins when printed in the
Federal Register" and then extends until N number of days after
that notice. 60 days for Comments and 75 days for Replies to
Comments.
The first filed comment on WT Docket 05-235 appeared on 20 July.
The NPRM itself was inserted by the FCC on 21 July but they
moved it to 15 July the next day. You can see the time-stamp
of the ECFS on the 15 July filing (which is larger in file
size than the direct-downloadable NPRM PDF file version because
it is a scanned paper image).
The Notice on NPRM 05-143 did not appear in the Federal Register
until 31 August. When it did, the Notice added the official
cutoff date of Comments as 31 October with cutoff of Replies to
Comments as 14 November. The period between 15 July and 31
August is roughly six weeks. So, for six weeks there's about
2000 Comments filed which were done BEFORE the Notice in the
Federal Register.
You are free to post anything you want in the ECFS. If the FCC
doesn't like it for any reason, then they probably won't let it
be on the ECFS. About half of the "Indeterminates" are so
categorized because they go into some kind of argument/diatribe
NOT directly attributable to the NPRM; the NPRM is ONLY about
the elimination or retention of the code test.
Some individuals have posted MORE than once such as surname
Garcell with over 14 "For" Comments and surname Sparks with
over 5 "Against" Comments. I don't know what the FCC will do
with those. I put duplicates in the "Indeterminate" category
because all I'm doing is getting some insight on the opinions
of all those who Comment.
So far, in the first two months of Comment, the number of
filings exceed all of those posted on WT Docket 98-143 on
Restructuring (roughly 10 months total from release of that
NPRM and official - extended twice - cutoff date of
15 Jan 99). If elimination goes through as an R&O it will be
of greater impact on the immediate future of United States
amateur radio than did R&O 99-412 on restructuring.