[arrl-odv:18817] American Hospital Association Blanket Waiver of Section 97.113 -- as-filed ARRL comments

Easter Greetings. Today, following review by the Executive Committee, I have filed the attached comments for ARRL in response to the FCC public notice in WP Docket 10-54. These comments are perhaps more involved than what might normally be called for in a waiver proceeding, but this waiver might well be a precursor to the action that the Commission will take in Docket 10-72, the Section 97.113(a)(3) revision docket. So, we wanted to very aggressively assert the Board's language for 97.113 as a specific condition on this waiver - a "pre-sell," if you will. We have been in touch with AHA's attorneys and they have assured us that their intention is entirely consistent with the Board's proposed wording. I have nothing in writing to that effect though, so their comments will bear careful review. Reply comments, if any, are due April 19, so we will keep our eyes open after today for comments, especially those of AHA. Thanks for helpful edits on this to IVP Bellows and EVP Sumner. 73, Chris W3KD Christopher D. Imlay Booth, Freret, Imlay & Tepper. P.C. 14356 Cape May Road Silver Spring, Maryland 20904-6011 (301) 384-5525 telephone (301) 384-6384 facsimile W3KD@ARRL.ORG =
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Chris Imlay