FEDERAL COMMUNICATIONS COMMISSION WASHINGTON O FF IC E O F TH E C H AIRMAN The Honorable Barbara Mikulski United States Senate 503 Hart Senate Office Building Washington, D.C. 20510 Dear Senator Mikulski: July 22, 2014 Thank you for your letter expressing concerns regarding the Commission's March 31, 2014, action to attribute certain Joint Sales Agreements (JSAs) between television stations. I appreciate the opportunity to provide you with some additional context for the decision. Our action should not have been a surprise to the industry. Stations have been on notice of potential regulatory action on JSAs since 2004 when the Commission first started a proceeding proposing to attribute JSAs where one station sells 15 percent or more of the weekly advertising time on behalf of another station in the same market. The concern then- as it is today- was that the use of such JSAs provides the incentive and potential to unduly influence the core operating functions of the brokered station, including programming decisions. In finalizing our decision, we sought additional comment in the 2010 Quadrennial Review on these issues and also considered the evidence from our license transfer application process, where we have reviewed an increasing number of JSAs in recent years. These JSAs have generally involved the sale of 100 percent of the advertising time of the brokered station in conjunction with a number of other operational and fmancial arrangements between the stations. It is also clear that in many instances such arrangements reduce or homogenize local news. The existing agreements between stations cited in your letter are the result of a business practice that evolved to circumvent the Commission's local TV ownership rules that promote competition and viewpoint diversity by restricting the common-ownership of more than one station in small and medium-sized markets . Our action was necessary to close this loophole in the rules and enforce the restrictions we have on the books. The adoption of the new JSA attribution rules will require adjustment for some stations in the industry, which is why we allowed a two-year period for stations to come into compliance from the effective date of the rules. I do recognize that there could be some exceptions where attributing a JSA for purposes of our ownership rules could be in the public interest, which is why we adopted an expedited waiver process. I believe that adopting the rule with a waiver process will better protect competition, localism, and diversity than merely grandfathering existing agreements. I agree with you that the Commission should- and will- look to all of the facts presented in a waiver request, including the impact of the JSA on the ability of the brokered station to continue to serve Page 2 - The Honorable Barbara Mikulski their communities. I encourage any station that believes its existing JSA is in the public interest to file a waiver request early in this period. For stations that have pending license transfer applications that involve JSAs, Shared Services Agreements (SSAs), and other fmancial agreements, the Media Bureau is actively working with the parties to discuss possible amendments to those applications, where necessary. I strongly support the close scrutiny that the Bureau must apply to ensure that these proposed agreements do not result in undue influence or control. Since mid-March, the Bureau has granted 50 full-power television assignment and transfer of control applications, which represent 20 separate transactions. The Bureau staff will continue to process other pending applications. I hope this information is helpful. Tom Wheeler FEDERAL COMMUNICATIONS COMMISSION WASHINGTON O F FI C E O F T H E C H AIRMAN The Honorable Charles Schumer United States Senate 313 Hart Senate Office Building Washington, D.C. 20510 Dear Senator Schumer: July 22, 2014 Thank you for your letter expressing concerns regarding the Commission' s March 31 , 2014, action to attribute certain Joint Sales Agreements (JSAs) between television stations. I appreciate the opportunity to provide you with some additional context for the decision. Our action should not have been a surprise to the industry. Stations have been on notice of potential regulatory action on JSAs since 2004 when the Commission first started a proceeding proposing to attribute JSAs where one station sells 15 percent or more of the weekly advertising time on behalf of another station in the same market. The concern then- as it is today- was that the use of such JSAs provides the. incentive and potential to unduly influence the core operating functions of the brokered station, including programming decisions. In fmalizing our decision, we sought additional comment in the 2010 Quadrennial Review on these issues and also considered the evidence from our license transfer application process, where we have reviewed an increasing number of JSAs in recent years . These JSAs have generally involved the sale of 100 percent of the advertising time of the brokered station in conjunction with a number of other operational and fmancial arrangements between the stations. It is also clear that in many instances such arrangements reduce or homogenize local news. The existing agreements between stations cited in your letter are the result of a business practice that evolved to circumvent the Commission's local TV ownership rules that promote competition and viewpoint diversity by restricting the common-ownership of more than one station in small and medium-sized markets . Our action was necessary to close this loophole in the rules and enforce the restrictions we have on the books. The adoption of the new JSA attribution rules will require adjustment for some stations in the industry, which is why we allowed a two-year period for stations to come into compliance from the effective date of the rules . I do recognize that there could be some exceptions where attributing a JSA for purposes of our ownership rules could be in the public interest, which is why we adopted an expedited waiver process. I believe that adopting the rule with a waiver process will better protect competition, localism, and diversity than merely grandfathering existing agreements . I agree with you that the Commission should - and will - look to all of the facts presented in a waiver request, including the impact of the JSA on the ability of the brokered station to continue to serve Page 2 - The Honorable Charles Schumer their communities. I encourage any station that believes its existing JSA is in the public interest to file a waiver request early in this period. For stations that have pending license transfer applications that involve JSAs, Shared Services Agreements (SSAs), and other fmancial agreements, the Media Bureau is actively working with the parties to discuss possible amendments to those applications, where necessary. I strongly support the close scrutiny that the Bureau must apply to ensure that these proposed agreements do not result in undue influence or control. Since mid-March, the Bureau has granted 50 full-power television assignment and transfer of control applications, which represent 20 separate transactions. The Bureau staff will continue to process other pending applications. I hope this information is helpful. Tom Wheeler FEDERAL COMMUNICATIONS COMMISSION WASHINGTON OFFIC E OF TH E C H AIRMAN The Honorable Ben Cardin United States Senate 509 Hart Senate Office Building Washington, D.C. 20510 Dear Senator Cardin: July 22, 20 14 Thank you for your letter expressing concerns regarding the Commission' s March 31, 2014, action to attribute certain Joint Sales Agreements (JSAs) between television stations. I appreciate the opportunity to provide you with some additional context for the decision. Our action should not have been a surprise to the industry. Stations have been on notice of potential regulatory action on JSAs since 2004 when the Commission first started a proceeding proposing to attribute JSAs where one station sells 15 percent or more of the weekly advertising time on behalf of another station in the same market. The concern then- as it is today - was that the use of such JSAs provides the incentive and potential to unduly influence the core operating functions of the brokered station, including programming decisions. In fmalizing our decision, we sought additional comment in the 2010 Quadrennial Review on these issues and also considered the evidence from our license transfer application process, where we have reviewed an increasing number of JSAs in recent years . These JSAs have generally involved the sale of 100 percent of the advertising time of the brokered station in conjunction with a number of other operational and fmancial arrangements between the stations. It is also clear that in many instances such arrangements reduce or homogenize local news. The existing agreements between stations cited in your letter are the result of a business practice that evolved to circumvent the Commission's local TV ownership rules that promote competition and viewpoint diversity by restricting the common-ownership of more than one station in small and medium-sized markets. Our action was necessary to close this loophole in the rules and enforce the restrictions we have on the books. The adoption of the new JSA attribution rules will require adjustment for some stations in the industry, which is why we allowed a two-year period for stations to come into compliance from the effective date of the rules . I do recognize that there could be some exceptions where attributing a JSA for purposes of our ownership rules could be in the public interest, which is why we adopted an expedited waiver process. I believe that adopting the rule with a waiver process will better protect competition, localism, and diversity than merely grandfathering existing agreements. I agree with you that the Commission should- and will- look to all of the facts presented in a waiver request, including the impact of the JSA on the ability of the brokered station to continue to serve Page 2 - The Honorable Ben Cardin their communities. I encourage any station that believes its existing JSA is in the public interest to file a waiver request early in this period. For stations that have pending license transfer applications that involve JSAs, Shared Services Agreements (SSAs), and other fmancial agreements, the Media Bureau is actively working with the parties to discuss possible amendments to those applications, where necessary. I strongly support the close scrutiny that the Bureau must apply to ensure that these proposed agreements do not result in undue influence or control. Since mid-March, the Bureau has granted 50 full-power television assignment and transfer of control applications, which represent 20 separate transactions. The Bureau staff will continue to process other pending applications. I hope this information is helpful. Tom Wheeler OFFICE OF THE CHAIR MAN The Honorable Bob Casey United States Senate FEDERAL COMMUNICATIONS COMMISSION WASHINGTON July 22, 2014 393 Russell Senate Office Building Washington, D.C. 20510 Dear Senator Casey: Thank you for your letter expressing concerns regarding the Commission's March 31, 2014, action to attribute certain Joint Sales Agreements (JSAs) between television stations. I appreciate the opportunity to provide you with some additional context for the decision. Our action should not have been a surprise to the industry. Stations have been on notice of potential regulatory action on JSAs since 2004 when the Commission first started a proceeding proposing to attribute JSAs where one station sells 15 percent or more of the weekly advertising time on behalf of another station in the same market. The concern then- as it is today- was that the use of such JSAs provides the incentive and potential to unduly influence the core operating functions of the brokered station, including programming decisions. In fmalizing our decision, we sought additional comment in the 2010 Quadrennial Review on these issues and also considered the evidence from our license transfer application process, where we have reviewed an increasing number of JSAs in recent years. These JSAs have generally involved the sale of 100 percent of the advertising time of the brokered station in conjunction with a number of other operational and fmancial arrangements between the stations. It is also clear that in many instances such arrangements reduce or homogenize local news. The existing agreements between stations cited in your letter are the result of a business practice that evolved to circumvent the Commission's local TV ownership rules that promote competition and viewpoint diversity by restricting the common-ownership of more than one station in small and medium-sized markets. Our action was necessary to close this loophole in the rules and enforce the restrictions we have on the books. The adoption of the new JSA attribution rules will require adjustment for some stations in the industry, which is why we allowed a two-year period for stations to come into compliance from the effective date of the rules. I do recognize that there could be some exceptions where attributing a JSA for purposes of our ownership rules could be in the public interest, which is why we adopted an expedited waiver process. I believe that adopting the rule with a waiver process will better protect competition, localism, and diversity than merely grandfathering existing agreements. I agree with you that the Commission should- and will- look to all of the facts presented in a waiver request, including the impact of the JSA on the ability of the brokered station to continue to serve Page 2- The Honorable Bob Casey their communities. I encourage any station that believes its existing JSA is in the public interest to file a waiver request early in this period. For stations that have pending license transfer applications that involve JSAs, Shared Services Agreements (SSAs), and other fmancial agreements, the Media Bureau is actively working with the parties to discuss possible amendments to those applications, where necessary. I strongly support the close scrutiny that the Bureau must apply to ensure that these proposed agreements do not result in undue influence or control. Since mid-March, the Bureau has granted 50 full-power television assignment and transfer of control applications, which represent 20 separate transactions. The Bureau staff will continue to process other pending applications. I hope this information is helpful. Sincerely, FEDERAL COMMUNICATIONS COMMISSION WASHINGTON OFFICE OF THE C H AIRMAN The Honorable Kirsten Gillibrand United States Senate 478 Russell Senate Office Buildin Washington, D.C. 20510 Dear Senator Gillibrand: July 22, 2014 Thank you for your letter expressing concerns regarding the Commission's March 31 , 2014, action to attribute certain Joint Sales Agreements (JSAs) between television stations. I appreciate the opportunity to provide you with some additional context for the decision. Our action should not have been a surprise to the industry. Stations have been on notice of potential regulatory action on JSAs since 2004 when the Commission first started a proceeding proposing to attribute JSAs where one station sells 15 percent or more of the weekly advertising time on behalf of another station in the same market. The concern then- as it is today - was that the use of such JSAs provides the incentive and potential to unduly influence the core operating functions of the brokered station, including programming decisions. In fmalizing our decision, we sought additional comment in the 2010 Quadrennial Review on these issues and also considered the evidence from our license transfer application process, where we have reviewed an increasing number of JSAs in recent years . These JSAs have generally involved the sale of 100 percent of the advertising time of the brokered station in conjunction with a number of other operational and fmancial arrangements between the stations. It is also clear that in many instances such arrangements reduce or homogenize local news. The existing agreements between stations cited in your letter are the result of a business practice that evolved to circumvent the Commission's local TV ownership rules that promote competition and viewpoint diversity by restricting the common-ownership of more than one station in small and medium-sized markets. Our action was necessary to close this loophole in the rules and enforce the restrictions we have on the books. The adoption of the new JSA attribution rules will require adjustment for some stations in the industry, which is why we allowed a two-year period for stations to come into compliance from the effective date of the rules. I do recognize that there could be some exceptions where attributing a JSA for purposes of our ownership rules could be in the public interest, which is why we adopted an expedited waiver process. I believe that adopting the rule with a waiver process will better protect competition, localism, and diversity than merely grandfathering existing agreements. I agree with you that the Commission should- and will- look to all of the facts presented in a waiver request, including the impact of the JSA on the ability of the brokered station to continue to serve Page 2 - The Honorable Kirsten Gillibrand their communities. I encourage any station that believes its existing JSA is in the public interest to file a waiver request early in this period. For stations that have pending license transfer applications that involve JSAs, Shared Services Agreements (SSAs), and other fmancial agreements, the Media Bureau is actively working with the parties to discuss possible amendments to those applications, where necessary . I strongly support the close scrutiny that the Bureau must apply to ensure that these proposed agreements do not result in undue influence or control. Since mid-March, the Bureau has granted 50 full-power television assignment and transfer of control applications, which represent 20 separate transactions. The Bureau staff will continue to process other pending applications . I hope this information is helpful. F E DERAL COMMUNICATIONS COMMISSI ON WASHINGTON OFF"ICE OF THE CHAIR M AN The I Jonorable Barbara A. Mikulski United States Senate 503 Hart Senate Office Building Washington, D.C. 20510 Dear enator Mikulski: August 1, 20 14 When we met last week, you impressed on me your commitment to ensuring the economic viability of local broadcast television services, which serve a vital role in providing Americans with local news programming and information gathering, including public safety and severe weather warnings. I found our discussion tremendously helpful and appreciated the opportunity to discuss what the Commission can do to assure the continued viability of local broadcast television. You raised special concerns as to whether the Commission' s recent actions regarding so­ called Joint Sales Agreements (JSAs) run counter to that goal. I am sensitive to those concerns and recognize your point that such arrangements, appropriately executed and seeped, can help stations achieve efficiencies without running afoul of our rules. Unfortunately, there is irrefutable record evidence that in many cases these JSAs, particularly when combined with other sharing agreements and complex financial arrangements, have been used by some to circumvent the Commission's long-standing local ownership rules that in most circumstances limit ownership to one television station per market. This undermines the Commission 's cornerstone goal ­ outlined in statute and in our rules - to promote competition, diversity, and localism. Overall, the economic health of the local broadcasting industry is actually robust. According to SNL Kagan, local broadcast station industry revenues were estimated at $24.2 billion in 2013, an 11.8 percent increase from the estimated $21 .6 billion reported in 2011. Last year' s revenue remained relatively steady from 2012 ($24.6 billion), when revenues increased due to election year advertising and NBC af(iliates' Olympic advertising revenues. See SNL Kagan, Total TV Station Industry Revenue Projections, Feb. 12, 2014. Specifically, retransmission consent revenues continue to grow: from $1.8 billion in 20 II to $2.4 billion in 2012, with a reported $3.3 billion in 2013 . See SNL Kagan, Economics of Broadcast TV Retransmission Revenue, May 14, 2014. Finally, while total advertising revenue declined by 7.5 percent to $20.5 billion in 2013 from the year before, that decline is attributable to additional election and Olympic advertising in 2012 when the industry saw total advertising revenues of$22.2 billion. See SNL Kagan, Radio & TV Ad Revenues 10-Year Projections, May 27, 2014. We realize that, on an individual level, economic realities may vary, particularly for stations in smaller markets. I think it is important to clarify that the new JSA attribution rule is Page 2 - The 1 Tonorable Barbara A. Mikulski not a total prohibition, but rather a balanced approach that places a limit on the total amount of advertising that one station can sell on behalf of another in the same market. Stations can have JSAs that are not attributable and be in compliance with the ownership rules. Additionally, the new rule does not impact in any way other sharing agreements that stations may have - such as sharing agreements for administrative functions or local news sharing - that may continue to provide smaller market stations with some increased efficiencies. We know all too well that there are always exceptions to any general rule. We have established a waiver process for just that reason and pledge to you that our waiver review will be conducted expeditiously and without bias. Specifically, as explained in our March 31, 2014, Order, such a waiver is available to stations when "the application of our attribution rules to their particular circumstances would not serve the pub I ic interest." See FCC 14-28 at~ 364. We further explained that a "waiver of the attribution rule could attempt to demonstrate that a particular television JSA in context - including any related agreements or interests - does not provide the brokering entity with the opportunity, ability, and incentive to exert significant influence over the programming or operations of the brokered station." !d. In other words, if the benefits of the JSA outweigh the harms identified by the Commission, we will permit new combinations in order to preserve the economic viability of the station and the benefits the station provides to the local community. Waiver of the attribution rule is not the only option for stations. They could seek a waiver of the local TV ownership rule if they believe application ofthat rule adversely affects competition, diversity and localism. Additionally, under the Commission's failing station waiver policy, an applicant can buy a second station or enter into a JSA by demonstrating that (1) one of the stations is either failed or failing; (2) the in-market buyer is the only reasonably available candidate willing and able to acquire and operate the station; and (3) selling the station to an out­ of-market buyer would result in an artificially depressed price. While stations have two years before they have to comply with the rule, to date, we have only received three waiver requests in conjunction with a pending license transfer application. We will act on those expeditiously. The Order directed the Media Bureau to complete its review within 90 days of the record closing on the application or request. You also expressed concern about why we did not exempt from the new rules the license transfer applications that were in process when the Order was adopted. With the December 2013 Gannett-Belo decision, the Commission interpreted its statutory public interest mandate to require that it give careful attention to the economic effects of, and the incentives created by, a proposed transaction, taken as a whole. We will continue to closely scrutinize transactions that create economic incentives that are inconsistent with the Act and our policies that favor competition, diversity, and localism. At the time the new JSA rule was adopted, there were 41 transactions pending before the Commission, and we have processed 17 of those. A list of transactions and their dispositions and/or status is provided in the attached charts. Of the transactions pending at the time of the new rule, eight contained proposed JSA arrangements, and the parties have been notified of their need to amend the applications to show financial independence. Two deals were restructured (Sinclair-AIIbritton and Gray-Hoake), two deals have pending waiver requests (Nexstar- Page 3 - The Honorable Barbara A. Mikulski Comcorp and Nexstar-Milton Grant), and one (Quincy-Granite) is evaluating its options. We have yet to receive a response from the remaining applicants with proposed JSAs. Finally, you expressed concern about smaller market television broadcasters in Maryland. The Salisbury, MD, Designated Market Area (DMA) is the only market that is wholly or partially in Maryland and outside of the top 50 OM As in the country. At this time, there is no current or proposed JSA for any stations in that DMA. I hope this information is helpful and look forward to continuing our discussion. ! Enclosures TRANSACTIONS GRANTED AFTER 3/31/14 Page 1 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App Status Action Date ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WCFT-TV* TUSCALOOSA AL GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WJSU-TV* ANNISTON AL GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP KATV LITTLE ROCK AR GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WJLA-TV WASHINGTON DC GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP KTUL TULSA OK GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WHTM-TV** HARRISBURG PA GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WCIV* CHARLESTON SC GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WSET-TV LYNCHBURG VA GRANT 7/24/2014 FOX24 OF MACON LICENSE WGXA LICENSEE WGXA MACON GA GRANT 7/16/2014 RGV EDUCATIONAL BROADCASTING MBTV TEXAS VALLEY KMBH HARLINGEN TX GRANT 7/16/2014 CENTRAL OREGON CABLE ADVERTISING TDS BROADCASTING KOHD BEND OR GRANT 7/15/2014 KBMT LICENSE COMPANY KMOV-TV, INC. KBMT BEAUMONT TX GRANT 7/2/2014 KCEN LICENSE COMPANY KMOV-TV, INC. KCEN-TV TEMPLE TX GRANT 7/2/2014 KIDY/KXVA LICENSE COMPANY KMOV-TV, INC. KIDY SAN ANGELO TX GRANT 7/2/2014 KIII LICENSE COMPANY KMOV-TV, INC. KIII CORPUS CHRISTI TX GRANT 7/2/2014 KYTX LICENSE COMPANY KMOV-TV, INC. KYTX NACOGDOCHES TX GRANT 7/2/2014 GRAHAM HOLDINGS COMPANY BERKSHIRE HATHAWAY WPLG MIAMI FL GRANT 6/27/2014 SANDER OPERATING CO. II SAGAMOREHILL OF PHOENIX LICENSES KASW PHOENIX AZ GRANT 6/16/2014 SANDER OPERATING CO. II KPHO BROADCASTING CORPORATION KTVK PHOENIX AZ GRANT 6/16/2014 PABELLON EDUCATIONAL BROADCASTING SENDA EDUCATIONAL BROADCASTING WELU AGUADILLA PR GRANT 6/10/2014 VIRGIN BLUE LESEA BROADCASTING OF ST. CROIX WCVI-TV CHRISTIANSTED VI GRANT 6/10/2014 CONCILIO MISION CRISTIANA FUENTE DE AGUA VIVA WESTERN NEW LIFE WQHA AGUADA PR GRANT 5/30/2014 KEZI, INC. OREGON TV LICENSE COMPANY KEZI EUGENE OR GRANT 5/29/2014 SODA MOUNTAIN BROADCASTING OREGON TV LICENSE COMPANY KDRV MEDFORD OR GRANT 5/29/2014 COMPASS COMMUNICATIONS OF IDAHO ABRAHAM TELECASTING COMPANY KFXP POCATELLO ID GRANT 5/28/2014 NORMA J. LITTICK HENRY C. LITTICK WHIZ-TV ZANESVILLE OH GRANT 5/21/2014 KETCHIKAN TV DENALI MEDIA JUNEAU KUBD KETCHIKAN AK GRANT 5/15/2014 NEUHOFF FAMILY LIMITED PARTNERSHIP NEUHOFF MEDIA TWIN FALLS KMVT TWIN FALLS ID GRANT 5/15/2014 POWER TELEVISION INTERNATIONAL MAX MEDIA IV WMEI ARECIBO PR GRANT 5/6/2014 WKBW-TV LICENSE SCRIPPS MEDIA WKBW-TV BUFFALO NY GRANT 5/2/2014 WXON LICENSE SCRIPPS MEDIA WMYD DETROIT MI GRANT 5/2/2014 TRANSACTIONS GRANTED AFTER 3/31/14 Page 2 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App Status Action Date HOAK MEDIA NEXSTAR BROADCASTING KREX-TV GRAND JUNCTION CO GRANT 4/23/2014 HOAK MEDIA NEXSTAR BROADCASTING WMBB PANAMA CITY FL GRANT 4/23/2014 HOAK MEDIA GRAY TELEVISION GROUP KALB-TV ALEXANDRIA LA GRANT 4/3/2014 HOAK MEDIA GRAY TELEVISION GROUP KNOE-TV MONROE LA GRANT 4/3/2014 HOAK MEDIA GRAY TELEVISION GROUP KFYR-TV BISMARCK ND GRANT 4/3/2014 HOAK MEDIA GRAY TELEVISION GROUP KNOP-TV NORTH PLATTE NE GRANT 4/3/2014 MISSION TV GRAY TELEVISION GROUP KEVN-TV RAPID CITY SD GRANT 4/3/2014 * Per MB decision, station license will be turned in to FCC. ** Per MB decision, station will be sold to Media General. Pending Transfer Applications As of: 7.30.14 Page 3 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes Michael Anderson as Trustee of Cunningham Michael Anderson WDBB Bessemer AL Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WMYA-TV Anderson SC Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WNUV(TV) Baltimore MD Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WTTE(TV) Columbus OH Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WRGT-TV Dayton OH Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WTAT-TV Charleston SC Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WVAH-TV Charleston WV Pending Public Notice - 3/6/2013 Comcorp Nexstar WGMB-TV Baton Rouge LA Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KWKT-TV Waco TX Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KYLE-TV Brian TX Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KTSM-TV El Paso TX Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KVEO-TV Brownsville TX Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KETK-TV Jacksonville TX Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KADN-TV Lafayette LA Pending Public Notice - 5/8/2013 Amendment requested by MB. Pending Transfer Applications As of: 7.30.14 Page 4 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes Comcorp Nexstar WNTZ-TV Natchez MS Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Rocky Creek Communications WEVV-TV Evansville IN Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Rocky Creek Communications KSHV-TV Shreveport LA Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Mission KFXK-TV Longview TX Pending Public Notice- 5/8/2013 Comcorp/Nexstar/Mission sidecar transaction. Amendment requested by MB. Comcorp Mission WVLA-TV Baton Rouge LA Pending Public Notice- 5/8/2013 Comcorp/Nexstar/Mission sidecar transaction. Amendment requested by MB. New Age Cunningham Broadcasting Corp. WNBW-DT Gainesville FL Pending Public Notice - 9/30/2013 Sinclair/New Age sidecar sale to Cunningham. Amendment requested by MB. New Age Cunningham Broadcasting Corp. WSWB-TV Scranton PA Pending Public Notice - 9/30/2013 Sinclair/New Age sidecar sale to Cunningham. Amendment requested by MB. New Age Deerfield WTLF Tallahassee FL Pending Public Notice- 9/30/2013 Sinclair/New Age sidecar sale to Deerfield. Amendment requested by MB. New Age Sinclair WOLF-TV Hazelton PA Pending Public Notice - 9/30/2013 Sinclair/New Age main sale. New Age Sinclair WQMY (TV) Williamsport PA Pending Public Notice - 9/30/2013 Sinclair/New Age main sale. New Age Sinclair WTLH Bainbridge FL Pending Public Notice - 9/30/2013 Sinclair/New Age main sale. New Age Sinclair WGFL High Springs FL Pending Public Notice- 9/30/2013 Sinclair/New Age main sale. Stainless Broadcasting Mission WICZ-TV Binghampton NY Pending Public Notice - 10/18/2013 Nexstar/Mission sidecar singleton transaction. Amendment requested by MB. Channel 61 Associates Cross Hill Communications WNMN Saranac Lake NY Pending Public Notice - 11/22/2013 Petition to deny filed. Pending Transfer Applications As of: 7.30.14 Page 5 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes CMCG Portland License LLC Cunningham Broadcasting Corp. WPFO Waterville ME Pending Public Notice - 11/22/2013 Cunningham singleton sidecar transaction. Amendment requested by MB. Milton Grant Nexstar WZDX (TV) Huntsville AL Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. Milton Grant Nexstar WFXR Roanoake VA Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. Milton Grant Nexstar WWCW Lynchburg VA Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. Milton Grant Nexstar WGCW Burlington IA Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. Milton Grant Nexstar WLAX La Crosse WI Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. Milton Grant Nexstar WEUX Chippewa Falls WI Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. HITV Operating Co., Inc. Southeastern Media Holdings KFVE (TV) Honolulu HI Pending Public Notice - 11/25/2013 Raycom sidecar deal involving SSA (not involving JSA). Amendment requested by MB. Ruby Mountain Broadcasting, LLC Cunningham Broadcasting Corp. KENV (DT) Elko NV Pending Public Notice - 12/23/2013 Cunningham sidecar deal. Amendment requested by MB. Sierra Communications, LLC Cunningham Broadcasting Corp. KRNV-TV Reno NV Pending Public Notice - 12/23/2013 Cunningham sidecar deal. Amendment requested by MB. Parker Broadcasting Excalibur Broadcasting KXJB-TV Valley City ND Pending Public Notice - 12/27/2013 Parker (Hoak Sidecar) to Excalibur (Grey Sidecar). Awaiting action from applicants. Parker Broadcasting Excalibur Broadcasting KAQY-TV Columbia LA Pending Public Notice - 12/27/2013 Parker (Hoak Sidecar) to Excalibur (Grey Sidecar). Awaiting action from applicants. Cowles California Media Company VistaWest California KCOY Santa Maria CA Pending Public Notice - 1/16/2014 Amendment requested by MB. High Maintenance Broadcasting, LLC, Debtor in Possession Corpus 18, LLC KUQI Corpus Christi TX Pending Public Notice - 2/5/2014 Amendment requested by MB. Pending Transfer Applications As of: 7.30.14 Page 6 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes Hoake Media of Wichita Falls, LLC Gray Television KAUZ-TV Wichita Falls TX Pending Public Notice - 2/19/2014 Amendment requested by MB. Granite Broadcasting Corp. Quincy Newspaper, Inc. WPTA Ft. Wayne IN Pending Public Notice - 2/26/2014 Granite/Quincy main deal. Granite Broadcasting Corp. Quincy Newspaper, Inc. WBNG-TV Binghampton NY Pending Public Notice - 2/26/2014 Granite/Quincy main deal. Granite Broadcasting Corp. Quincy Newspaper, Inc. WEEK-TV Peoria IL Pending Public Notice - 2/26/2014 Granite/Quincy main deal. Granite Broadcasting Corp. Quincy Newspaper, Inc. KBJR-TV Superior WI Pending Public Notice - 2/26/2014 Granite/Quincy main deal. Granite Broadcasting Corp. Quincy Newspaper, Inc. KRII 9TV) Chisholm MN Pending Public Notice - 2/26/2014 Granite/Quincy main deal. Granite Broadcasting Corp. SagamoreHill KDLH Duluth MN Pending Public Notice - 2/26/2014 Granite/Quincy sidecar deal. Amendment requested by MB. Granite Broadcasting Corp. SagamoreHill WISE-TV Ft. Wayne IN Pending Public Notice - 2/26/2014 Granite/Quincy sidecar deal. Amendment requested by MB. LIN Broadcasting Media General KOIN (TV) Portland OR Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WIAT (TV) Birmingham AL Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KSNW (TV) Wichita KS Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KSNC (TV) Great Bend KS Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KSNG (TV) Garden City KS Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KSNK (TV) McCook NE Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. Pending Transfer Applications As of: 7.30.14 Page 7 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes LIN Broadcasting Media General KHON-TV Honolulu HI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KHAW-TV Hilo HI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KAII-TV Wailuku HI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WKBN-TV Youngstown OH Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KSNT (TV) Topeka KS Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KIMT (TV) Mason City IA Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WJCL (TV) Savannah GA Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WALA-TV Mobile AL Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WFNA (TV) Gulf Shores AL Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KREZ-TV Durango CO Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KRQE (TV) Albuquerque NM Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KBIM-TV Roswell NM Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KASA-TV Santa Fe NM Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WLUK-TV Green Bay WI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. Pending Transfer Applications As of: 7.30.14 Page 8 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes LIN Broadcasting Media General WCWF(TV) Suring WI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WISH-TV Indianapolis IN Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WNDY-TV Marion IN Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WANE-TV Ft. Wayne IN Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WTHI-TV Terre Haute IN Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KBVO (TV) Llano TX Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KXAN-TV Austin TX Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WLFI-TV Lafayette IN Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WPRI-TV Providence RI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WAVY-TV Portsmouth VA Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WVBT(TV) Virginia Beach VA Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WDTN(TV) Dayton OH Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WIVB-TV Buffalo NY Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WNLO(TV) Buffalo NY Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. Pending Transfer Applications As of: 7.30.14 Page 9 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes LIN Broadcasting Media General WOOD-TV Grand Rapids MI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WOTV (TV) Battle Creek MI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WCTX (TV) New Haven CT Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WTNH (TV) New Haven CT Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WWLP (TV) Springfield MA Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. Beartooth Communications Co. Gray Television KTVH-DT Helena MT Pending Public Notice - 5/21/2014 Amendment requested by MB. Rocky Mountain Broadcasting Co. Gray Television KMTF Helena MT Pending Public Notice - 5/23/2014 Amendment requested by MB. Comcorp Marshall KPEJ-TV Odessa TX Pending Public Notice - 6/11/2014 Comcorp/Nexstar/Marshall sidecar transaction. JSA Waiver Request filed. Amendment requested by MB. Comcorp Marshall KMSS-TV Shreveport LA Pending Public Notice - 6/11/2014 Comcorp/Nexstar/Marshall sidecar transaction. JSA Waiver Request filed. Amendment requested by MB. Milton Grant Marshall KLJB Davenport IA Pending Public Notice- 6/11/2014 Milton Grant/Nexstar/Marshall sidecar transaction. JSA Waiver Request filed. Amendment requested by MB. KMYA, LLC Rebel Media KMYA-DT Camden AR Pending Public Notice - 6/13/2014 WWAZ License LLC Caballero Acquisition WIWN Fond du Lac WI Pending Public Notice - 6/23/2014 Gormally Broadcasting Licenses Meredith Corp. WGGB-TV Springfield MA Pending Public Notice - 6/23/2014 Harrisburg Television Media General WHTM-TV Harrisburg PA Pending Public Notice - 7/1/2014 Pending Transfer Applications As of: 7.30.14 Page 10 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes Fox Television Stations KTVU, LLC WHBQ-TV Memphis TN Pending Public Notice - 7/8/2014 KTVU, LLC Fox Television Stations KTVU Oakland CA Pending Public Notice - 7/8/2014 FEDERAL COMMUNICATIONS COMMISSION WASHINGTON OFFICE OF THE C H AIRM AN The llonorable Charles E. Schumer United States Senate 313 I !art Senate Office Building Washington, D.C. 20510 Dear Senator Schumer: August l, 2014 When we met last week, you impressed on me your commitment to ensuring the economic viability of local broadcast television services, which serve a vital role in providing Americans with local news programming and information gathering, including public safety and severe weather warnings. 1 found our discussion tremendously helpful and appreciated the opportunity to discuss what the Commission can do to assure the continued viability of local broadcast television. You raised special concerns as to whether the Commission's recent actions regarding so­ called Joint Sales Agreements (JSAs) run counter to that goal. I am sensitive to those concerns and recognize your point that such arrangements, appropriately executed and scoped, can help stations achieve efficiencies without running afoul of our rules. Unfortunately, there is irrefutable record evidence that in many cases these JSAs, particularly when combined with other sharing agreements and complex financial arrangements, have been used by some to circumvent the Commission's long-standing local ownership rules that in most circumstances limit ownership to one television station per market. This undermines the Commission's cornerstone goal ­ outlined in statute and in our rules - to promote competition, diversity, and localism. Overall, the economic health of the local broadcasting industry is actually robust. According to SNL Kagan, local broadcast station industry revenues were estimated at $24.2 billion in 2013, an 11.8 percent increase from the estimated $21.6 billion reported in 2011. Last year's revenue remained relatively steady from 201 2 ($24.6 billion), when revenues increased due to election year advertising and NBC affiliates' Olympic advertising revenues. See SNL Kagan, Total TV Station Industry Revenue Projections, Feb. 12,20 14. Specifically, retransmission consent revenues continue to grow: from $1.8 billion in 201 1 to $2.4 billion in 20 12, with a reported $3.3 billion in 20 13. See SNL Kagan, Economics of Broadcast TV Retransmission Revenue, May 14,2014. Finally, while total advertising revenue declined by 7.5 percent to $20.5 billion in 2013 from the year before, that decline is attributable to additional election and Olympic advertising in 2012 when the industry saw total advertising revenues of$22.2 billion. See SNL Kagan, Radio & TV Ad Revenues 10-Year Projections, May 27,2014. We realize that, on an individual level, economic realities may vary, particularly for stations in smaller markets. I think it is important to clarify that the new JSA attribution rule is Page 2 The Honorable Charles E. Schumer not a total prohibition, but rather a balanced approach that places a limit on the total amount of advertising that one station can sell on behalf of another in the same market. Stations can have JSAs that are not attributable and be in compliance with the ownership rules. Additionally, the new rule does not impact in any way other sharing agreements that stations may have - such as sharing agreements for administrative functions or local news sharing - that may continue to provide smaller market stations with some increased efficiencies. We know all too well that there are always exceptions to any general rule. We have established a waiver process for just that reason and pledge to you that our waiver review will be conducted expeditiously and without bias. Specifically, as explained in our March 31, 2014, Order, such a waiver is available to stations when "the application of our attribution rules to their particular circumstances would not serve the public interest." See FCC 14-28 at~ 364. We further explained that a "waiver of the attribution rule could attempt to demonstrate that a particular television JSA in context - including any related agreements or interests - docs not provide the brokering entity with the opportunity, ability, and incentive to exert significant influence over the programming or operations of the brokered station." ld. In other words, if the benefits of the JSA outweigh the harms identified by the Commission, we will permit new combinations in order to preserve the economic viability of the station and the benefits the station provides to the local community. Waiver of the attribution rule is not the only option for stations. They could seek a waiver ofthe local TV ownership rule if they believe application of that rule adversely affects competition, diversity and localism. Additionally, under the Commission's failing station waiver policy, an applicant can buy a second station or enter into a JSA by demonstrating that ( 1) one of the stations is either failed or failing; (2) the in-market buyer is the only reasonably available candidate willing and able to acquire and operate the station; and (3) selling the station to an out­ of-market buyer would result in an artificially depressed price. While stations have two years before they have to comply with the rule, to date, we have only received three waiver requests in conjunction with a pending license transfer application. We will act on those expeditiously. The Order directed the Media Bureau to complete its review within 90 days of the record closing on the application or request. You also expressed concern about why we did not exempt from the new rules the license transfer applications that were in process when the Order was adopted. With the December 2013 Gannett-Bclo decision, the Commission interpreted its statutory public interest mandate to require that it give careful attention to the economic effects of, and the incentives created by, a proposed transaction, taken as a whole. We will continue to closely scrutinize transactions that create economic incentives that are inconsistent with the Act and our policies that favor competition, diversity, and localism. At the time the new JSA rule was adopted, there were 41 transactions pending before the Commission, and we have processed 17 of those. A list of transactions and their dispositions and/or status is provided in the attached charts. Of the transactions pending at the time of the new rule, eight contained proposed JSA arrangements, and the parties have been notified of their need to amend the applications to show financial independence. Two deals were restructured (Sinclair-AIIbritton and Gray-Iloake), two deals have pending waiver requests (Nexstar- Page 3 - The I Ionorable Charles E. chumer Comcorp and Nexstar-Milton Grant), and one (Quincy-Granite) is evaluating its options. We have yet to receive a response from the remaining applicants with proposed JSAs. Finally, you expressed concern about smaller market television broadcasters in New York. There arc nine Designated Market Areas (DMAs) that are wholly or partially in New York and outside of the top 50 markets in the nation. Of those, there are five JSAs in place, with one proposed JSA that is part of a pending proceeding. See the chart below for specifics: Non-Top SO DMAs in New York DMA DMA Rank JSA Status Buffalo, NY 52 No current or proposed JSA Albany-Schenectady- 58 Through an existing JSA, WTEN (Media General) brokers Troy, NY the advertising time for WXXA-TV (Shield Media). Rochester, NY 78 Through an existing JSA, WUHF (Sinclair) brokers the advertising time for WHAM-TV (Deerfield) Syracuse, NY 85 Through an existing JSA, WSTM-TV (Granite) brokers the advertising time for WTVH (Barrington) Burlington, 98 Through an existing JSA, WFFX (Nexstar) brokers the VT/Piattsburgh, NY advertising time for WVNY (Mission) Binghamton, NY 155 Under a proposed JSA, WIVT (Nexstar) would broker the advertising time for WICZ-TV (Mission) Utica, NY 171 Through an existing JSA, WFXV (Nexstar) brokers the advertising time for WUTR-TV (Mission) Elmira, NY 174 No current or proposed JSA Watertown, NY 176 No current or proposed JSA As noted earlier, the goal of our rule is to close the loophole being exploited by some broadcasters to circumvent the ownership rules. If the ex isting or proposed JSAs would be attributable under our new rules, the stations have several options to seek a waiver from the Commission. One avenue would be to demonstrate how the JSA furthers the Commission 's goals of competition, diversity and localism. The other option would be to apply for a failing station waiver. I hope thi s information is helpful and look forward to c ntinuing our discussion. Enclosures TRANSACTIONS GRANTED AFTER 3/31/14 Page 1 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App Status Action Date ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WCFT-TV* TUSCALOOSA AL GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WJSU-TV* ANNISTON AL GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP KATV LITTLE ROCK AR GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WJLA-TV WASHINGTON DC GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP KTUL TULSA OK GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WHTM-TV** HARRISBURG PA GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WCIV* CHARLESTON SC GRANT 7/24/2014 ALLBRITTON COMMUNICATIONS SINCLAIR TELEVISION GROUP WSET-TV LYNCHBURG VA GRANT 7/24/2014 FOX24 OF MACON LICENSE WGXA LICENSEE WGXA MACON GA GRANT 7/16/2014 RGV EDUCATIONAL BROADCASTING MBTV TEXAS VALLEY KMBH HARLINGEN TX GRANT 7/16/2014 CENTRAL OREGON CABLE ADVERTISING TDS BROADCASTING KOHD BEND OR GRANT 7/15/2014 KBMT LICENSE COMPANY KMOV-TV, INC. KBMT BEAUMONT TX GRANT 7/2/2014 KCEN LICENSE COMPANY KMOV-TV, INC. KCEN-TV TEMPLE TX GRANT 7/2/2014 KIDY/KXVA LICENSE COMPANY KMOV-TV, INC. KIDY SAN ANGELO TX GRANT 7/2/2014 KIII LICENSE COMPANY KMOV-TV, INC. KIII CORPUS CHRISTI TX GRANT 7/2/2014 KYTX LICENSE COMPANY KMOV-TV, INC. KYTX NACOGDOCHES TX GRANT 7/2/2014 GRAHAM HOLDINGS COMPANY BERKSHIRE HATHAWAY WPLG MIAMI FL GRANT 6/27/2014 SANDER OPERATING CO. II SAGAMOREHILL OF PHOENIX LICENSES KASW PHOENIX AZ GRANT 6/16/2014 SANDER OPERATING CO. II KPHO BROADCASTING CORPORATION KTVK PHOENIX AZ GRANT 6/16/2014 PABELLON EDUCATIONAL BROADCASTING SENDA EDUCATIONAL BROADCASTING WELU AGUADILLA PR GRANT 6/10/2014 VIRGIN BLUE LESEA BROADCASTING OF ST. CROIX WCVI-TV CHRISTIANSTED VI GRANT 6/10/2014 CONCILIO MISION CRISTIANA FUENTE DE AGUA VIVA WESTERN NEW LIFE WQHA AGUADA PR GRANT 5/30/2014 KEZI, INC. OREGON TV LICENSE COMPANY KEZI EUGENE OR GRANT 5/29/2014 SODA MOUNTAIN BROADCASTING OREGON TV LICENSE COMPANY KDRV MEDFORD OR GRANT 5/29/2014 COMPASS COMMUNICATIONS OF IDAHO ABRAHAM TELECASTING COMPANY KFXP POCATELLO ID GRANT 5/28/2014 NORMA J. LITTICK HENRY C. LITTICK WHIZ-TV ZANESVILLE OH GRANT 5/21/2014 KETCHIKAN TV DENALI MEDIA JUNEAU KUBD KETCHIKAN AK GRANT 5/15/2014 NEUHOFF FAMILY LIMITED PARTNERSHIP NEUHOFF MEDIA TWIN FALLS KMVT TWIN FALLS ID GRANT 5/15/2014 POWER TELEVISION INTERNATIONAL MAX MEDIA IV WMEI ARECIBO PR GRANT 5/6/2014 WKBW-TV LICENSE SCRIPPS MEDIA WKBW-TV BUFFALO NY GRANT 5/2/2014 WXON LICENSE SCRIPPS MEDIA WMYD DETROIT MI GRANT 5/2/2014 TRANSACTIONS GRANTED AFTER 3/31/14 Page 2 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App Status Action Date HOAK MEDIA NEXSTAR BROADCASTING KREX-TV GRAND JUNCTION CO GRANT 4/23/2014 HOAK MEDIA NEXSTAR BROADCASTING WMBB PANAMA CITY FL GRANT 4/23/2014 HOAK MEDIA GRAY TELEVISION GROUP KALB-TV ALEXANDRIA LA GRANT 4/3/2014 HOAK MEDIA GRAY TELEVISION GROUP KNOE-TV MONROE LA GRANT 4/3/2014 HOAK MEDIA GRAY TELEVISION GROUP KFYR-TV BISMARCK ND GRANT 4/3/2014 HOAK MEDIA GRAY TELEVISION GROUP KNOP-TV NORTH PLATTE NE GRANT 4/3/2014 MISSION TV GRAY TELEVISION GROUP KEVN-TV RAPID CITY SD GRANT 4/3/2014 * Per MB decision, station license will be turned in to FCC. ** Per MB decision, station will be sold to Media General. Pending Transfer Applications As of: 7.30.14 Page 3 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes Michael Anderson as Trustee of Cunningham Michael Anderson WDBB Bessemer AL Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WMYA-TV Anderson SC Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WNUV(TV) Baltimore MD Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WTTE(TV) Columbus OH Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WRGT-TV Dayton OH Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WTAT-TV Charleston SC Pending Public Notice - 3/6/2013 Michael Anderson as Trustee of Cunningham Michael Anderson WVAH-TV Charleston WV Pending Public Notice - 3/6/2013 Comcorp Nexstar WGMB-TV Baton Rouge LA Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KWKT-TV Waco TX Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KYLE-TV Brian TX Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KTSM-TV El Paso TX Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KVEO-TV Brownsville TX Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KETK-TV Jacksonville TX Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Nexstar KADN-TV Lafayette LA Pending Public Notice - 5/8/2013 Amendment requested by MB. Pending Transfer Applications As of: 7.30.14 Page 4 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes Comcorp Nexstar WNTZ-TV Natchez MS Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Rocky Creek Communications WEVV-TV Evansville IN Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Rocky Creek Communications KSHV-TV Shreveport LA Pending Public Notice - 5/8/2013 Amendment requested by MB. Comcorp Mission KFXK-TV Longview TX Pending Public Notice- 5/8/2013 Comcorp/Nexstar/Mission sidecar transaction. Amendment requested by MB. Comcorp Mission WVLA-TV Baton Rouge LA Pending Public Notice- 5/8/2013 Comcorp/Nexstar/Mission sidecar transaction. Amendment requested by MB. New Age Cunningham Broadcasting Corp. WNBW-DT Gainesville FL Pending Public Notice - 9/30/2013 Sinclair/New Age sidecar sale to Cunningham. Amendment requested by MB. New Age Cunningham Broadcasting Corp. WSWB-TV Scranton PA Pending Public Notice - 9/30/2013 Sinclair/New Age sidecar sale to Cunningham. Amendment requested by MB. New Age Deerfield WTLF Tallahassee FL Pending Public Notice- 9/30/2013 Sinclair/New Age sidecar sale to Deerfield. Amendment requested by MB. New Age Sinclair WOLF-TV Hazelton PA Pending Public Notice - 9/30/2013 Sinclair/New Age main sale. New Age Sinclair WQMY (TV) Williamsport PA Pending Public Notice - 9/30/2013 Sinclair/New Age main sale. New Age Sinclair WTLH Bainbridge FL Pending Public Notice - 9/30/2013 Sinclair/New Age main sale. New Age Sinclair WGFL High Springs FL Pending Public Notice- 9/30/2013 Sinclair/New Age main sale. Stainless Broadcasting Mission WICZ-TV Binghampton NY Pending Public Notice - 10/18/2013 Nexstar/Mission sidecar singleton transaction. Amendment requested by MB. Channel 61 Associates Cross Hill Communications WNMN Saranac Lake NY Pending Public Notice - 11/22/2013 Petition to deny filed. Pending Transfer Applications As of: 7.30.14 Page 5 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes CMCG Portland License LLC Cunningham Broadcasting Corp. WPFO Waterville ME Pending Public Notice - 11/22/2013 Cunningham singleton sidecar transaction. Amendment requested by MB. Milton Grant Nexstar WZDX (TV) Huntsville AL Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. Milton Grant Nexstar WFXR Roanoake VA Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. Milton Grant Nexstar WWCW Lynchburg VA Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. Milton Grant Nexstar WGCW Burlington IA Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. Milton Grant Nexstar WLAX La Crosse WI Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. Milton Grant Nexstar WEUX Chippewa Falls WI Pending Public Notice - 11/25/2013 Nexstar/Milton Grant main deal. HITV Operating Co., Inc. Southeastern Media Holdings KFVE (TV) Honolulu HI Pending Public Notice - 11/25/2013 Raycom sidecar deal involving SSA (not involving JSA). Amendment requested by MB. Ruby Mountain Broadcasting, LLC Cunningham Broadcasting Corp. KENV (DT) Elko NV Pending Public Notice - 12/23/2013 Cunningham sidecar deal. Amendment requested by MB. Sierra Communications, LLC Cunningham Broadcasting Corp. KRNV-TV Reno NV Pending Public Notice - 12/23/2013 Cunningham sidecar deal. Amendment requested by MB. Parker Broadcasting Excalibur Broadcasting KXJB-TV Valley City ND Pending Public Notice - 12/27/2013 Parker (Hoak Sidecar) to Excalibur (Grey Sidecar). Awaiting action from applicants. Parker Broadcasting Excalibur Broadcasting KAQY-TV Columbia LA Pending Public Notice - 12/27/2013 Parker (Hoak Sidecar) to Excalibur (Grey Sidecar). Awaiting action from applicants. Cowles California Media Company VistaWest California KCOY Santa Maria CA Pending Public Notice - 1/16/2014 Amendment requested by MB. High Maintenance Broadcasting, LLC, Debtor in Possession Corpus 18, LLC KUQI Corpus Christi TX Pending Public Notice - 2/5/2014 Amendment requested by MB. Pending Transfer Applications As of: 7.30.14 Page 6 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes Hoake Media of Wichita Falls, LLC Gray Television KAUZ-TV Wichita Falls TX Pending Public Notice - 2/19/2014 Amendment requested by MB. Granite Broadcasting Corp. Quincy Newspaper, Inc. WPTA Ft. Wayne IN Pending Public Notice - 2/26/2014 Granite/Quincy main deal. Granite Broadcasting Corp. Quincy Newspaper, Inc. WBNG-TV Binghampton NY Pending Public Notice - 2/26/2014 Granite/Quincy main deal. Granite Broadcasting Corp. Quincy Newspaper, Inc. WEEK-TV Peoria IL Pending Public Notice - 2/26/2014 Granite/Quincy main deal. Granite Broadcasting Corp. Quincy Newspaper, Inc. KBJR-TV Superior WI Pending Public Notice - 2/26/2014 Granite/Quincy main deal. Granite Broadcasting Corp. Quincy Newspaper, Inc. KRII 9TV) Chisholm MN Pending Public Notice - 2/26/2014 Granite/Quincy main deal. Granite Broadcasting Corp. SagamoreHill KDLH Duluth MN Pending Public Notice - 2/26/2014 Granite/Quincy sidecar deal. Amendment requested by MB. Granite Broadcasting Corp. SagamoreHill WISE-TV Ft. Wayne IN Pending Public Notice - 2/26/2014 Granite/Quincy sidecar deal. Amendment requested by MB. LIN Broadcasting Media General KOIN (TV) Portland OR Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WIAT (TV) Birmingham AL Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KSNW (TV) Wichita KS Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KSNC (TV) Great Bend KS Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KSNG (TV) Garden City KS Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KSNK (TV) McCook NE Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. Pending Transfer Applications As of: 7.30.14 Page 7 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes LIN Broadcasting Media General KHON-TV Honolulu HI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KHAW-TV Hilo HI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KAII-TV Wailuku HI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WKBN-TV Youngstown OH Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KSNT (TV) Topeka KS Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KIMT (TV) Mason City IA Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WJCL (TV) Savannah GA Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WALA-TV Mobile AL Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WFNA (TV) Gulf Shores AL Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KREZ-TV Durango CO Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KRQE (TV) Albuquerque NM Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KBIM-TV Roswell NM Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KASA-TV Santa Fe NM Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WLUK-TV Green Bay WI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. Pending Transfer Applications As of: 7.30.14 Page 8 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes LIN Broadcasting Media General WCWF(TV) Suring WI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WISH-TV Indianapolis IN Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WNDY-TV Marion IN Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WANE-TV Ft. Wayne IN Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WTHI-TV Terre Haute IN Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KBVO (TV) Llano TX Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General KXAN-TV Austin TX Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WLFI-TV Lafayette IN Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WPRI-TV Providence RI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WAVY-TV Portsmouth VA Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WVBT(TV) Virginia Beach VA Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WDTN(TV) Dayton OH Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WIVB-TV Buffalo NY Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WNLO(TV) Buffalo NY Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. Pending Transfer Applications As of: 7.30.14 Page 9 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes LIN Broadcasting Media General WOOD-TV Grand Rapids MI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WOTV (TV) Battle Creek MI Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WCTX (TV) New Haven CT Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WTNH (TV) New Haven CT Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. LIN Broadcasting Media General WWLP (TV) Springfield MA Pending Public Notice - 5/14/2014 Media/General-LIN merger. Amendment requested by MB. Beartooth Communications Co. Gray Television KTVH-DT Helena MT Pending Public Notice - 5/21/2014 Amendment requested by MB. Rocky Mountain Broadcasting Co. Gray Television KMTF Helena MT Pending Public Notice - 5/23/2014 Amendment requested by MB. Comcorp Marshall KPEJ-TV Odessa TX Pending Public Notice - 6/11/2014 Comcorp/Nexstar/Marshall sidecar transaction. JSA Waiver Request filed. Amendment requested by MB. Comcorp Marshall KMSS-TV Shreveport LA Pending Public Notice - 6/11/2014 Comcorp/Nexstar/Marshall sidecar transaction. JSA Waiver Request filed. Amendment requested by MB. Milton Grant Marshall KLJB Davenport IA Pending Public Notice- 6/11/2014 Milton Grant/Nexstar/Marshall sidecar transaction. JSA Waiver Request filed. Amendment requested by MB. KMYA, LLC Rebel Media KMYA-DT Camden AR Pending Public Notice - 6/13/2014 WWAZ License LLC Caballero Acquisition WIWN Fond du Lac WI Pending Public Notice - 6/23/2014 Gormally Broadcasting Licenses Meredith Corp. WGGB-TV Springfield MA Pending Public Notice - 6/23/2014 Harrisburg Television Media General WHTM-TV Harrisburg PA Pending Public Notice - 7/1/2014 Pending Transfer Applications As of: 7.30.14 Page 10 of 10 Assignor/Transferor Assignee/Transferee Call Sign City ST App. Status Action Date Notes Fox Television Stations KTVU, LLC WHBQ-TV Memphis TN Pending Public Notice - 7/8/2014 KTVU, LLC Fox Television Stations KTVU Oakland CA Pending Public Notice - 7/8/2014