LIN LICENSE COMPANY, LLC
Washington, D.C. 20554
October 2, 2012
Released: October 2, 2012
c/o Matthew L. Gibson, Esq.
Paul Hastings LLP
875 15th Street, NW
Washington, DC 20005
Applications for Assignment of License
KHON-TV, Honolulu, HI, ID No. 4144
KAII-TV, Wailuku, HI, ID No. 4145
KHAW-TV, Hilo, HI, ID No. 4146
File Nos. BALCDT-20120511ACJ-ACL
KSNW(TV), Wichita, KS, ID No. 72358
KSNC(TV), Great Bend, KS, ID No. 72359
File Nos. BALCDT-20120511ADH-ADI
This letter is in reference to the unopposed, above-captioned applications for assignment of the
licenses of (1) KHON-TV, Honolulu, Hawaii; KAII-TV, Wailuku, Hawaii; and KHAW-TV, Hilo,
Hawaii, from NVT Hawaii Licensee, LLC, to LIN License Company, LLC (LIN); and (2) KSNW(TV),
Wichita, Kansas, and KSNC(TV), Great Bend, Kansas, from NVT Wichita Licensee, LLC, to LIN.
Although the assignments do not create any new ownership combinations, LIN has requested authority to
continue operating KAII-TV, KHAW-TV, and KSNC as satellite stations, pursuant to Note 5 of Section
73.3555 of the Commission’s rules.1 For the reasons set forth below, we grant the request for continuing
satellite authority and the applications.
In Television Satellite Stations,2 the Commission established the requirement that all applicants
seeking to transfer or assign satellite stations justify continued satellite status by demonstrating
compliance with a three-part “presumptive” satellite exemption standard applicable to new satellite
stations. The presumptive satellite exemption is met if the following three public interest criteria are
satisfied: (1) there is no City Grade overlap between the parent and the satellite; (2) the proposed satellite
1 47 C.F.R. § 73.3555, Note 5.
2 Television Satellite Stations Review of Policies and Rules, Report and Order, 6 FCC Rcd 4212, 4215
(1991)(subsequent history omitted)(Television Satellite Stations).
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would provide service to an underserved area; and (3) no alternative operator is ready and able to
construct or to purchase and operate the satellite as a full-service station.3 If an applicant does not qualify
for the presumption, the Commission will evaluate the proposal on an ad hoc basis and grant the
application if there are compelling circumstances that warrant approval.4
Honolulu Market. With respect to the first criterion, we note that, following the digital transition,
full-power television stations have a digital Principal Community contour that serves a much larger area
than their former analog City Grade contour. Prior to the digital transition, neither satellite station’s City
Grade contour overlapped that of its parent, KHON-TV.
Regarding the second criterion, LIN relies on the Commission’s “reception” test to demonstrate
that KHAW-TV provides service to an underserved area. That test deems an area underserved if at least
25% of the area within the satellite station’s Grade B analog contour, but outside the parent station’s
Grade B analog contour (Difference Area), receives service from four or fewer television stations, not
counting the satellite.5 LIN submits a Technical Statement demonstrating that, using digital noise-limited
contours, 100% of the KHAW-TV Difference Area is served by four or fewer television stations. It
concedes that the KAII-TV Difference Area does not meet the reception test’s threshold (only 8.1% of the
Difference Area is served by four or fewer television stations) but submits that these results are skewed
by the collocation of multiple stations at the Ulupalakua Ranch site on Maui, including satellite stations
for each of the ABC, NBC, and CBS affilitates licensed to Honolulu.
As for the third criterion, LIN cites previous Commission decisions authorizing KAII-TV and
KHAW-TV to operate as satellites of KHON-TV, including renewals of such status in 2005, 2007, and
2010, which determined that the geographically challenging market and the stations’ limited coverage
areas could not support a viable, stand-alone operation. It contends that core circumstances underlying
the previous authorizations of satellite status have not changed and submits a statement from W.
Lawrence Patrick, Managing Partner of the media brokerage firm Patrick Communications, to that effect.
Patrick notes that the size of the Honolulu Designated Market Area (DMA), which includes all of
the Hawaiian Islands, essentially “mandates the use of multiple satellites to properly serve the viewing
public.” He further states that total television advertising dollars decreased by 5.5% from 2006 to 2011
and that BIA Kelsey projects growth of only 2.8% over the next five years. As a result, the marketing of
KAII-TV and KHAW-TV as standalone stations “would be unsuccessful given the marginalized nature of
the operations” and the lack of otherwise “compelling” programming “sufficient to survive” in the
Wichita-Hutchinson Market. As noted above, the first criterion of the presumptive standard is no
longer relevant in the digital environment. However, prior to the digital transition, there was no City
Grade contour overlap between KSNW and KSNC.
3 Id. at 4213-14.
4 Id. at 4212.
5 Id. at 4215. We recognize that the Commission has developed the digital noise-limited contour to approximate the
same probability of service as the analog Grade B contour and that it has stated that the two are roughly equivalent.
See 47 C.F.R. § 73.622(e); 2010 Quadrennial Regulatory Review – Review of the Commission’s Broadcast
Ownership Rules and Other Rules Adopted Pursuant to Section 202 of the Telecommunications Act of 1996, Notice
of Inquiry, 25 FCC Rcd 6086, 6117 (2010).
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LIN relies on the Commission’s “transmission” test to demonstrate that KSNC provides service
to an underserved area. That test deems an area underserved if there are two or fewer full-power
television stations (including commercial, noncommercial, and satellite stations) licensed to the proposed
satellite’s community of license. Here, KSNC remains the only full-power television station licensed to
Great Bend, Kansas.
Concerning the third criterion, LIN submits a statement from Mr. Patrick, who observes that each
of the stations in the market affiliated with a “Big Four” network has at least two full-power satellites to
cover the DMA. He states that the Wichita-Hutchinson DMA covers nearly two-thirds of the state and
that, while it is the 67th largest DMA in terms of population, it is ranked only 76th in terms of television
advertising revenue, indicating weakness compared to most markets of comparable population.
Furthermore, absent satellite status, KSNC would not have access to network programming, and viewers
in its coverage area would be denied NBC programming via over-the-air service. He concludes that it is
“highly unlikely that a knowledgeable and experienced television operator could be found that could
provide a viable full service operation to outlying communities” with KSNC as a standalone station.
While the instant requests do not satisfy the Commission’s presumptive satellite exemption
standard, LIN has provided information sufficient to warrant continued satellite operation for KAII-TV,
KHAW-TV, and KSNC under our ad hoc analysis. Given the stations’ long history as satellites, the
geographically challenging nature of their coverage areas, and the declining position of the Honolulu and
Wichita-Hutchinson DMAs, it is unlikely that an alternative operator would be willing and able to operate
the stations as stand-alone facilities. Accordingly, we find that the continued operation of KAII-TV and
KHAW-TV as satellites of KHON-TV, and KSNC as a satellite of KSNW would serve the public
Furthermore, having carefully reviewed the applications, we find that the applicants are fully
qualified and conclude that the grant of the applications would serve the public interest.
ACCORDINGLY, IT IS ORDERED That the application for assignment of the licenses of
KHON-TV, Honolulu, Hawaii; KAII-TV, Wailuku, Hawaii; and KHAW-TV, Hilo, Hawaii, from NVT
Hawaii Licensee, LLC, to LIN License Company, LLC (File Nos. BALCDT-20110511ACJ-ACL), IS
GRANTED. IT IS FURTHER ORDERED That the application for assignment of the licenses of
KSNW(TV), Wichita, Kansas, and KSNC(TV), Great Bend, Kansas, from NVT Wichita Licensee, LLC,
to LIN License Company, LLC (File Nos. BALCDT-20110511ADH-ADI), IS GRANTED.
Barbara A. Kreisman
Chief, Video Division
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