Lpfm stations near me
Low-power broadcasting is broadcasting by a broadcast station at a low electric power to a smaller service area than "full power" stations within the same region. It is often distinguished from "micropower broadcasting" more commonly " microbroadcasting " and broadcast translators.
Interested parties must apply for both a certificate from Industry Canada and a license from CRTC in order to operate a radio station. Industry Canada manages the technicalities of spectrum space and technological requirements whereas content regulation is conducted more so by CRTC. The transmitters therefore range from 1 to 50 watts, as opposed to 1 to watts in the U. As of [update]licenses very low and low-power FM have been issued.
These transmitters are generally only allowed in remote areas. Stations in the low-power class are subject to the same CRTC licensing requirements, and will generally follow the same call sign format, as full-power stations. Stations in the very low-power class formerly had to have CRTC licenses as well, although a series of CRTC regulation changes in the early s exempted most such stations from licensing; a station in this class will usually not have a conventional call sign, but will instead be identified in a naming format consisting of a four-digit number preceded by the letters CH for a television station or VF for a radio station.
The regulation of spectrum space is strict in Canada, as well having restrictions on second and third adjacent channels, along with other protections for AM and FM commercial radio. However, the two regulating bodies do have certain exemptions. In Canada, there is no formal transmission power below which a television transmitter is broadcasting at low power.
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Prior to Junethe lower band was located between Broadcasters on these frequencies are required to cease operations if they interfere with other, licensed broadcasters and have no protection from interference from other licensed or unlicensed broadcasters.
Contact details must also be broadcast every hour. Further restrictions are in place for the protection of aeronautical services. Use of the following frequencies is not permitted within certain boundaries approaching Auckland and Wellington airports:  There are efforts on self-regulation of the broadcasters themselves.
WPBE 98.3 FM
The NZRSM Radio Inspectors do, however, regularly monitor and make random unannounced visits to broadcasters, and will impose fines for violations of the regulations. New broadcasters are also subject to an initial compulsory inspection. Temporary low-power stations are allowed at times via a Restricted Service Licence. Sincelong-term LPFM licences have been available in remote areas of the country.
These are currently used for many establishments, including military basesuniversities and hospitals with fixed boundaries. LPFM licenses, which are limited to a maximum effective radiated power ERP of watts, may be issued to non-commercial educational entities, as well as public safety and transportation organizations. Individuals and holders of other types of broadcast licenses are not eligible.
These stations are all grandfathered operations, as no new licenses of this type have been issued sinceexcept in Alaska. They are not considered to be LPFM stations, although they operate noncommercially and have similar coverage areas to Class L2 stations. These stations were allowed to operate at 1—10 or 50— watts of power, compared to the minimum requirement for commercial stations at watts. Necessary to offset the growing consolidation of station ownership in the wake of the Telecommunications Act ofwhich removed caps on radio ownership, as well as the decline of locally produced radio programming.
Pressure from the National Association of Broadcasters urged Congress to slip the Radio Broadcasting Preservation Act of into a general spending bill that circulated through Congress. President Bill Clinton signed the bill in December The actual bill that went through Congress  was meant to tighten standards for LPFM stations, in an effort to make it harder for stations to be approved in order to protect full-power FM stations had these provisions:.
Stavisky, Alan G.Below please find a partial list of available opportunities. Please keep in mind that we have other stations that we can not list on this site due to the extreme confidentiality of the situation. Confidentiality: It is of the utmost importance that the identity of the stations for sale remain confidential.
Priced Right. Some seller financing. Covers over 1. FM covers over 1. Further signal upgrades are possible. Owner will listen to all reasonable offers. Financing IS available.
This long- established station is quite profitable and has excellent growth potential. Seller Financing is NOW available. Priced at current market multiples. This opportunity is definitely worth looking at. There are many owners who are reluctant to allow us to advertise their stations on the website, afraid that their employees or advertisers will find out that their station is for sale.
Using the new ATSC 3. We are a part of a group of four independent firms working together to expand coverage. Four veteran broadcast industry brokerage firms have formed a consortium to provide an expanded level of service to each participating company's clients. Each brokerage firm maintains its individual ownership, but the consortium allows collaboration between the companies in order to expedite the sale of listed properties, when needed.
The arrangement recognizes that individual firms working together can provide an additional layer of excellent, financially qualified buyer prospects For their exclusive listings.
Also, the group can offer substantially greater coverage, with members in all geographical areas of the country.
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The members participate in frequent conference calls to discuss active listings and share information on prospects. Members occasionally bring a prospective buyer to the member with the listing, and share commissions when a sale closes.
The members actively communicate with each other and discuss industry information and trends. Some seller financing contact: George Kimble. Financing IS available contact: George Kimble.The earliest that a window for new LPFM stations could take place is in but more likely Low Power FM LPFM is radio that within reach of many community organizations, local artists, churches, ministries, schools and government organizations.
The FCC has created this service to address the concentration of full power broadcasting by large corporations who have shut out the communities they serve in favor of national formats. On this site, you will learn about the LPFM service, find out about existing LPFM stations, as well as legislation and other activities that support or endanger the service.
Existing LPFM applicants, permit holders and licensees can find information about their station including answers to your day to day operations as well as what to do when you need to make a change. Everyone can benefit from information about the LPFM rules and why they are the way that they are.
Learn about the process and the various deadline and announcement dates you need to know about. Station participation is voluntary.
These are the rules that LPFM stations follow. Self-Inspection Checklist A training program for your staff responsible for daily compliance. Use this monthly to assure you are running by the rules. We provide detailed answers to the most popular inquiries that we get. These stations may have a local programming and studio requirement.Tulsa's best radio station!
There are 6 different types of LPFM stations. Do I need a license? Skip to main content Skip to search. Main menu. Search form Search this site. You are here. At REC, the advice is free.
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LPFM Stations Near Mexico
What do I need to do? Boston got one.Low Power FM broadcast stations that are more than kilometers from Mexico are permitted to operate their maximum allowed power up to watts, depending on height above average terrain HAAT. The only restriction on these stations is that the 60 dBu service contour of the proposed LPFM station may not place a 60 dBu service contour large enough that the contour comes within In this case, a directional antenna can be used to limit radiation towards the Mexican border.
The Mexico "Strip Zone" is an area that includes all points that are within kilometers of the Mexican border or any of its outlying islands. Areas within approximately kilometers of the Mexican border. By default, the FCC only authorizes 50 watts maximum for LP stations using nondirectional antennas located within km of the Mexican border.
Even though the agreement does address "LPFM" stations, this also addresses translators. In accordance with the Mexico agreement, all LPFM, FM translator and FM booster stations operating within km of the common border with Mexico will be permitted to radiate no more than 50 watts in the direction of Mexico, which for many LPFM stations can be seen as a reduction in coverage.
For LPFM stations located at sites more than 42 meters HAAT, the station will be limited to less than 50 watts like if the station was anywhere in the country and therefore, these stations would be able to enjoy their full coverage subject to some additional restrictions shown below.
In addition to the 50 watt cap, LPFM stations within km of Mexico also have the following limitations:. The directional antenna must be designed in a manner that it can radiate up to the full available LPFM power in all directions except for any directions where if a straight line is drawn from the transmitter site to the Mexican border and outlying islands in Mexican territory, the measured distance is less than kilometers.
Example of how the distance to Mexico is determined when using a directional antenna.
In the diagram above, we placed a hypothetical station well within kilometers of the Mexican border. We then determine the angle of each of those lines as measured from the proposed LPFM station. Those are our outer boundries of the restricted zone where power is limited to 50 watts. In the example diagram, we plotted two lines from the transmitter site to where the km circle intersects with the border and determined their bearings to be at degrees and degrees.
It will mean that in directions between bearings and degrees, the directional antenna must be designed to limit radiation to 50 watts or less. When proposing a directional antenna, the application must include the field values around the entire antenna along at least 36 equally-spaced bearings every 10 degrees from 0 to These field values are available from your antenna's manufacturer.
Even though only 36 is required, it's best to include as many field values as possible such as every 5 degrees or every 1 degreeespecially if the radiated ERP along a particular bearing close or inside the restricted zone is very close to 50 watts. We then can use the directional pattern and tabulations numbers provided by Scala.
Based on this chart, we can see that the power along the radials between and degrees are below 50 watts 0. Actually, even the values along the and degree radials are under 50 watts. Since we have to limit radiation to under 50 watts between and degrees, this antenna would work. If a directional antenna is being utilized in LPFM strictly for the purpose of an international agreement, such as the Strip Zone application we have depicted here, the FCC will not require a proof of performance nor verification of the installation by a surveyor.
When evaluating these limitations, we look at only the bearings where there is any Mexican territory within km along that azimuth. LPFM stations in the strip zone should get professional services such as from REC to assure that the proposed facility meets the treaty requirements.
For bearings that are more than km from the border as well as stations more than km from the borderthe 60 dBu contour can not exceed 8. At a certain point in the process, the FCC will grant the construction permit with a condition that Mexican concurrence is still pending.
Construction permits can be tolled extended for the length of the overall concurrence process. Just like there is a notification process when the US places a station within the border area within km of the border areaMexico has to do the same. Although we are not aware of it happening yet, a change in Mexican facilities may cause displacement or additional interference.
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This is a great opportunity for a first time buyer, retired broadcaster, or religious group. Station has been on the air sinceand license was recently renewed. Has full studio and equipment. Transmitter is at the same location. Has established ties with the community. A Non-disclosure agreement will be required for further information. Can be located on any of the four mountain tops.
WMOB-AM broadcasts 9, watts days and watts nights from a station-owned tower site in the middle of the market. This is a solid, turn-key operation with valuable real estate included. The translator is a newly-granted CP which can be moved to an existing tower in Mobile coveringpeople.
Do Not Disclose Seller Financing? This is the ideal situation for anyone looking to get into the radio business. This station has a powerful signal over well traveled roads and many businesses.Learn about the most important happenings in low-power FM radio. Like the name implies, a booster helps a station to fill in parts of its broadcast area where geographic impediments—like hills or mountains—prevent the signal from being received well where it otherwise should be heard.
Unlike a translator repeater station, […]. Lots of young people really, truly do […]. Last month the FCC asked the two groups to come up with […].
Los Angeles has been the site of the biggest group of applicants in the country battling it out for a single low-power FM frequency. A partial resolution of this competition has been reached, thanks to the efforts of the LPFM advocacy group Common Frequency and the cooperation of existing stations. As a result many more […].
According to the Denton Record Chronicle, the station is actively fundraising and will host a […]. The FCC is making its way through the remaining LPFM candidates from the application window and is sussing out some shenanigans that have happened along the way.
This […]. He described how many of the team were college radio veterans hoping to replicate […]. Licensed radio stations of all types—including LPFMs—are required to stay on the air, unless granted specific and limited exemptions by the FCC. The logic is clear and sound: licenses are for broadcasting, not collecting and monopolizing like so many empty parcels of land. A church-owned station in Buffalo, WY recently fell afoul of this rule. Stations continue to work towards getting on the air and the FCC is still making its way through some lingering applications.
Continue Reading. Search Radio Survivor:. Popular Latest Comments. Support Radio Survivor when you buy Amazon products:.Jump to navigation. Lawparticularly the elimination of third-adjacent channel LPFM spacing requirements except to protect Canadian or Mexican stations or FM broadcast stations known to host a radio reading service. Users should keep in mind that this search does not account for all factors that may affect broadcasting in the FM band, such as terrain effects or interference from distant but fully spaced stations operating on the same or adjacent channels.
Finally, the tool does not take into account factors outside the FCC's jurisdiction that may affect site suitability and availability, including local zoning or building codes, environmental considerations, and power access.
Applicants should consider all relevant factors before selecting channels and sites. Tool Options. Applications for new LPFM stations must currently meet certain distance separation requirements to stations operating on and applications proposing operations on second-adjacent channels and intermediate frequency I.
The Commission is currently considering standards for waiving second-adjacent channel spacing requirements and a proposal to exempt LPFM stations operating at less than watts from I. Commission action on these proposals could affect LPFM channel availability at many locations. Searches can include or exclude either or both of these spacing requirements to help LPFM applicants take into account these potential rule changes. Determining Latitude and Longitude Coordinates.
Applicants are responsible for accurately determining the NAD 27 coordinates of potential transmitter sites. Many applicants retain surveyors to help determine the proposed station coordinates. Owners of existing tower structures should also have this information. Commission staff cannot assist users in this process. Similarly, decimal coordinates must be converted to degrees, minutes, and secondsto the nearest second.
Applicants are cautioned that the inaccurate specification of coordinates may result in application dismissal. Applicants unable to identify an available channel at desired site locations may wish to engage the services of a consulting communications engineer. Users must be aware that neither the FCC nor the United States Government shall be responsible or liable for any loss, expense, or damage arising from or incident to the use of this program or the underlying data.
This program cannot be used to file an application for an LPFM station or to amend a pending application. Use of the search tool does not confer any authority to operate a radio broadcast station. Station Longitude. Second-adjacent channels: An LPFM application must satisfy minimum distance separation requirements to stations operating on and applications proposing operations on second-adjacent channels.