W3WN
04-17-2013, 11:46 AM
From today's FCC digest:
AMENDMENT OF PART 15 REGARDING NEW REQUIREMENTS AND MEASUREMENT GUIDELINES FOR ACCESS BROADBAND OVER POWER LINE SYSTEMS/CARRIER CURRENT SYSTEMS, INCLUDING BROADBAND OVER POWER LINE SYSTEMS. Denied the Petition for Reconsideration filed by the national association for Amateur Radio, formally known as the American Radio Relay League. (Dkt No. 04-37 03-104 ). Action by: the Commission. Adopted: 04/16/2013 by MO&O. (FCC No. 13-53). OET
http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-13-53A1.docx
http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-13-53A1.pdf
http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-13-53A1.txt
In this Second Memorandum Opinion and Order (BPL Second MO&O), we address a petition for reconsideration filed by the national association for Amateur Radio, formally known as the American Radio Relay League (ARRL).[1] (https://forums.hamisland.net/#_ftn1) ARRL seeks reconsideration of the Commission’s Second Report and Order (BPL Second Order) in the above proceeding relating to Access Broadband over Power Line (Access BPL) systems.[2] (https://forums.hamisland.net/#_ftn2) We conclude that our previous decisions in this proceeding strike an appropriate balance between the dual objectives of providing for Access BPL technology -- which has potential applications for broadband and Smart Grid uses -- while protecting incumbent radio services against harmful interference.[3] (https://forums.hamisland.net/#_ftn3) We deny the ARRL petition for reconsideration; it does not raise new arguments based on new information in the record or on the Commission’s new analysis of limited points as directed by the Court, nor does it demonstrate any errors or omissions in the Commission’s previous decisions.
[1] (https://forums.hamisland.net/#_ftnref1) ARRL Petition for Reconsideration of Second Report and Order filed on Dec. 20, 2011 (Petition). In support of ARRL’s petition, James E. Whedbee filed a pleading titled “Informal Request in the nature of a Petition for Reconsideration and Formal Comments of James Edwin Whedbee in Support of Petition for Reconsideration filed by ARRL” on Dec. 28, 2011. He requests a complete rescission of the BPL rules and did not raise any substantive issues other than those raised by ARRL and raised previously by Mr. Whedbee himself. That pleading is also denied as discussed herein.
[2] (https://forums.hamisland.net/#_ftnref2) Second Report and Order in ET Docket Nos. 04-37, 03-104 (Amendment of Part 15 Regarding New Requirements and Measurement Guidelines for Access Broadband Over Power Line Systems, Carrier Current Systems), 26 FCC Rcd 15712 (2011) (BPL Second Order).
[3] (https://forums.hamisland.net/#_ftnref3) A “smart grid” electricity network includes an intelligent monitoring system that keeps track of all electric power flowing in the system from suppliers to consumers and provides real‑time or near-real‑time load information to permit improved transmission management. It also can utilize two‑way digital technology to control appliances at consumers' homes to reduce peaks and even out demand, to save energy, to reduce cost, and to increase reliability and transparency. I think this translates to:
"We still think BPL is the greatest thing since sliced bread, so we don't care what you say. Nah, nah."
AMENDMENT OF PART 15 REGARDING NEW REQUIREMENTS AND MEASUREMENT GUIDELINES FOR ACCESS BROADBAND OVER POWER LINE SYSTEMS/CARRIER CURRENT SYSTEMS, INCLUDING BROADBAND OVER POWER LINE SYSTEMS. Denied the Petition for Reconsideration filed by the national association for Amateur Radio, formally known as the American Radio Relay League. (Dkt No. 04-37 03-104 ). Action by: the Commission. Adopted: 04/16/2013 by MO&O. (FCC No. 13-53). OET
http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-13-53A1.docx
http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-13-53A1.pdf
http://hraunfoss.fcc.gov/edocs_public/attachmatch/FCC-13-53A1.txt
In this Second Memorandum Opinion and Order (BPL Second MO&O), we address a petition for reconsideration filed by the national association for Amateur Radio, formally known as the American Radio Relay League (ARRL).[1] (https://forums.hamisland.net/#_ftn1) ARRL seeks reconsideration of the Commission’s Second Report and Order (BPL Second Order) in the above proceeding relating to Access Broadband over Power Line (Access BPL) systems.[2] (https://forums.hamisland.net/#_ftn2) We conclude that our previous decisions in this proceeding strike an appropriate balance between the dual objectives of providing for Access BPL technology -- which has potential applications for broadband and Smart Grid uses -- while protecting incumbent radio services against harmful interference.[3] (https://forums.hamisland.net/#_ftn3) We deny the ARRL petition for reconsideration; it does not raise new arguments based on new information in the record or on the Commission’s new analysis of limited points as directed by the Court, nor does it demonstrate any errors or omissions in the Commission’s previous decisions.
[1] (https://forums.hamisland.net/#_ftnref1) ARRL Petition for Reconsideration of Second Report and Order filed on Dec. 20, 2011 (Petition). In support of ARRL’s petition, James E. Whedbee filed a pleading titled “Informal Request in the nature of a Petition for Reconsideration and Formal Comments of James Edwin Whedbee in Support of Petition for Reconsideration filed by ARRL” on Dec. 28, 2011. He requests a complete rescission of the BPL rules and did not raise any substantive issues other than those raised by ARRL and raised previously by Mr. Whedbee himself. That pleading is also denied as discussed herein.
[2] (https://forums.hamisland.net/#_ftnref2) Second Report and Order in ET Docket Nos. 04-37, 03-104 (Amendment of Part 15 Regarding New Requirements and Measurement Guidelines for Access Broadband Over Power Line Systems, Carrier Current Systems), 26 FCC Rcd 15712 (2011) (BPL Second Order).
[3] (https://forums.hamisland.net/#_ftnref3) A “smart grid” electricity network includes an intelligent monitoring system that keeps track of all electric power flowing in the system from suppliers to consumers and provides real‑time or near-real‑time load information to permit improved transmission management. It also can utilize two‑way digital technology to control appliances at consumers' homes to reduce peaks and even out demand, to save energy, to reduce cost, and to increase reliability and transparency. I think this translates to:
"We still think BPL is the greatest thing since sliced bread, so we don't care what you say. Nah, nah."