Rules to Implement and Administer a Coupon Program for Digital-to-Analog Converter Boxes, 12097-12121 [E7-4668]
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Federal Register / Vol. 72, No. 50 / Thursday, March 15, 2007 / Rules and Regulations
DEPARTMENT OF COMMERCE
National Telecommunications and
Information Administration
47 CFR Part 301
[Docket Number: 0612242667—7051—01]
RIN 0660–AA16
Rules to Implement and Administer a
Coupon Program for Digital-to-Analog
Converter Boxes
National Telecommunications
and Information Administration,
Commerce.
ACTION: Final rule.
AGENCY:
SUMMARY: In this document, the
National Telecommunications and
Information Administration (NTIA)
adopts regulations to implement and
administer a coupon program for digitalto-analog converter boxes. This rule
implements provisions of section 3005
of Public Law 109–171, known as the
Digital Television Transition and Public
Safety Act of 2005. This action amends
47 CFR Chapter III by adding part 301.
DATES: These rules become effective
April 16, 2007.
ADDRESSES: A complete set of comments
filed in response to the Notice of
Proposed Rulemaking is available for
public inspection at the Office of the
Chief Counsel, National
Telecommunications and Information
Administration, Room 4713, U.S.
Department of Commerce, 1401
Constitution Avenue, N.W.,
Washington, D.C. The responses can
also be viewed electronically at https://
www.ntia.doc.gov.
FOR FURTHER INFORMATION CONTACT:
Milton Brown, NTIA (202) 482–1816.
SUPPLEMENTARY INFORMATION:
TABLE OF CONTENTS
Paragraph
No.
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Heading
I. Background ...................................
II. Discussion ....................................
A. Eligible U.S. Households ..........
B. Coupon Value and Use Restrictions ...........................................
C. Application Process ..................
D. Coupon Expiration ....................
E. Coupon-Eligible Converter Box
F. Manufacturer Certification .........
G. Retailer Participation ................
H. Consumer Education ................
III. Procedural Matters
001
004
004
012
019
023
026
096
103
125
I. Background
1. The Digital Television Transition
and Public Safety Act of 2005 (the Act),
among other things, directs the Federal
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Communications Commission (FCC) to
require full-power television stations to
cease analog broadcasting and to
broadcast solely digital transmissions
after February 17, 2009.1 The returned
analog television spectrum is to be
auctioned, and the Act directs the FCC
to deposit receipts from that auction
into a new Treasury Fund to be known
as the Digital Television Transition and
Public Safety Fund (the Fund).2
2. Recognizing that consumers may
wish to continue receiving broadcast
programming over the air using analogonly televisions not connected to cable
or satellite service, the Act authorizes
NTIA to create a digital-to-analog
converter box assistance program
(Coupon Program). Specifically, Section
3005 of the Act directs NTIA to
implement and administer a program
through which eligible U.S. households
may obtain via the United States Postal
Service a maximum of two coupons of
$40 each to be applied towards the
purchase of a Coupon-Eligible Converter
Box (CECB).3 To implement the Coupon
Program, the Act authorizes NTIA to use
up to $990 million from the Fund for
the program, including up to $100
million for program administration
(Initial Funds).4 A contingent level of
$510 million in additional funds is
authorized upon a 60-day notice and
certification to the Committee on Energy
and Commerce of the House of
Representatives and the Committee on
Commerce, Science, and Transportation
of the Senate that the initial funding
level is insufficient to fulfill coupon
requests for eligible U.S. households
(Contingent Funds).5 NTIA is, therefore,
authorized to expend up to a total of
$1.5 billion for the program, including
up to $160 million for administration.
Assuming the entire administrative
amount is taken into account, $1.34
billion would be available for
distributing up to 33.5 million coupons.
This section also authorizes NTIA,
beginning on October 1, 2006, to borrow
1 See Title III of the Deficit Reduction Act of 2005,
Pub. L. 109-171, 120 Stat. 4, 21 (Feb. 8, 2006) (the
Act). Section 3002(a) of the Act amends Section
309(j)(14)(A) of the Communications Act of 1934 so
that analog full-power television licenses will
terminate on February 17, 2009. Section 3002(b) of
the Act directs the FCC to terminate analog
television licenses for full-power stations by
February 18, 2009.
2 Section 3004 of the Act.
3 See subsections 3005(c)(1)(A), (c)(4) of the Act.
4 NTIA intends to enter into a contract for
services to administer the Coupon Program through
a separate program acquisition plan. The contractor
will be responsible for establishing and managing
the systems and processes through which some of
the final rules may be applied. In this document,
‘‘NTIA’’ should be understood to be either NTIA or
its contractor.
5 Section 3005(c)(3) of the Act.
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not more than $1.5 billion from the
Treasury to implement the program.
NTIA must reimburse the Treasury for
this amount, without interest, as
recovered analog television spectrum
auction proceeds are deposited into the
Fund.6
3. On July 25, 2006, NTIA published
a Notice of Proposed Rulemaking
(NPRM) and Request for Comment in
the Federal Register on ways to
implement and administer such a
program pursuant to the Act.7 NTIA also
held meetings on November 14 and 15,
2006, to afford interested parties the
opportunity to clarify comments
submitted in response to the NPRM.8
II. Discussion
A. Eligible U.S. Households
4. After February 17, 2009,
households may make one or more of
several consumer choices to achieve
digital-to-analog conversion, such as via
cable or satellite service (where
available), or through a converter
device.9 In the NPRM, NTIA proposed
to define those U.S. households eligible
to participate in the Coupon Program as
‘‘those households that only receive
over-the-air television signals using
analog-only television receivers.’’10
NTIA further proposed to make
households that receive cable or satellite
television service, even if those
households have one or more analog
television signals not connected to such
service, ineligible for the Coupon
Program.
5. Many commenters disagreed with
NTIA’s proposed definition and argued
that all consumer households should be
eligible to receive coupons.11 Given the
6 Section
3005(b) of the Act.
for Comment and Notice of Proposed
Rules to Implement and Administer a Coupon
Program for Digital-to-Analog Converter Boxes,
Notice of Proposed Rulemaking, 71 FR 42,067 (July
25, 2006).
8 Summaries of these ex parte meetings are posted
on NTIA’s website at https://www.ntia.doc.gov.
9 Not all local television signals are uplinked and
delivered to satellite homes today. The extent to
which satellite subscribers will have digital-toanalog conversion of local signals available to them
after February 17, 2009, will depend on the
availability of ‘‘local-into-local’’ offerings from
satellite providers.
10 NTIA proposed to define a ‘‘television
household’’ as a ‘‘household with at least one
television . . . consisting of all persons who
currently occupy a house, apartment, mobile home,
group of rooms, or single room that is occupied as
separate living quarters and has a separate U.S.
postal address.’’ See NPRM, 71 FR at 42,068.
11 See Association for Maximum Service
Television, Consumer Electronics Association, and
National Association of Broadcasters (Joint
Industry) Comments at 5-11; Thomson Comments at
2; Archway Marketing Service Comments at 2; LG
Electronics Comments at 5; Community
7 Request
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funding level and the possibility that
many households with cable or satellite
service may wish to purchase a
converter box, commenters expressed
concern about excluding any
household.12 Commenters also
expressed concern about those
consumers that may need to rely on
over-the-air capabilities in times of
emergency. Some commenters argued
that the Act and the legislative history
do not support NTIA’s proposed
definition and that the Agency lacks the
statutory authority to limit the eligibility
requirements.13 For example, in Joint
Industry Comments, the commenters
argued that the Act and the legislative
history, as well as practical
considerations, ‘‘preclude any
implementation of the program that
would exclude from coupon eligibility
analog sets in cable or satellite-served
homes not connected to those
services.’’14 Likewise the Consumer
Electronics Retailer Coalition (CERC)
argued that there is no basis in the Act
or the legislative history to support the
standard proposed in the NPRM.15
6. Several comments raised other
points in favor of expanding eligibility
beyond that proposed in the NPRM. For
example, some commenters noted that
even cable and satellite households may
need the ability to receive signals over
the air in times of emergency or severe
weather.16 Others noted that limiting
coupons to over-the-air-only households
could disadvantage satellite customers
who receive their local broadcast signals
over the air.17 Operators of Class A and
LPTV stations noted that these facilities
will continue to broadcast in analog
after February 17, 2009, that most of
these facilities are not eligible for cable
or satellite must carry and that NTIA
should not deny converter-box subsidies
to households that rely on analog
receivers to watch Class A and LPTV
stations over the air, even if they have
another means to view digital fullpower stations.18 Consumers Union
contended that denying converter boxes
to all households would cause
disruptions in service that could
undermine consumer support for the
digital television transition.19
RadioShack suggested that limiting
eligibility could reduce demand for
converter boxes, thus raising their costs
and potentially harming low-income
households.20
7. NTIA recognizes that limiting
eligibility as proposed in the NPRM
would be difficult to enforce. There are
no lists of households that only receive
over-the-air television broadcasts.
Moreover, as the Government
Accountability Office (GAO) recognized,
it would be a highly challenging task to
obtain a list of cable and satellite
subscribers in order to identify over-theair-reliant homes by the process of
elimination.21 In fact, it would be
difficult for NTIA to determine which
U.S. households currently have, or plan
to obtain, an analog television set
requiring a CECB. Moreover, efforts to
confirm eligibility would likely delay
reasonable and timely distribution of
coupons.22 Unless NTIA devoted
substantial resources to review
applicants’certifications of eligibility,
there would be potential for waste,
fraud and abuse.23 Such efforts could
also substantially increase the costs of
administering the program.24
8. Upon careful consideration of all
arguments raised in the comments for
and against limiting household
eligibility criteria, NTIA has decided not
to initially limit household eligibility in
the Coupon Program to households
reliant exclusively on over-the-air
broadcasts for television service.
Accordingly, the Final Rule permits
coupons to be distributed initially to all
U.S. households. As proposed in the
NPRM and consistent with the
Broadcasters Association Comments at 3; Consumer
Electronics Retailers Coalition (CERC) Comments at
5; AARP Comments at 5; MTVA Comments at 3;
Joint Consumer Comments at 2-8; APTS Comments
at i; RadioShack Corporation Comments at 3-6;
Sodexho Comments at 4.
12 See Letter to Hon. John M. R. Kneuer from Hon.
John D. Dingell, Hon. Edward J. Markey, Hon.
Henry A. Waxman, Hon. Frank Pallone, Jr., Hon.
Bart Gordon, Hon. Eliot L. Engel, Hon. Ted
Strickland, Hon. Lois Capps, Hon. Tom Allen, Hon.
Rick Boucher, Hon. Sherrod Brown, Hon. Bart
Stupak, Hon. Gene Green, Hon. Diana Degette, Hon.
Mike Doyle, Hon. Jan Schakowsky, (Letter from
Members of the House Energy and Commerce
Committee) (Nov. 15, 2006) at 2.
13 Joint Consumer Comments at 2-8; Richard
Brittain Comments; Joint Industry Comments at 5.
14 Joint Industry Comments at i.
15 CERC Comments at 5.
16 See, e.g., Marvin Clegg Comments at 1; Richard
Brittain Comments at 1; Thomson Comments at 2.
17 See, e.g., Richard Brittain Comments at 1.
18 Community Broadcasters Association
Comments at 5. Section 3002 of the Act permits
Class A and LPTV facilities to broadcast in analog
after February 17, 2009. Moreover, a cable system
must carry a LPTV facility only if it meets certain
limited requirements. 47 U.S.C. § 534(h)(2).
19 Joint Consumer Comments at 9.
20 RadioShack Comments at 7.
21 See ‘‘Digital Broadcast Television Transition:
Several Challenges Could Arise in Administering a
Subsidy Program for DTV Equipment,’’ GAO-05623T (May 26, 2005) at 11-13 (GAO Challenges
Report). In addition to the cable industry’s
reluctance to give the government access to its
subscriber lists, GAO noted that it would be
difficult to merge information across the more than
1,100 cable and satellite companies in the United
States. GAO Challenges Report at 12.
22 See, e.g., RadioShack Comments at 8.
23 See, e.g., Thomson Comments at 2.
24 See, e.g., Archway Marketing Services
Comments at 2.
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definition used by the U.S. Census
Bureau, a ‘‘household’’ consists of all
persons who currently occupy a house,
apartment, mobile home, group of
rooms, or single room that is occupied
as a separate U.S. postal address.25
NTIA received a comment from SunBelt
Multimedia Company that requested the
household definition to be expanded to
allow multiple families residing at a
single address to each count as a
household, based on the community or
income criteria.26 NTIA recognizes that
multiple families may exist in
households as defined by this Final
Rule, however, it would be
administratively difficult to determine
the number and location of these
households and to establish a definition
based on community or income criteria.
9. Recognizing that funds allocated for
this program are limited and the
possibility that over-the-air reliant
television households may lose
television service as a result of this
decision, NTIA will permit open
eligibility on a first-come, first-served
basis while the Initial Funds are
available (i.e., until coupons valuing
$890,000,000 have been redeemed and
issued but not expired, in accordance
with Section 3005(c)(2)(B) of the Act).27
The Act permits funding of the program
to increase by $510,000,000 to a total of
$1,500,000,000 upon certification to
Congress that the initial allocated
amount of $990,000,000, the Initial
Funds, is insufficient to fulfill coupon
requests.28 If such Contingent Funds are
available for the Coupon Program, the
eligibility for those coupons provided
from Contingent Funds will be limited
to over-the-air-only television
households (Contingent Period).
Consumers requesting those coupons
during the Contingent Period must
certify to NTIA that they do not
subscribe to a cable, satellite, or other
pay television service. NTIA makes this
decision balancing the demand
uncertainty and funding limitations
with the need to prioritize contingency
funds for over-the-air reliant households
which will lose total access to television
broadcasts after the transition date.
10. NTIA did not propose to consider
‘‘economic need’’ as part of the
eligibility requirement, but solicited
comment on whether it should be
considered and, if so, how it should be
determined. NTIA received comments
opposing adoption of eligibility criteria
25 See U. S. Census Bureau, https://
www.census.gov (Current Population Survey —
Definitions and Explanations).
26 Sunbelt Multimedia Company Comments at 11.
27See supra, para 2.
28See Section 3005(c)(3)(ii) of the Act.
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encompassing economic need because
of the complications involved in such
an analysis. Some commenters also
asserted that NTIA lacks such statutory
authority.29 Other commenters,
however, supported the idea of adopting
a means test and suggested that NTIA
use income or participation in other
federally supported programs as a basis
of determining eligibility. For example,
the American Association of People
with Disabilities suggested that NTIA
adopt a program similar to the FCC
Lifeline-Linkup phone subsidy program
which uses 135 percent of the poverty
level or persons who are beneficiaries of
other federal assistance programs as a
basis for eligibility.30
11. NTIA agrees that including
economic need as an eligibility factor in
the Coupon Program would be a
complicated process. Furthermore,
because this is a one-time program, it
would not be cost effective to develop
eligibility requirements and verification
systems such as those used by other
federal assistance programs, such as
Food Stamps. NTIA noted in the NPRM
that neither the Act nor the legislative
history suggests such a requirement.
Accordingly, NTIA will not consider
economic need as part of an eligibility
requirement for the coupon program.
Moreover, the Agency will only make
the Coupon Program available to
individual U.S. households, as proposed
in the NPRM, not businesses, schools, or
other entities as suggested by one
commenter.31 The Act states that a
‘‘household’’ may obtain coupons, and
there is nothing in the legislative history
or the comments that suggests that
Congress intended to extend eligibility
beyond households.
B. Coupon Value and Use Restrictions
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12. Consistent with the Act, NTIA
proposed in the NPRM to issue $40
coupons to be redeemed only at
certified retailers when purchasing a
CECB. The Agency also proposed to
29 See Carolyn McMahon Comments; Stored
Value Systems, Inc. Comments at 4; Consumer
Union, Consumer Federation of America, and Free
Press Comments at 9-10; Sodexho Comments at 5;
Letter from Members of the House Energy and
Commerce Committee at 2.
30 See American Association of People with
Disabilities Comments at 8 (the federal programs
cited by AAPD include Medicaid, Food Stamps,
Supplemental Security Income, Federal Public
Housing Assistance, Low-Income Home Energy
Assistance Program, Temporary Assistance to
Needy Families, The National School Lunch
Program’s Free Lunch Program, Bureau of Indian
Affairs General Assistance, Tribally Administered
Temporary Assistance for Needy Families, Head
Start, Tribal National Lunch Program).
31 See Jon Kaps Comments (arguing that schools
should be eligible to participate in the Coupon
Program).
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place identifying serial numbers on the
coupons to keep track of the number of
coupons issued to and redeemed by
consumers as well as to minimize fraud,
such as counterfeiting. NTIA did not
propose a specific form of the coupon,
but requested comment on whether the
Agency should issue a paper coupon or
an electronic coupon card.
13. NTIA proposed to restrict each
individual coupon to the purchase of
one CECB. Consistent with the Act,
NTIA also proposed to prevent coupon
holders from using two coupons in
combination toward the purchase of a
single CECB. To prevent fraud, NTIA
also proposed to prohibit coupon
holders from returning a converter box
to a retailer for a cash refund or for
credit towards the purchase of another
item. However, the Agency did propose
to permit the even exchange for another
CECB in the event of defective or
malfunctioning equipment.
14. One commenter argued that a
buyer should be able to use the $40
coupon to buy a converter box with
deluxe features.32 Best Buy supported
only ‘‘even’’ exchanges of devices and
opposed allowing consumers to return
converters for a cash refund or for credit
towards the purchase of an upgraded
device.33 RadioShack recommended
that statements such as ‘‘No Cash
Value’’ or ‘‘Exchange Only for Eligible
Converter’’ be clearly printed on the
coupon and in accompanying consumer
material.34
15. Consistent with the Act, the value
of the coupons issued will be $40. In no
case may consumers receive any cash
value for the coupon.35 If the cost of a
CECB is less than $40, retailers will only
be reimbursed for the retail price of the
box. Likewise, consumers cannot
receive a refund or credit towards the
purchase of another item if the price of
the CECB is less than the $40 value of
the coupon. Retailers and consumers are
also prohibited from using two coupons
in combination towards the purchase of
a single CECB. NTIA recognizes the
opportunities for fraud and abuse by
permitting consumers to receive a cash
refund for the value of the coupon or for
credit towards another item outside of
the program. Therefore, NTIA will
permit an exchange only for another
converter box certified under these
regulations.36
32 Robert
Diaz Comments.
Buy Comments at 4.
34 RadioShack Comments at 13.
35 To further prevent fraud, the Final Rule states
that consumers may not sell, duplicate or tamper
with the coupon.
36 However, if a consumer returns a CECB to a
retailer, the retailer may refund to the consumer
33 Best
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16. Some commenters supported the
use of a paper coupon. For example, one
commenter stated that it was
Congressional intent to issue a paper
coupon with UPC coupon-type barcode,
which brick-and-mortar retailers and
clearinghouses could handle in the
same fashion as manufacturers’ cents-off
coupons because this would minimize
the cost of the overall program.37
Another commenter stated that the
paper coupon was both straightforward
to use and provides for a fast and
economical means to mail eligible
applicants their coupons in a short time
frame.38 Moreover, paper coupons could
have several security features, including
unique serial numbers, barcodes,
security paper and consumer
identification.39 Many of the comments,
however, addressed the problems
associated with paper coupons
including the potential for fraud, delay
in retailer reimbursement and increased
administrative costs.40
17. Other commenters, particularly
retailers, supported the use of an
‘‘electronic coupon card’’ (ECC) on
which the $40 value can be credited
towards the purchase of a CECB. Many
commenters agreed that use of the ECC
was the most efficient way to administer
the program as well as the best way to
reduce fraud.41 CERC stated that an ECC
should (a) bear a ‘‘use by’’ date on its
surface and should be coded to expire
after the time indicated on its surface;
(b) carry a unique serialized number
(encoded in a magnetic strip and
printed in human-readable form on the
card) that can be transmitted to a central
database immediately upon submission
for on-line verification; and (c) provide
clear and succinct rules concerning
coupon use.42 CERC also noted that the
use of ECCs would permit more
consumer friendly converter
exchanges.43 It was also noted that the
use of ECCs would facilitate real-time
transmission of information on
redemption rates which is important
because transmission delays may limit
NTIA’s ability to monitor performance
or to request additional congressional
that portion of the purchase price not covered by
the coupon.
37 See Richard Brittain Comments.
38 See Poorman-Douglas & Hilsoft Notifications
Comments.
39 Id.
40 See CERC Comments at 7-8; Archway
Marketing Services at 5-6.
41 See Joint Industry Commenters at 22; CERC
Comments at 7-8; Samsung Electronics Comments
at 2; Joint Consumer Comments at 17; Best Buy
Comments at 2; RadioShack Corporation Comments
at 10.
42 CERC Comments at 6-9.
43 Id. at 8.
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funding.44 There were, however,
concerns expressed about the use of
ECCs. For example, ORC Macro noted
that these cards may not be compatible
with electronic scanning devices used
by participating retailers, and that the
requirement for electronic systems may
eliminate small retailers from
participating.45 NTIA also received
conflicting comments on whether ECCs
could be encoded to limit use to a
specific product.46 Retailers suggested
that ECCs may require significant upfront costs for software, payment
processing and employee training.47
18. The coupons will not carry any
‘‘stored value,’’ but the appropriate
amount will be identified on the cards
and authorized for redemption when
matched to the central database to verify
each transaction. In light of the
comments received, particularly those
from retailers, NTIA will provide
coupons that are capable of
electronically encoding information that
is necessary for the program to run
efficiently and permit electronic
tracking of transactions. NTIA also
believes that electronically encoded
coupons will reduce opportunities for
fraud in the program. NTIA notes that
electronic information may be encoded
on paper coupons as well as plastic
cards.48
C. Application Process
19. NTIA proposed to require coupon
applicants to submit the following
information: (1) name; (2) address (no
Post Office Box); (3) the number of
coupons required, not to exceed two
coupons; (4) a certification that they
only receive over-the-air television
signals using an analog-only (NTSC)
television receiver; and (5) a
certification that no other member of the
household has or will apply for a
coupon. Furthermore, consistent with
the Act, NTIA proposed to commence
the application period on January 1,
2008 and conclude on March 31, 2009.
If an applicant does not specify the
number of coupons needed, NTIA
proposed sending the applicant one
coupon. Also consistent with the Act,
NTIA proposed sending the requested
coupon(s) via the United States Postal
Service.
44 Joint
Consumer Comments at 17.
Macro Comments at 3.
46 Archway Marketing Services Comments at 6;
Sodexho Comments at 9; Best Buy Comments at 2:
CERC Comments at 7; Stored Value Systems, Inc.
Comments at 8.
47 Best Buy Comments at 2; CERC Comments at
6.
48 An example of a paper card with electronic
tracking capability would be a MetroCard, used in
the Washington D.C.-area Metro system.
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45 ORC
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20. Few of the comments raised
concerns about the information NTIA
proposed to require consumers to
provide as part of the application
process. CERC, however, argued that
certifications that a household receives
only over-the-air television signals and
that no one else in the household will
apply is neither consistent with the Act,
nor practical nor fair.49 Council Tree
Communications Inc. argued that NTIA
should allow for ‘‘alternative methods of
delivering the coupons to Indian
Reservations and Alaskan Native
Villages.’’50 Some commenters
encouraged the Agency to make
applications available in foreign
languages.51 With respect to the
application period, one commenter
suggested that the time period be
extended to December 31, 2009, because
consumers may not understand the need
for a converter box until their
televisions go dark after February 17,
2009.52
21. The Final Rule requires applicants
to provide NTIA with only the
information necessary for NTIA to fulfill
a coupon request. Accordingly,
applicants for coupons must provide the
following: (1) name; (2) address; (3) the
number of coupons that they require;
and (4) a certification as to whether they
receive cable, satellite, or other pay
televison service. NTIA is sensitive to
privacy concerns and is not requesting
unnecessary personal identification
information, such as social security
numbers. Multifamily residences (i.e., a
residence occupied by more than one
family unit) will not be eligible for more
than two coupons unless each
household is occupied as separate living
quarters and has a separate U.S. postal
address. Coupons will be mailed via the
U.S. postal service along with the terms
and conditions of use. Given the
sensitivity of commenters to the
prevalence of Post Office Boxes in rural
America, NTIA will make allowances
for households on Indian Reservations,
Alaskan Native Villages and other rural
areas where Post Office Boxes are the
only means of mail delivery. Residents
of Indian reservation, Alaskan Native
Villages and other rural areas without
home postal delivery may be requested
to supply additional information to
identify the physical location of the
household. With respect to the
application period, NTIA will adhere to
the period provided in the legislation;
thus NTIA will accept applications only
49 CERC
Comments at 9.
Tree Communications Inc. Comments
50 Council
at 1.
51 Sunbelt
52 Robert
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Diaz Comments.
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between January 1, 2008 and March 31,
2009.53
22. Commenters agreed with NTIA’s
proposal to make application forms
widely available.54 NTIA will
administer the program to make it
accessible particularly to those in need
of coupons. As part of the consumer
education program, consumers will be
made aware of the various ways to
access and submit applications for the
Coupon Program. NTIA will ensure that
applications and accompanying
materials are available in other
languages consistent with its obligations
under Executive Order 13166,
‘‘Improving Access to Services for
Persons with Limited English
Proficiency,’’ (Aug. 11, 2000).55 The
Final Rule provides that coupons may
be requested by mail, by phone and
electronically (e.g., by email or through
a website).
D. Coupon Expiration
23. According to the Act, coupons
issued under this program are to expire
three months after issuance.
Accordingly, NTIA proposed to print an
expiration date on each coupon and
proposed that the expiration date be
three months after the coupon’s
issuance date. NTIA defined issuance
date as the date upon which the coupon
is placed in the U. S. mail.
24. Although commenters agreed with
NTIA’s proposal to print an expiration
date on the coupon, many thought that
the proposed expiration date of three
months after the coupon’s issuance
should be extended. The time that
commenters suggested the date be
extended varied from three to ten days
after issuance to take into consideration
such matters as the rural location of the
consumers, homebound or disabled
consumers, slow mail delivery and
coupons lost in the mail.56
25. As stated above, the Act requires
NTIA to issue coupons that expire three
months after issuance. NTIA believes
that three months is reasonable and
allows ample time for consumers to
receive and use the coupons. The
expiration date will encourage
53 Section
3005(c)(1)(A) of the Act.
Comments at 9-10.
55 The Department of Commerce Limited English
Proficiency guidelines are provided on the
Department’s website at https://www.osec.doc.gov/
ocr/doclepplan2003.pdf.
56 Susan Stanke Comments; Richard Brittain
Comments; AARP Comments at 10; Best Buy
Comments at 3; RadioShack Comments at 9;
Sunbelt Multimedia Co. Comments at 11. See also
Ralph L. Mlaska Comments (coupons issued in first
6 months of the year should expire in December;
coupons issued in the last 6 months should expire
in July of the following year); George McLam
Comments (program should last all of 2009).
54 AARP
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consumers to use coupons promptly and
will permit NTIA to use funds from
expired coupons to issue coupons to
other households. Accordingly, NTIA
adopts a rule that coupons will be
issued with an expiration date of three
months after the issuance date. Three
months will further be defined as 90
calendar days to provide a uniform
redemption period for all coupon
recipients. The issuance date will be the
date the coupon is placed in the U. S.
Mail.
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E. Coupon-Eligible Converter Box
26. The Act defines the term ‘‘digitalto-analog converter box’’ (a CECB) as ‘‘a
stand-alone device that does not contain
features or functions except those
necessary to enable a consumer to
convert any channel broadcast in the
digital television service into a format
that the consumer can display on
television receivers designed to receive
and display signals only in the analog
television service, but may also include
a remote control device.’’57 NTIA’s
Final Rule adopts technical
specifications and features required for
a CECB to qualify for the Coupon
Program. Manufacturers are free to
market converter boxes which do not
comply with the requirements of the
Final Rule, although such devices
would not be eligible for the Coupon
Program.
27. NTIA acknowledges that many
sections of the NPRM incorporate
standards or rules adopted by the FCC
regarding digital television transmission
or receiver requirements, and also
incorporate industry standards and
guidelines adopted by the Advanced
Television Systems Committee (ATSC),
CEA or other organizations.58 NTIA’s
incorporation of these industry
standards and guidelines or FCC
standards and rules into its regulations
is intended to assist converter-box
manufacturers by gathering NTIA’s
basic converter-box requirements in a
single place. NTIA’s regulations do not
supercede the FCC’s authority, affect
any FCC requirement or revise any of
the industry standards and guidelines
discussed in this document. In these
regulations, NTIA adopts technical
specifications and features required for
a CECB. NTIA recognizes that CECBs are
not currently available to consumers,
and that manufacturers will have barely
12 months to bring converter boxes
compliant with NTIA specifications to
57 See
Section 3005(d) of the Act.
receiver standards are set forth at 47 CFR
15.117; FCC transmission standards are set forth at
47 CFR 73.682. Examples of industry standards and
guidelines incorporated in this Final Rule are ATSC
A/74 and CEA 909.
58 FCC
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market, less than the typical 18–month
manufacturing cycle.59
28. NTIA underscores that the
converter boxes that will be eligible for
this program are in development and are
not yet commercially available. NTIA
cannot warrant the performance,
suitability or usefulness of any CECB.
29. The NPRM requested comment on
NTIA’s proposed rule to define the
converter box eligible for the Coupon
Program. The NPRM presented several
guidelines which NTIA used in
developing the proposed rule and
analyzing the comments submitted by
the public. These guidelines include the
ability of consumers to continue
receiving broadcast programming in the
same receiving configuration (e.g., same
household antenna, same location) as
used for the existing analog reception;
that the CECBs be inexpensive but meet
a minimum performance level; and that
they should be easy to install and
operate.60
30. The NPRM requested comment on
several related issues, including the
appropriate minimum technical
capabilities for CECBs, their features;
and the extent to which NTIA should
consider certain standards, such as
energy efficiency, in determining the
type of converter box that would be
eligible for the Coupon Program.
Comment was also sought on how NTIA
can determine whether a converter box
meets the requirements of the Coupon
Program and how the CECBs should be
identified so the public is informed that
a specific box is eligible for a coupon.
Comments were received on each of
these issues as well as additional areas.
Each of these is discussed in the
following sections.
a. Minimum Technical Specifications:
ATSC Guidelines A/74 and FCC Part 73
31. The NPRM stated that ‘‘[f]or
purposes of the coupon program, NTIA
proposed certain standards for a
minimum-capabilities converter box
that simply converts an ATSC terrestrial
digital broadcasting signal to the analog
National Television Standards
Committee (NTSC) format.’’61 The
NPRM proposed that the converter box
should be capable of receiving,
decoding and presenting video and
audio from digital television
transmissions as specified in FCC Part
73 (47 CFR Part 73) and that meet the
ATSC Recommended Practice: Receiver
Performance Guidelines ATSC A/74 (A/
74).
59 Thomson
Comments at 8.
71 FR at 42,069-70.
61 Id. at 42,069.
60 NPRM,
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32. NTIA received many comments
regarding the technical specifications
proposed in the NPRM. All the
comments agreed that A/74 should form
the basis of the technical specifications
for the CECB.62 One commenter, Zoran,
urged NTIA to adopt, but not exceed,
the A/74 guideline. Zoran stated that
‘‘[e]xceeding A/74 on a basic set top box
calls for over engineering and the use of
non-commodity parts that increase cost
exponentially.’’63 Many of the
commenters recommended that NTIA
adopt performance specifications for the
converter box that go beyond the
receiver guidelines contained in A/74.
The Joint Industry Comments noted that
there have been ongoing improvements
in technology since the A/74 guidelines
were adopted in 2004 that would enable
NTIA to set reasonable requirements
exceeding A/74 performance levels in
some areas and also to fill in some
requirements for performance levels
where A/74 only specified test
procedures.64 MTVA, an association of
television stations that serve the New
York City metropolitan area, echoed the
Joint Industry Comments and indicated
that it may be possible to improve on
the A/74 performance levels with the
fifth generation of VSB decoder chips
and new RF tuners that have been
developed since A/74 was adopted.65
Charles Rhodes, former Chief Scientist
of the Advanced Television Test Center,
that tested the DTV systems adopted by
the FCC in 1996, stated that A/74 was
just a guideline and was never intended
to serve as a minimum performance
standard.66
33. The New America Foundation et
al (NAF) also recommended that NTIA
establish performance specifications
beyond those contained in A/74.67
NAF’s concerns regarding NTIA
converter-box specifications extend
beyond the delivery of digital television
to those who currently depend on
analog television. NAF argued that the
quality of the converter boxes NTIA
mandates will affect the utility of the
white spaces within TV channels 2–51
62 See e.g., Funai Comments at 7; Microtune
Comments at 1; Motorola Comments at 2.
63 Zoran Comments at. 2.
64 Joint Industry Comments at i. See also LG
Electronics Comments at 10; Samsung Comments at
2; Thomson Comments at 4.
65 MTVA Comments at 9-10.
66 Charles W. Rhodes Comments at 1.
67 See Comments from New America Foundation,
Media Access Project Consumer Federation of
America, Wireless Internet Service Providers
Association (Wispa), Acorn Active Media
Foundation Community Technology Centers’
Network, Champaign Urbana Community Wireless
Network (Cuwin), The Ethos Group, and
Freenetworks.org (collectively, referred to hereafter
as NAF Comments).
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and noted that, in an FCC NPRM on
‘‘Unlicensed Operation in the Broadcast
Bands’’ (Docket 04–186), the FCC
expressed concern that low-quality DTV
receivers could severely impact the
utility of the white spaces within TV
channels 2–51.’’68 NAF suggested that
desensitization performance of the
converter boxes should be considered
and should be equivalent to most of the
stand-alone TV sets presently marketed.
NAF also proposed that detailed
engineering measurements be made of
the susceptibility of current DTV
receiver designs to interference from out
of band signals.69 NAF noted that the
FCC was conducting tests that will not
be available until mid–2007, but
presented preliminary results of the
three receiver tests it funded at the
University of Kansas.70 Raising another
issue regarding interference, MTVA
recommended that NTIA adopt MTVA
specifications for NTSC into DTV taboo
channels (television channels that
cannot be used because of interference
with other channels).71 MTVA did not
provide laboratory or real world
measurements supporting its
recommendation or information on
whether manufacturers can currently
build DTV equipment capable of
meeting proposed specifications.
34. The comments filed by these
organizations all highlight areas where
the commenters believe the A/74
Receiver Performance Guidelines of
June 18, 2004, do not provide a
sufficient level of performance for the
CECB. The technical comments and
thoughtful recommendations of these
commenters prompted NTIA to
reexamine the NPRM proposal that the
A/74 guidelines be adopted as the
performance specifications for the
CECBs.
35. While all of these commenters
recommend that NTIA adopt
specifications or tests to qualify a CECB
that go beyond those in the A/74
guidelines, they each present differing
technical recommendations.72 NTIA
68 NAF Comments at 2; See also Charles W.
Rhodes Comments at 1.
69 NAF Comments at 5.
70 NAF 2nd Comments (November 16, 2006).
71 MTVA Comments at 17.
72 For example, while A/74 does not require any
specific number of field ensembles to be
successfully demodulated, the Joint Industry
Comments recommended that a converter box
successfully demodulate 30 of the 50 field
ensembles included in A/74. Joint Industry
Comments at Appendix 4. Rhodes recommends that
‘‘tests of ACI [adjacent channel interference] should
be carried out over the full range of D [desired]
signal powers that will exist within the coverage
area of the transmitter,’’ while A/74 only specifies
three desired signal power levels. Rhodes
Comments at 4. MTVA stated that multiple
interfering signal tests are important but said that
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shares the concern of the commenters
that CECBs perform at a level to meet
the reception needs of the American
public. NTIA has carefully analyzed the
recommendations presented by the
commenters, and has seen no scientific
data that any proposed set of technical
specifications will ensure any given
level of performance of converter boxes
in real-world environments. Many of the
commenters recommend that further
tests be performed.73 Given the
requirements of the Act that coupons be
available for CECBs early in 2008, there
is time neither for additional analysis
testing as proposed by the commenters
nor for the establishment of industryaccepted standards following such
tests.74
36. While NTIA cannot guarantee the
performance of the CECBs, NTIA
intends that coupons be used for
converter boxes using current
technology available in the marketplace.
To this end, NTIA recognizes that
digital reception technology has
advanced in the two years since the
adoption of A/74. Further, NTIA
recognizes that in order to qualify a
converter box to meet minimum
specifications, it must, in the words of
the Joint Industry Comments ‘‘fill in
some requirements for performance
levels where ATSC A/74 only specified
test procedures.’’75
37. Having reviewed the comments
filed by many parties, NTIA has
accepted the technical
recommendations of the Joint Industry
Comments as the basis for the minimum
technical specifications of the CECB.
The Joint Industry Comments represent
a collaboration by the broadcast
industry and the consumer electronics
industry to present a set of technical
specifications which both industries
believe can provide the American
consumer with a high-quality, low-cost
reasonable interference levels are not yet known.
MTVA Comments at 15. NAF indicated that in
addition to the A/74 guidelines, tests must also
include desensitization performance. NAF
Comments at 5.
73 For example, the MTVA noted that ‘‘reasonable
interference values are not yet known at this time,
but should be investigated (with lab testing) in the
near future recognizing current tuner technology.’’
MTVA Comments at 15. See also Charles Rhodes
Comments at 7 (‘‘testing should cover the same
desired signal power range as in single Taboo
testing above....It is my intention to actually
perform these tests in my own laboratory in the
next few months’’); NAF Comments at 5 (‘‘detailed
engineering measurements as to the susceptibility
of current DTV receiver designs to interference from
out-of-band signals are needed.’’).
74 ‘‘[A]ssuming NTIA adopts final rules by
January 1, 2007, manufacturers will have barely 12
months to bring compliant converter boxes to
market-less than the typical 18-month
manufacturing cycle.’’ Thompson Comments at 8.
75 Joint Industry Comments at 1.
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and easy-to-use CECB. The Joint
Industry Comments use the A/74
guidelines as the basis for their
proposal, but propose several revisions
to reflect advances in technology in the
two years since the A/74 standard was
adopted. Further, they propose target
performance levels in several areas
where A/74 only specifies test
procedures. The NAB and MSTV have
funded the development of converterbox prototypes from two manufacturers
which they state demonstrate that the
technical specifications they propose
are ‘‘clearly achievable in practical
products designed to be amenable to
production in mass manufacturing
quantities. Further, the project results
provide tangible evidence that a highquality, low-cost converter box can be
built with measured performance that
exceeds the levels specified in the ATSC
A/74 Recommended Practice on
Receiver Performance in several
important areas and consequently can
provide reliable reception under a
variety of real-world conditions.’’76
38. NTIA believes that CECBs should
be produced according to specifications
currently accepted by major
manufacturers. It would be contrary to
the public interest if coupons were used
to purchase converters designed with
obsolete or poorly performing
components.77 On the other hand, some
commenters suggested technical
specifications that have not been widely
agreed upon nor quantified; and
products in widespread commercial
deployment have not been tested to
these specifications. The technical
specifications adopted by NTIA should
provide American consumers with an
economical CECB containing state-ofthe-art technology available today from
manufacturers within the time frame
required by the Act.
39. Therefore, NTIA adopts the
required minimum features and
technical specifications in Technical
Appendix 1 of the Final Rule. In
addition, NTIA specifies permitted and
prohibited features of a CECB in
Technical Appendix 2.
b. Converter-Box Antenna Inputs
i. Smart Antenna
40. The NPRM proposed that the only
input to the converter box shall be for
an external antenna. The NPRM stated
that ‘‘[a] single input (Type F connector)
ensures that only an antenna can be
76 Id.
at 13.
from Members of the House Energy and
Commerce Committee at 2 (stating that converter
boxes should, at a minimum, replicate the picture
and audio quality consumers experience today
when watching their analog televisions).
77 Letter
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connected to eligible boxes thus
ensuring use of such boxes as for overthe-air television reception only.’’78 The
F-type connector is the standard
antenna input in most television
receivers. While the F-type connector
was supported by all who commented
on antenna inputs, many commenters
requested that an additional antenna
input be permitted in the CECB. Most of
the comments proposing an additional
antenna input requested the flexibility
to include an interface for a technology
known as a smart antenna.79 A smart
antenna allows for automatic electronic
steering and signal-level control so a
consumer can receive the best signal for
each channel. The Joint Industry
Comments stated that in many markets,
television stations’ transmitters are
located on different sides of the
population center due to separation
requirements or other practical
considerations outside their control. In
these instances, consumers can achieve
the best reception using electronically
steered smart antennas.80
41. MTVA stated that in difficult
reception environments, the DTV video
and audio is either perfect or
nonexistent and the use of a smart
antenna can mean the difference
between having good DTV service or no
service.81 CERC noted that a smart
antenna would ‘‘better allow consumers
to adjust for propagation characteristics
and set capabilities. This may minimize
consumer disappointment and post-sale
product exchanges.’’82
42. Zoran, however, opposed the use
of a smart antenna and only supported
the use of a passive antenna.
RadioShack supported the option of a
smart antenna interface in a CECB. In its
comments, RadioShack did not propose
that a smart antenna interface be
mandated as it will add unnecessary
cost for many consumers, but
recommended that it should be an
option in a certified converter box for
those consumers who seek it.83
43. NTIA recognizes that DTV
reception can be difficult in many
regions of the country. The NPRM stated
that ‘‘[i]deally, a converter box should
be able to receive digital broadcast
signals in the same receiving
configuration (e.g., same household
antenna, same location) as used for the
78 NPRM,
71 FR at 42,070.
standard for smart antenna interfaces is
defined by the CEA-909 Antenna Control Interface
standard, which is included in the A/74 guidelines,
Section 4.2.
80 Joint Industry Comments at 17.
81 MTVA Comments at 5-6.
82 Zoran Comments at 3; but see CERC Comments
at 10.
83 Radio ShackComments at 20.
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existing analog reception.’’84 NTIA
notes, however, recent GAO
congressional testimony indicating that
antenna reception of digital signals may
vary based on a household’s geography
and other factors.85 In addition,
antennas configured for primarily VHF
service may not be as effective as many
stations switch to UHF frequencies.
44. After reviewing the comments
from Joint Industry Comments, MTVA
and others, as well as the GAO
congressional testimony, NTIA
concludes that many consumers may
wish to use smart antennas. While NTIA
expects that the industry will continue
to work on improving the performance
and reduce the cost of both passive and
active smart antennas, NTIA believes
that many consumers will benefit from
smart-antenna technology to receive
over-the-air digital television
broadcasts. It is clear, however, that a
smart-antenna interface will add to the
cost of the converter box and will not
be needed by many households.
45. In order to permit the inclusion of
a smart antenna, but not add to the cost
of the converter box for those who do
not require this capability, the Final
Rule will permit, but not require,
manufacturers to include in their CECBs
the circuitry and connectors associated
with the so-called smart-antenna
interface.
ii. Bundling
46. In its comments, Funai supported
the use of a smart antenna and
recommended that ‘‘the ‘bundling’ of
such an antenna with a DTA box should
not preclude eligibility for the
subsidy.’’86 Funai suggested that
‘‘[a]lthough prices may fluctuate due to
market conditions, we conservatively
estimate that it is possible to price a
DTA and Smart-Antenna bundle at less
than $100.’’87 NTIA does not believe
that the bundling of a smart antenna
with a converter box meets the
requirement of the Act which defines a
CECB as a ‘‘stand-alone’’ device.88 The
purchase of a smart antenna at the same
time a consumer purchases a converter
box equipped with a smart-antenna
interface will ease the installation and
operation of the converter box for many
people. Manufacturers or retailers may
wish to offer combined purchases of
converter boxes with smart antenna
interfaces and smart antennas at
promotional prices. The CECB,
however, must be presented for sale at
84 NPRM,
71 FR at 42,069.
GAO Challenges Report at 6.
86 Funai Comments at 10.
87 Funai 2nd Comments at 1-2.
88 See Section 3005(d) of the Act.
85 See
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all outlets as a stand-alone single unit
and cannot be sold conditioned on the
purchase of any other items.
iii. CEA–909
47. CEA–909 is the current industry
standard for a smart antenna interface.
MTVA stated that ‘‘eligibility should not
be limited to only devices that comply
with this standard (CEA–909) since
such a requirement could preclude or
delay technological advances in this
area that are now being considered.’’89
NTIA recognizes that technological
advances are being made in many areas
of digital television broadcasting. In
order for this program to proceed so
converter boxes can be available to the
public in 2008, however, NTIA must
establish a Final Rule to specify CECBs
which manufacturers will build during
2007. A reference to this standard will
be included in the Final Rule for the
program.
iv. 300 Ohm Inputs
48. The Community Broadcasters
Association (CBA) did not object to
NTIA’s proposal that a CECB have an RF
input, but recommended that
‘‘manufacturers who choose to add a
300–ohm input with screw terminals
should not be penalized for doing so.’’90
The CBA comments included no further
explanation or information supporting
this recommendation. NTIA recognizes
that use of 300–ohm antenna inputs is
old technology and has no information
on the number of television receivers in
use today that are equipped only with
300–ohm antenna inputs. NTIA also
recognizes that many inexpensive
indoor ‘‘rabbit-ear’’ antennas have 300–
ohm connectors. NTIA notes that
manufacturers of television receivers
commonly include inexpensive
matching transformers to connect 300–
ohm ribbon leads to Type F inputs
rather than including built-in 300–ohm
antenna inputs, and that such
transformers are commonly available
where television receivers are sold. We
believe that the use of these inexpensive
transformers is the most economical
method of meeting the needs of those
consumers who have television
receivers which only contain 300–ohm
inputs. The Final Rule, therefore, will
permit, but not require, manufacturers
to include matching transformers to
connect 300–ohm ribbon leads to the
required Type F connectors. The Final
Rule will also permit manufacturers to
89 MTVA
Comments at 5.
Comments at 6. Richard Brittain also
noted that older sets still have 300–ohm ribbon
leads and screw terminals instead of Type F
connectors. See Richard Brittain Comments.
90 CBA
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provide connectors for 300–ohm inputs
on the CECB.
c. Analog Signal Pass Through
49. The National Translator
Association recommended that the
CECBs pass analog signals directly
through without processing or
modification.91 The CBA also requested
that NTIA require that CECBs pass
through an analog signal, either actively
or passively. CBA noted that Class A
and LPTV stations are not subject to the
February 17, 2009 end-of-transition
deadline, applicable to full-power
stations. It indicated that it was
important that the converter box not
block the analog signal.92 LPTV licensee
Island Broadcasting noted that
thousands of LPTV stations in the
United States will remain analog after
the transition and are not carried on a
cable system or other multi-channel
video delivery service. Island
recommended that the converter box
contain a feature to pass through the
analog signal from the antenna to the TV
receiver, either when the box is shut off,
the signal is passed, or by means of a
built in by-pass switch.93 Funai,
however, noted that ‘‘[a]n analog pass
through, while conveniently retaining
legacy analog TV support, would
degrade the RF noise performance of all
so-equipped DTA tuners by 3dB–a
penalty that could not be recovered by
any consumer with such a unit.’’ Funai
recommended that a consumer purchase
a separate switch and/or external
splitter to receive analog television.94
50. NTIA is sensitive to the needs of
consumers who will wish to continue to
view over-the-air analog television
during and after the digital transition.
Not only will many consumers continue
to rely on analog television reception of
Class A stations, LPTV stations and
translators after the transition, many
consumers who purchase the CECB will
require the ability to receive analog
television signals during the transition
period as not all full-power television
stations in the United States have
completed their digital build-out. NTIA,
however, is reluctant to require an
analog pass through feature because it
will result in a reduction in received
signal level and in increased cost to all
91 National
Translator Association Comments at
1.
92 CBA
Comments at 3.
Broadcasting Comments at 2. Similar
comments were filed by the Association of Public
Television Stations (APTS), which recommended
‘‘that NTIA allow eligible converter boxes to
contain a built-in and easily workable A/B switch.’’
APTS Comments at 30. Richard Brittain
recommended a pass through of analog signals if
the box is turned off. See Brittain Comments.
94 Funai, 2nd Comments at 2 (Nov. 17, 2002).
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consumers who purchase a CECB. The
amount of reduction in receiver
sensitivity and increased cost is
dependent on how the analog pass
through feature is implemented. This
reduction may not be noticeable to
consumers who receive strong signals in
urban areas, but may mean that
consumers who receive marginal digital
and analog signals will be unable to
receive television signals via the CECB.
NTIA notes that switches and external
splitters are commonly available where
television sets are sold. A single A/B
switch will not fully bypass a CECB,
however, creating a difficult wiring
scenario for the consumers. Splitters
and their inherent loss as well as
additional cabling makes their use less
than optimal in fringe reception areas.
NTIA strongly urges manufacturers to
take into consideration the needs of
consumers to receive analog television
along with digital television in the
development of CECBs and to
investigate minimal signal loss solutions
that would ensure an acceptable analog
signal pass-through. In the Final Rule,
NTIA permits that the converter box to
pass through the analog signal from the
antenna to the TV receiver.
d. Converter-Box Outputs
i. RF and Composite Video Outputs
51. The NPRM proposed that the
converter box contain the following
outputs: Composite video and stereo
audio (all three RCA connectors) and
Channel 3 or 4 switchable (NTSC) RF
(Type F connector) output. RadioShack
recommended that NTIA permit the
inclusion of an RF modulator output as
an option, but not require this feature.
RadioShack stated that ‘‘there are only
a limited number of households with
televisions requiring RF modulators,
and of those households, many have
already purchased RF modulators in
order to connect such devices as DVD
players and game consoles, etc. Thus,
mandating that all consumers pay extra
for a product they do not need or may
already have in order to satisfy the
needs of a smaller number of consumers
seems inconsistent with Congress’
desire to subsidize a reasonably priced
converter box.’’95
52. Most commenters on the subject
supported the inclusion of both
composite video/audio and RF outputs
in the converter box. THAT Corporation
(THAT Corp.) noted in its comments
that ‘‘[t]o utilize these (composite video)
outputs, consumers must be able to
connect three separate cables from these
converter box outputs to three
95 RadioShack
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Comments at 19.
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corresponding inputs on the TV
monitor. . . such a hookup requires a
degree of technical competence lacking
in many consumers.’’96 All receiver
manufacturers supported the inclusion
of both RF and composite outputs as did
comments received from other members
of the public. A few commenters
suggested that NTIA permit the
converter box to include an S-video
output.97 S-video is an analog output
which delivers standard definition
video to the television receiver.
53. As noted earlier, NTIA seeks to
ensure that the CECB will be easy to
install and operate. The RF output is
very easy to use as it only requires the
consumer to connect a single cable
between the converter box and the
analog television. The Final Rule,
therefore, requires that the CECB
include an RF output and also requires
that the CECB include composite
outputs for those consumers who wish
to continue to use the features provided
by this technology. NTIA will also
permit a S-video output which provides
a better standard definition picture
using a simple and inexpensive hookup
with one cable.
54. In its comments, Funai
recommended that NTIA clarify the
types of outputs that would not be
permitted in a CECB. Funai commented
that ‘‘we feel that it is inappropriate to
extend Coupon Program eligibility to
devices that support high-definition
(HDTV) viewing, i.e., a display with
higher-than-standard definition video
resolution.’’98 Funai then listed a series
of connectors which it felt should not be
permitted in the NTIA supported
converter box. Funai requested that the
following connectors be excluded from
the converter box program: Digital
Video Interface (DVI), high-definition
multimedia interface (HDMI), analog
component video (YPbPr), computer
video (VGA), as well as USB IEEE–1394
(sometimes trademarked as iLink or
Firewire), or IEEE–802.3 (Ethernet) or
IEEE–802.11 (wireless).99 Funai further
recommended that ‘‘any device that
includes an integrated display intended
for use as the primary video
presentation should be ineligible for the
Subsidy.’’100
55. In the NPRM, NTIA proposed that
‘‘the converter box would not be
required to render pictures and sound at
more than standard definition
96 THAT
Corp. Comments at 8-9.
example, Zoran, Brittain, and Diaz
recommended that NTIA permit S-video as an
output. See Zoran Comments at 1; Richard Brittain
Comments; Diaz Comments at 1.
98 Funai Comments at 11.
99 Id. at 11-12.
100 Id.
97 For
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quality.’’101 This proposal follows from
the definition of a converter box
contained in the Act, which limits the
converter box to a unit so ‘‘the
consumer can display on television
receivers designed to receive and
display signals only in the analog
television service.’’102 If NTIA were to
permit any digital output to the CECB,
then it would cease to be a digital-toanalog converter and would become a
digital tuner capable of providing a
digital signal to a television monitor.
This would clearly be beyond the plain
language of the Act which states that the
CECB shall ‘‘convert any channel
broadcast in the digital television
service into a format that the consumer
can display on television receivers
designed to receive and display signals
only in the analog television service.’’103
56. Therefore, NTIA specifies in the
Final Rule those connectors that will
not be permitted in a CECB. Likewise,
NTIA clarifies in the Final Rule that
CECBs are prohibited from containing
items such as display screens, recorders
or storage devices that go beyond the
simple task of converting a digital
television signal to an analog signal for
display on analog television receivers.
ii. Audio outputs
57. Two organizations, the WGBH
National Center for Accessible Media
(NCAM) and THAT Corp., commented
on NTIA’s proposal that the outputs
include stereo audio. The NPRM
proposed that ‘‘[t]he outputs shall be
channel 3 or 4 (NTSC modulated
signals), composite video (NTSC
baseband), and audio (stereo).’’104
58. THAT Corp. requested that NTIA
clarify the stereo requirement proposed
in the NPRM. They noted that the
proposed output with ‘‘composite video
(NTSC baseband), and audio (stereo)’’
will provide the analog television
receiver with a stereo audio signal.
THAT Corp. continued stating that the
proposed output on ‘‘channel 3 or 4
(NTSC modulated signals)’’ does not, by
itself, provide a stereo signal to the
analog television receiver. THAT Corp.
notes that ‘‘the RF output will contain
stereo (left/right) audio information if,
and only if, the output contains BTSC
stereo audio information.’’105 They
101 NPRM,
102 See
71 FR at 42,069-70.
Section 3005(d) of the Act.
103 Id.
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104 NPRM,
71 FR at 42,070.
Corp. at 13. ‘‘BTSC’’ derives from the
Broadcast Television Systems Committee, an
industry group convened in the late 1970s that,
primarily, added additional audio channels to
NTSC, allowing stereo (left and right) audio and a
second audio program (SAP) channel to be
broadcast. In 1984, the FCC developed rules and
105 THAT
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recommended that NTIA specify that
the RF output must contain BTSC stereo
audio information.
59. NCAM recommended that the
converter boxes’ audio outputs support
the Secondary Audio Program (SAP)
service where video description for
blind individuals is provided. NCAM
indicated that video description within
digital television signals will be
delivered via multiple ancillary audio
services (including alternate language
audio) and these additional audio
channels should be available via the
subsidized converter box.106 NTIA notes
that television stations are not required
to broadcast video descriptions.107 None
of the commenters provided information
regarding the number of digital
television stations providing video
description services, the number of
people served by such services, or the
number of manufacturers currently
building digital television equipment
capable of processing such services.
NTIA believes that it would be desirable
for manufacturers to include a
capability in CECBs that will enable the
use of SAP type services, including
video description.108 We note that
because digital television encodes audio
in a different manner than the encoding
used in analog television, digital
television does not utilize the SAP
channel present in analog television.
Standards and guidelines for digital
television audio are contained in ATSC
publications A/52, A/53 and A/54.109
Section 6.6 of A/54 provides for two
types of main audio service and six
types of associated services, including
specified a pilot tone for BTSC. See Second Report
and Order, Docket No. 21323, Rad. Reg. 2d (P&F)
1642 (1984). See Multichannel Television Sound
Transmission and Audio Processing Requirements
for the BTSC System in OET Bulletin No. 60,
Revision A (Feb. 1986).
106 Combined Comments of NCAM, American
Association of People with Disabilities, and
Information Technology and Accessible Interface
Rehabilitation Engineering Research Center, Trace
Center-University of Wisconsin-Madison Comments
at 2 (hereafter NCAM Comments). The secondary
audio program channel is provided under the BTSC
standard and the FCC does not require nor restrict
the use of the SAP channel.
107 See Motion Picture Ass’n of Am. v. FCC, 309
F.3d 796 (D.C. Cir. 2002) (holding that the FCC did
not have statutory authority to issue video
description regulations).
108 Congress enacted this coupon program ‘‘[t]o
help consumers who wish to continue receiving
broadcast programming over the air using analogonly televisions.’’ H.R. Rep. No. 109—362, at 201
(2005) (Conf. Rep.). Consistent with that guidance,
NTIA encourages manufacturers to incorporate
features that enhance accessibility.
109 Audio standards for digital television are
contained in ATSC A/52, Digital Audio
Compression Standard, (AC-3); ATSC A/53, and
ATSC Digital Television Standard; guidelines for
implementation of ATSC audio are contained in
ATSC A/54, Recommended Practice: Guide to the
Use of the ATSC Digital Television Standard.
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12105
associated services for the visually
impaired (VI). The A/54 standard also
permits the transmission of secondary
language programming and reserves
associated audio services for the hearing
impaired (HI) and for emergencies (E).
Because of the important public services
that may be provided by these
associated audio services, NTIA will
permit CECBs to be capable of
processing these associated audio
services broadcast by a digital television
station, particularly as more stations
provide them in the coming years.
60. Manufacturers may provide
output for the main channel audio
service and associated audio services on
the RF Type F connector by using either
of the following two methods. NTIA
will permit manufacturers to follow
current industry practice regarding RF
outputs for audio/video equipment
which provides a mono RF output
which is switchable between a station’s
main channel audio and other
associated audio services. In this
instance, consumers could use a button
on the converter box remote control to
select the RF output for a station’s
monaural main channel audio or toggle
through a station’s visually impaired
(VI) or other associated audio services.
NTIA will also permit manufacturers to
provide BTSC Multichannel Television
Sound (stereo audio) in the RF output.
The BTSC stereo audio signal and
included SAP carrier will provide stereo
main channel or visually impaired or
other associated audio service to the
television receiver as selected by the
consumer. Consumers will also have the
option of receiving stereo audio through
the converter box’s left/right audio
outputs (RCA connectors).
iii. Multicast Reception
61. Funai asked NTIA to clarify its
interpretation of the Act which defines
the converter box in part, as a device ‘‘to
enable a consumer to convert any
channel broadcast in the digital
television service.’’ Funai stated that the
converter box ‘‘should provide access to
all ‘sub-channels’ of a DTV
transmission, i.e., the so-called ‘major
and minor’ channels that may be
transmitted as a ‘multicast’ by the
broadcast operator.’’110 NTIA believes
that multicast capability is an integral
feature of digital television transmission
and the Act clearly intends that the
CECB convert all channels, including
those that are multicast. NTIA notes that
the Act’s definition requires the
converter box to ‘‘enable a consumer to
convert any channel broadcast in the
digital television service into a format
110 Funai
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that the consumer can display on
television receivers designed to receive
and display signals only in the analog
television service.’’111 The Act,
therefore, does not permit the output to
another device such as a computer
which might be required to capture
streams of data included on the digital
television transport stream. The Final
Rule will clarify that a CECB is required
to receive, decode and display all
channels, including multicast channels,
broadcast by digital television station
that can be displayed on an analog
television receiver.
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e. Requirements for Closed Captioning,
Emergency Alert System (EAS) and
Parental Controls (V-Chip)
62. NTIA proposed in the NPRM that
CECBs comply with FCC requirements
for Closed Captioned, Emergency Alert
System (EAS) and the required parental
controls (V-chip).112 Several
commenters noted that the FCC Rules
require that television tuners decode
Captioning and Parental Control (VChip) and, therefore, NTIA regulations
are not required in this regard.113
63. Several commenters state that
there are no FCC-imposed specific EAS
requirements on television receivers at
this time.114 NTIA notes that the FCC
requires that all digital television
stations participate in the Emergency
Alert System after December 31,
2006.115 The Emergency Alert System is
an important way that national, state
and local emergency management
personnel reach the public with
emergency messages. It is, therefore, in
the public interest that all television
viewers be able to receive and display
EAS messages. The Final Rule will
include a requirement that, in order to
111 See Section 3005(d) of the Act (emphasis
added).
112 NPRM, 71 FR at 42,070.
113 The FCC’s Closed Captioning receiver
requirements are contained in 47 CFR 15.122 and
incorporate the CEA 708 standard ‘‘Digital
Television (DTV) Closed Captioning’’ which was
developed from the CEA 608 standard. The FCC’s
Parental Control (V-Chip) receiver requirements are
contained in 47 CFR 15.120 and incorporate the
EIA/CEA-766-A standard. ‘‘U.S. and Canadian
Region Rating Tables (RRT) and Content Advisory
Descriptors for Transport of Content Advisory
Information using ATSC A/65-A Program and
System Information Protocol (PSIP).’’ FCC
requirements for Closed Captioning and Parental
controls were noted by Thomson, Funai and
Brittain. Thomson Comments at 3; Funai Comments
at 7; Richard Brittain Comments at 5.
114 Funai, Thomson and Richard Brittain noted
that there were no FCC rules regarding EAS
applicable to television receivers. Funai Comments
at 7; Thomson Comments at 3; Richard Brittain
Comments at 5.
115 In the Matter of Review of the Emergency Alert
System, First Report an Order and Further Notice
of Proposed Rulemaking, FCC 05-191, November 3,
2005.
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be eligible to participate in the NTIA
Coupon Program, a CECB must be
capable of receiving, decoding and
displaying EAS messages broadcast by
digital television stations as required by
the FCC Rules.116
64. NTIA believes that it is helpful to
manufacturers that the Final Rule
provide a comprehensive listing of
features required for a CECB. With
regard to Closed Captioning and
Parental Controls, NTIA will require
that CECBs comply with the FCC
receiver requirements for Closed
Captioning and Parental Controls and
NTIA will not impose any requirements
beyond those contained in the FCC
Rules.117
f. Tuning Capability to All Television
Channels 2–69
65. There was no opposition to the
NPRM proposal that the converter box
tune to all television channels, 2–69.
This proposed rule reaffirmed the FCC
Rules that ‘‘TV broadcast receivers shall
be capable of adequately receiving all
channels allocated by the Commission
to the television broadcast service.’’118
NTIA clarifies that the CECB is required
to receive signals for those television
channels that will be ‘‘out of core’’
(channels 52–69) once the digital
transition is complete.
66. In its comments, CBA notes that
it is important that the tuning capability
of boxes not stop at channel 51 because
Class A and LPTV stations are permitted
to operate on channels 52-69 on a
secondary basis even after the February
17, 2009 deadline when full power
stations must broadcast within the
FCC’s ‘‘core’’ channels, 2–51. Moreover,
operation on temporary companion
digital channels will be permitted on
channels 52–59, even after the end of
the full-power transition; and temporary
flash-cut digital operations is permitted
on channels 60–69 when no other
channel is available.119
67. NTIA did not receive comments
opposing the action. The Final Rule
contains the requirement that the CECB
receive all television channels 2–69.
g. Remote Control
68. In the NPRM, NTIA proposed that
the CECB be operable by and include a
remote control. The Act specifically
permits NTIA to require a remote
control, and remote control units are
now standard with almost all consumer
video equipment such as television
116 47
CFR Part 11.
CFR 15.120, 15.122.
118 47 CFR 15.177(b).
119 CBA Comments at 6; see also MTVA
Comments at 11; Joint Industry Comments at
Appendix 1.
117 47
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receivers, VCR and DVD players and
recorders. There were few comments on
the requirement to include a remote
control. Brittain noted that there may be
‘‘real-world reasons for requiring a
remote (such as to provide the
minimum ATSC functionality).’’120
69. NCAM called NTIA’s attention to
the difficulty the blind and visually
handicapped have in using remote
controls. NCAM recommended that the
CECB’s remote control contain
dedicated keys which provide direct
access to the closed captioning function
and the SAP/video description
function.121 To that extent NCAM
directed NTIA’s attention to Section 508
related to products purchased by the
Federal government. Section 508
applies to all Federal agencies when
they develop, procure, maintain or use
electronic and information
technology.122 Although converter
boxes may fall under the definition of
electronic and information technology,
NTIA is not developing, procuring,
maintaining or using CECBs; therefore,
Section 508 is not applicable to CECBs
in NTIA’s program. Nevertheless, NTIA
strongly urges manufacturers to take
into consideration the needs of
consumers with disabilities in the
development of CECBs.
70. In order to ease customer use of
the remote control, the Final Rule will
require that the remote control is
supplied with batteries and uses
standard technology and codes
commonly used by television
manufacturers as part of remote controls
provided with television receivers. The
standard codes for the remote control
will be included in the CECB
instructions so consumers can, at a
minimum, program an existing remote
control to turn on and off both the
converter box and their existing analog
television receiver. The Final Rule will
also permit the manufacturer to provide
a programmable remote control which
can accept the code of the consumer’s
existing analog receiver and related
video/audio equipment.
h. Program Information Displays
(Electronic Program Guide)
71. Many commenters raised the issue
of whether the inclusion of an electronic
program guide would disqualify a
converter from being eligible for the
Coupon Program. The Joint Industry
Comments stated that the requirement
that broadcasters transmit program
120 Richard
Brittain Comments at 5.
Comments at 3. NCAM also suggested
the inclusion of a ‘‘talking menu’’ which can read
out the functions that are highlighted on an onscreen menu. Id.
122 See 29 U.S.C. 794d.
121 NCAM
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content information is included in the
FCC’s adoption of the ATSC A/65
standard regarding transmission of
Program System Information Protocol
(PSIP), including program content
details in digital television broadcast
signals. They felt that this requirement
‘‘is premised on the FCC’s conviction
that a mechanism for locating digital
channel and program content, including
multicast channels, is an integral feature
of the digital television experience.’’123
72. The inclusion of an electronic
program guide was supported by
television receiver manufacturers
Samsung, Thomson and LG Electronics.
LG Electronics noted that ‘‘[e]ase of use
is particularly important given the
ability of digital broadcasters to transmit
multiple program streams (i.e,
multicast) via their DTV signals.’’124
CERC recommended that the converter
boxes contain program guides and the
capability to process PSIP data because
such features may be of assistance to
consumers that are inexperienced in
finding and tuning digital channels.
They also note that the components and
software for displaying PSIP data are
commonly included in the manufacture
of televisions.125
73. Gemstar-TV Guide International
(‘‘Gemstar’’) requested that NTIA permit
the inclusion of hardware and software
that would enable a consumer to receive
Gemstar’s TV Guide On Screen
electronic program guide or other thirdparty guides. Gemstar notes that
distribution of television program
information is required by the A/65
standard, which defines the PSIP. The
PSIP also includes information about
the multicast channels and contains the
parental control (V-chip) information
required by the FCC. Gemstar further
notes that many televisions are
equipped with built-in capability to
receive and display Gemstar’s TV Guide
On Screen service. Gemstar stated that
it is working with the Society of Cable
Telecommunications Engineers
regarding the Digital Video Standard
706 ‘‘VBI-in-MPEG’’ which will allow
carriage of existing analog standard
definition video VBI signals in digital
broadcast transmissions.126
74. RadioShack sought clarification
that it would be permissible to include
full PSIP capability and noted that overthe air television viewers will see the
number of broadcast channels increase
fourfold and thus having the television
appropriately display the channels is an
important feature for these viewers.
RadioShack also noted that because the
functionality is imbedded in chips
already, providing this functionality
adds no cost to the box.127
75. After reviewing the comments
received on the NPRM, NTIA requires
that the converter box receive, decode
and display information contained in
the PSIP broadcast pursuant to the A/65
standard. NTIA notes that television
receivers must decode the PSIP in order
to display the parental controls required
by the FCC. The basic capability of
decoding PSIP information, therefore, is
already required of all converter boxes.
Moreover, with PSIP functionality
incorporated in ATSC tuner chips, it
would be costly and impractical to
require manufacturers to build
converters without such functionality.
76. Further, NTIA will permit, but not
require, a CECB to display other
electronic program information. As
noted by many of the commenters, this
capability will assist the consumer in
navigating through the many channels
that will be provided by digital
broadcasters. NTIA believes the means
to achieve such electronic program
information should be left to the
judgment of individual receiver
manufacturers who will be permitted to
make hardware and software
modifications necessary to display
electronic program information.
i. Software Upgrades
77. Several commenters
recommended that NTIA require that a
CECB be capable of receiving software
updates from an over-the-air terrestrial
broadcast distribution service.128
Update Logic noted that the converter
boxes are essentially small computers
which contain a set of software
programs, software that has bugs and
needs updates. They also noted that in
everything from PCs to cell phones to
ATMs, routine and multiple software
upgrades have been installed to fix
errors, improve quality and maintain
functionality. The converter box will be
no different.129
78. CBA noted that digital television
technology is likely to advance in the
not-too-distant future, as equipment
manufacturers seek to make the system
more robust and efficient. If upgrade
capability is forbidden, then the boxes
that qualify for subsidies may become
obsolete and may be discarded before
the end of the useful life of their
Industry Comments at 16-17; see also 47
CFR 73.682.
124 LG Comments at 7.
125 CERC Comments at 10.
126 Gemstar Comments at 6-8.
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electronic components. In no event
should the program impose a restriction
that will shorten the useful life of the
product.130
79. NCAM echoed these comments
and added that over-the-air software
download mechanisms are available to
assure the continuing successful
operation of the boxes and should be
required as part of the maintenance
program that should also be put in place
by manufacturers of the devices.
Software downloads will accommodate
any potential future changes to
emergency alerting, closed captioning or
V-chip parental control ratings as they
may develop.131 Both the NAF and the
National Council of Women’s
Organizations reiterated that converter
boxes should have the capability of
receiving software downloads to repair
problems and make necessary
updates.132
80. National Datacast indicated that
an industry standard for software
downloads exists. ‘‘The broadcast and
CD industry anticipated the need for
firmware updates and created the ATSC
‘Software Data Download Specification’
(A–97) which was ratified in 2004.’’133
81. After reviewing these comments,
NTIA believes that the automatic
software download and upgrade
capability proposed by the commenters
is a desirable feature that could
materially ease the consumer’s use of
the CECB. The use of automatic software
upgrades could benefit both
manufacturers in updating software and
the users in upgrading a CECB’s
authorized features. It is NTIA’s
understanding that this automatic
software update feature was only
recently field tested and is not currently
commercially available, even in
expensive television receivers134 NTIA
is reluctant to require that
manufacturers include in a CECB this
new technology which is just emerging
from field tests. The Final Rule will,
therefore, permit a CECB to receive and
decode software pursuant to ATSC
Standard A–97.
j. Energy Specifications
82. In response to its request for
comments on whether and to what
extent NTIA should consider energy
usage in determining eligibility
130 CBA
Comments at 6-7.
Comments at 4-5.
132 NAF Comments at 7; NCWO Comments at 1.
133 National Datacast Comments at 1.
134 Field tests were completed of the ‘‘UpdateTV’’
technology in July 2006 and the service is expected
to be commercially available in 2007. Update Logic
Comments at 5.
131 NCAM
127 RadioShack
123 Joint
Comments at 20.
from Members of the House Energy and
Commerce Committee at 2 (CECBs should have the
capability to be updated, modified, or repaired in
circumstances where problems arise).
129 Update Logic Comments at 1.
128 Letter
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criteria,135 several comments urged
NTIA to either adopt minimum
requirements or, on a permissive basis,
encourage manufacturers to incorporate
certain energy efficiency features. In
addition to several comments generally
urging NTIA to address energy usage,
three areas of specific recommendations
emerged from the comments: (1) an
automatic power down feature and
maximum power level for converters in
‘‘sleep’’ or standby mode; (2) a
maximum power level in the ‘‘on’’ or
operating mode; and (3) the effect of an
NTIA energy specification on various
state regulations and proposals.
83. The majority of comments support
adoption of some type of energy usage
requirement into the eligibility criteria
for CECBs.136 With respect to NTIA’s
proposal to consider the CECB’s cost,
comments advised NTIA to consider
that energy costs could raise the box’s
overall cost. According to the American
Council for an Energy-Efficient
Economy (ACEEE), a converter without
energy usage limits of any kind would
cost ‘‘more than two times more to
operate over its estimated 5 year life
than its estimated $40-$50 purchase
cost.’’137 Comments assert that energy
standards for CECBs would reduce the
energy cost for U.S. consumers, thereby
lowering the overall cost of ownership.
84. The record suggests that
significant operating cost and energy
savings could be achieved by requiring
CECBs to include an auto power-down
feature and standby power limits. The
Environmental Protection Agency (EPA)
estimated that televisions are not in use
in typical households for 18–20 hours
per day, yet converter boxes may remain
on during that time if no one turns them
off or if there is no automatic powerdown feature.138 The EPA urged NTIA
to require an auto power-down feature,
to mandate that products be shipped
with the feature enabled, and also
suggested an auto power down feature
after four hours of user inactivity,
combined with a one watt power limit
in standby mode.
85. A supplementary comment was
received from the Joint Industry
Comments with the additional support
of the Natural Resources Defense
Council (NRDC) and the CERC139
135 NPRM,
71 FR at 42,070.
Resources Defense Council (NRDC)
Comments at 4; American Council for an EnergyEfficient Economy (ACEEE) Comments at 1; Letter
from Members of the House Energy and Commerce
Committee at 2.
137 ACEEE Comments at 1.
138 EPA Comments at 2.
139 Letter of CERC, The Association for Maximum
Service Television, Inc., National Association of
Broadcasters, and Natural Resources Defense
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136 Natural
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requesting NTIA adopt two energy use
performance specifications: (a)
converters shall use no more than two
watts of electricity in a ‘‘Sleep’’ state,
and (b) converters shall meet an
automatic power-down requirement
after four hours of inactivity.140 The
Joint Industry Energy Comment also
recommended these settings be enabled
at the factory as default settings that
could be changed by the consumer.141
86. Walmart also supported an
automatic standby mode after four hours
with a maximum allowable standby
level of two watts.142 The standby
energy level of two watts is also
consistent with the CEA’s voluntary
standard CEA–2013 and is appropriate
for the narrow purposes of the converter
coupon program.143 No comments
opposed adoption of a four-hour
standby trigger or a two watt standby
energy level. NTIA believes that
consumers will benefit significantly
from an automatic power-down feature
triggered after four hours of inactivity
and a ‘‘sleep’’ state operating power
level of two watts. Therefore, NTIA will
require these performance capabilities
for eligible converters.
87. ACEEE calculated that significant
cost savings could be realized through
capping a CECB’s operating power
limits at eight watts, a reduction from an
estimated 17 or 18 watts.144 No other
comments suggested an operating limit
be imposed. Walmart stated that while
it is ‘‘very supportive of efforts to reduce
the ‘On-mode’ power use due to the
additional energy savings they can
provide, we are deferring such
discussions to other policy forums such
as ENERGY STAR and state standard
setting procedures.’’145
88. We are aware that, on January 31,
2007, the EPA’s ENERGY STAR
program adopted voluntary
specifications for converter boxes. The
EPA’s voluntary specifications include
one watt power consumption during the
‘‘sleep’’ mode and also include eight
watt power consumption during the
‘‘on’’ mode.146 NTIA’s requirements for
a CECB include two watt power
Council to Honorable John M.R. Kneuer, (Joint
Industry Energy Comments) (Oct. 25, 2006).
140 This measurement is in accordance with
industry standard, CEA 2013-A.
141 Joint Industry Energy Comments at 4.
142 Walmart Comments at 2; see also NRDC
Comments at 4; ACEEE Comments at 1.
143 CEA Standard 2013, Digital STB Background
Power Consumption.
144 See EPA Comments at 2; ACEEE Comments at
1.
145 Walmart Comments at 2.
146 The EPA ENERGY STAR specifications are
available on the Internet at https://
www.energystar.gov/ ia/partners/productlspecs/
eligibility/dtaslelig.pdf.
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consumption during the ‘‘sleep’’ mode,
and does not include a specification for
power consumption during the ‘‘on’’
mode. NTIA urges manufacturers
participating in the Coupon Program to
adopt those ENERGY STAR
specifications.
89. Some comments assert that cost
savings could be achieved by adopting
a single, national pre-emptive energy
consumption standard.147 These parties
are concerned that by permitting states
to enact their own energy efficiency
standards for converter boxes, the cost
would rise for all converter boxes as
manufacturers attempt to design,
manufacturer, test and distribute boxes
that comply with varying requirements
of individual states. Motorola generally
opposed including energy standards
into the regulations, but said that to the
extent that an energy requirement is
considered, it should be instituted at the
Federal level and not the state level to
avoid inconsistent and costly
requirements.148
90. NTIA is adopting these
performance capabilities solely for the
purpose of implementing the Coupon
Program and does not intend to
influence any other Federal or state
agency activity regarding energy
efficiency guidelines or requirements for
CECBs. Converter boxes are not yet
commercially available and
manufacturers are willing to design and
produce them as new products with
these energy efficiency requirements.149
NTIA is also persuaded by those
comments regarding the cost savings
that can be achieved by converter boxes
that incorporate energy efficient
standards.
k. Other proposals regarding the
converter box specifications.
91. KTech, a manufacturer of DTV
equipment, provided several
recommendations regarding features of
the CECB. KTech recommended that the
CECB contain a LED power light to
allow users to determine if the external
power is connected to the unit. KTech
noted that ‘‘a ‘power-good’ display
function [should be] allowed on the
converter as a possible health and status
display of the unit.’’150 NTIA has
determined that a power light LED will
be useful to consumers in the operation
of the CECB, and the Final Rule will
147 Joint Industry Energy Comments at 20; LG
Comments at 11; Walmart Comments at 2; CERC
Comments at 11; APTS Comments at 30.
148 Motorola Comments at 3.
149 LG Comments at 11-12; Thomson Comments
at 6.
150 KTech Comments at 4.
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require a power light indicating when
the unit is turned on.
92. KTech believes that, as written,
the NPRM only permits an antenna
input and does not state that an external
AC/DC power input connector is
allowed on the CECB. In the Final Rule,
NTIA clarifies the power input
connections and also responds to
several comments regarding the use of
battery power. Brittain noted that, as a
safety measure, ‘‘many people have a
second, battery-operated TV for use if
the power goes out; virtually all of these
are analog, and it will likely be years
before similar DTVs are available at an
affordable price.’’ He recommended that
the Final Rule ‘‘should be written so as
not to prohibit battery-powered boxes,
which would be a necessity for batterypowered TVs.’’151 Because of the public
interest benefit, the Final Rule,
therefore, permits, but does not require,
manufacturers to provide converter
boxes that operate on battery power as
well as those which use an external AC/
DC power input.
93. KTech also recommends that
NTIA require that the CECB display a
variety of technical measurements to
assist consumers in improving
television reception. KTech notes a
variety of possible reception
impairments (e.g., multi-path
interference and signal blockage). KTech
recommends that the CECB display test
measurement results for RF power level
expressed in dBm, measured Signal-toNoise Ratio number expressed in dB,
measured Bit Error Rate and other
technical measurements that could aid
the consumer in taking steps to improve
signal reception.152
94. NTIA recognizes that television
signal reception for some consumers
will present challenges, whether analog
or digital. As discussed earlier, to assist
consumers in improving signal
reception, the Final Rule permits the
inclusion of a smart antenna interface in
the signal box. NTIA notes that the A/
74 guidelines states that ‘‘[t]he
capability to display received signal
quality conditions on a quasi-real time
basis is a feature that should be
included in all digital broadcast
receivers.’’ To further assist consumers
in improving signal reception, we
include in the Final Rule provisions that
require manufacturers to include
software which will display on the
television receiver signal strength and
permit the display of other operating
parameters chosen by the manufacturer.
Display of signal information on the
television receiver will provide
151 See
Richard Brittain Comments.
Comments at 4.
152 KTech
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information to the consumer at minimal
cost. NTIA will not, however, specify
exactly what such signal-quality
information should contain. NTIA will
follow the guideline of A/74, that
‘‘[m]eans to achieve such signal quality
indications should be left to the
judgment of individual receiver
manufacturers.’’153
95. Brittain recommends that the
CECB come with a Type F cable to
connect the RF output of the converter
box to the RF input of the television
receiver.154 Because most consumers
who purchase a CECB will require at
least a cable of this type, we believe that
such an RF cable is integral to the use
of the converter and should be required.
The Final Rule will, therefore, require
that manufacturers supply an RF cable
and also permit manufacturers to supply
additional cables, such as a cable with
three RCA connectors, if they desire.
F. Manufacturer Certification
96. In the NPRM, NTIA proposed that
manufacturers self-certify that their
CECBs meet NTIA’s performance
specifications and reserved the right to
test CECBs that have been self-certified
to ensure that they meet NTIA’s
technical eligibility requirements.155
NTIA sought comment on this proposal
and other compliance testing and
verification procedures that could be
used for the Coupon Program.
97. Several commenting parties
referred to the FCC’s well-established
three-tiered approach for Equipment
Authorization.156 Most supported
NTIA’s proposal that, after successful
testing, manufacturers self-certify that
their CECBs meet the NTIA eligibility
features and functionality; some
recommended that the manufacturer’s
test results be submitted to a third party
for an independent level of review.157
Most parties felt that ‘‘certification,’’ the
most stringent level of FCC technical
approval, applicable to new technology,
computers, cell phones and other nontelevision products, was inapplicable to
CECBs. Motorola said that a third-party
certification process would decrease the
amount of time available for product
153 Advanced Television Standard Committee,
Standard A/74, section 4.7 ‘‘Consumer Interface–
Received Signal Quality Indicator.’’
154 Richard Brittain Comments.
155 NPRM, 71 FR at 42,070.
156 ‘‘Verification’’ or self-certification;
‘‘Declaration of Conformity’’ which requires testing
by third-party laboratories selected from an
accredited list; and ‘‘Certification’’ under which the
FCC itself tests products prior to approval. The
procedures are described at https://www.fcc.gov/oet/
ea/procedures.html#sec1.
157 Thomson Comment at 7; LG Comments at 10;
CERC Comments at 10-11; Funai Comments at 1213.
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12109
development and would increase the
costs of bringing the device to
market.158 RadioShack opposed
government testing of each model
certified as it would burden
manufacturers and delay product
introduction.159
98. Most commenters supported an
approval process proposed by the Joint
Industry Comments, termed
‘‘verification plus.’’ The Joint Industry
Comments stated the following:
Rather than developing a new and
untested conformity assessment
program, the Joint Industry
Commenters urge that NTIA
leverage the existing resources of
the FCC, the longstanding expert
agency in this area, to conduct an
efficient and accurate conformity
assessment process. Specifically,
NTIA should adopt a ‘‘verification
plus’’ process, based on the FCC’s
present, well-established and wellunderstood verification procedures.
Under these procedures,
manufacturers would be
responsible for conducting
compliance testing at their own
facilities or through an independent
laboratory contracted by the
manufacturer. This process would
ensure efficiency and avoid delays
that would occur if the FCC or any
other third-party entity were
required independently to test
every converter box. To ensure the
integrity of the program, however,
the FCC, most likely through its
Office of Engineering and
Technology, should have the ability
to be involved in the approval
process before the devices are
released to market. To this end,
manufacturers should be required
to submit their test results, along
with appropriate samples of the
tested equipment, to the FCC. The
FCC should then review test results
to ensure conformity between the
converter boxes and the NTIA’s
performance standards which
themselves are based on standards
endorsed by or known to the FCC.
If the FCC does not alert NTIA and
the manufacturer of any problem
within 15 days of when the data
were submitted, the device should
automatically qualify for the
program. If the FCC does issue
notification of a problem, however,
it should expedite its own testing
and rapidly notify NTIA and the
manufacturer of any
158 Motorola
Comments at 2.
Comments at 21.
159 RadioShack
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noncompliance.160
99. NTIA will adopt the FCC’s
verification process as the core of its
technical acceptance plan to identify
CECBs. As noted, several stakeholders
in the Coupon Program, including
manufacturers, retailers and
broadcasters, support this proposal.
This approval process will not unduly
burden manufacturers and will not add
significant costs or delay to the
development and production of CECBs.
100. NTIA believes it is not
procedurally sound for converters to
become ‘‘automatically’’ eligible for the
Coupon Program without agency
confirmation. While manufacturers may
market any converter or other device
including digital-to-analog decoding
functionality outside of the Coupon
Program, NTIA intends to use a central
electronic tracking database to track
retailers’ point-of-sale (POS)
transactions including authorization of
coupon redemptions and sales data of
CECBs.161 Action is required, therefore,
by NTIA to load and update eligibility
data (e.g., product SKU) for each model
approved by NTIA.
101. Therefore, the Final Rule
requires manufacturers to conduct tests
or have independent laboratories
conduct tests to demonstrate that each
converter model meets the features and
performance specifications set forth in
our regulations for CECBs. It also
requires manufacturers to provide
detailed certified test results along with
a sample of the tested equipment to
NTIA and its designee. NTIA has
entered into an agreement with the FCC
by which the FCC may review the
manufactures’ converter box test results
submitted to NTIA. The FCC may test
converter boxes, if necessary. NTIA will
base its decision to approve each
converter box upon its consultation
with the FCC. A Public Notice will be
published subsequent to issuance of the
Final Rule to provide manufacturers
with specific address and contact
information regarding the required
submission of these materials. NTIA
will record the date test results and
sample models are received and will
notify the manufacturer of the date by
which the agency intends to make a
determination of eligibility. In general,
NTIA will attempt to ensure that the
review of test results and any additional
testing are completed within the 15–day
period proposed by the Joint Industry
160 Joint
Industry Comments at 21-22.
from Members of the House Energy and
Commerce Committee at 3 (coupon program should
be designed so that retailers can provide updated
information concerning the inventory of converter
boxes in order to remedy supply difficulties
promptly).
161 Letter
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Comments. As promptly as possible,
NTIA will issue a statement of eligibility
or non-eligibility for each converter
model submitted by a manufacturer.
The agency will attempt to meet
demand, although the pacing of
manufacturer submissions may be
uneven. Because it is impossible to
determine at this time how many
manufacturers will submit test results
and equipment, whether multiple
models will be built by each
manufacturer, and when converters will
be proposed for inclusion in the Coupon
Program, NTIA must allow flexibility to
establish the appropriate time frame for
agency review. As noted above, NTIA
will promptly include make and model
number information in its POS data,
consumer education materials and other
files used to identify CECBs.
102. Finally, NTIA reserves the right
to test CECBs. As an additional means
to ensure that converters made available
to the public as part of the Coupon
Program meet NTIA’s technical
specifications, NTIA may select
converters to test at any time during the
course of the Coupon Program. If a
converter box appears not to meet
NTIA’s technical specifications, NTIA
will follow a process similar to that
used by the FCC in consulting with the
manufacturer. If a converter box model
is subsequently found not to meet the
features and performance specifications
set forth in the Final Rule, that model
will no longer be eligible for the Coupon
Program.
G. Retailer Participation
103. In the NPRM, NTIA noted that
participation by retailers in this program
would be voluntary, and that NTIA
would not compensate retailers that
choose to participate. Given the nature
of the program, NTIA proposed to
permit consumers to redeem coupons at
retailers that have established
production and distribution channels
and who have demonstrated that they
can redeem coupons expeditiously and
efficiently.162 NTIA proposed to require
retailers to adhere to and enforce
coupon restrictions such as prohibiting
coupon holders from using two coupons
in combination towards the purchase of
a single CECB and prohibiting
consumers from using coupons to
purchase any device other than an
eligible converter box, pursuant to these
regulations. NTIA proposed to
reimburse retailers within 60 days after
receiving sales information related to
CECBs.163
104. Several comments were received
from retail companies, organizations
and members of the public addressing
these proposals and raising other issues
affecting retailers. NTIA believes that
the regulations of this one-time program
should not discourage retailer
participation. Some comments noted
that there has not been a governmentsponsored program involving retailers
quite like the Coupon Program, but that
other government programs such as the
USDA’s Food Stamps and Women,
Infants and Children’s benefits may
provide examples for NTIA to follow.164
105. Commenters made
recommendations and asked NTIA for
clarification with respect to (a) retailer
obligations to predict or meet demand
for CECBs; (b) legal liability and
additional operating costs for retailers
who voluntarily participate in the
program; (c) the timing for retailers to be
ready to redeem coupons; (d) need for
confidential treatment of sales data; (e)
retailer certification criteria and
procedures; (f) payment terms to
retailers; and (g) consumer and retailer
appeals.
a. Retailer Obligations to Predict or
Meet Demand
106. CERC stated that retailers and
manufacturers should not be subject to
sanction for an inability to predict or
meet demand. They pointed out that the
demand for converters may peak in the
millions and then drop toward zero, all
within a period as short as 90 days. At
the end of the Coupon Program, excess
inventory may be unsellable at any
price.165 RadioShack opposed an
obligation on the part of the retailer to
maintain inventory in all stores at all
times because it would be burdensome
and perhaps impossible to meet such a
requirement.166
107. NTIA recognizes that the product
cycle for converters is unknown and
perhaps atypical of consumer
electronics products generally.
Furthermore, NTIA does not want
retailers to decline to participate
because they feel that our requirements
are too burdensome or unrealistic.
Therefore, NTIA will clarify that
retailers are expected to follow
commercially reasonable practices in
ordering and managing inventories of
CECBs.
108. CERC raised a related point in
response to NTIA’s proposal that
retailers accept the obligation ‘‘to honor
all valid coupons that are tendered in
164 RadioShack
162 NPRM,
71 FR at 42,070.
163 Id.
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Comments at 2-3.
Comments at 4.
166 RadioShack Comments at 16.
165 CERC
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the authorized manner.’’167 A
reasonable interpretation, according to
CERC, is that a retailer will honor valid
coupons ‘‘if the retailer is offering
subsidized Converters for sale at the
time the coupon is presented by the
consumer.’’168 NTIA agrees and will not
expect retailers to attempt to redeem
coupons if they have no CECBs
available for sale.
b. Legal Liability and Additional Cost
for Retailer Participation
109. CERC described NTIA’s
statement in the NPRM that retailers
must certify ‘‘under penalty of law’’ as
‘‘insufficiently vague to offer guidance
yet daunting in their possible
consequence.’’169 CERC stated that any
interested retailer would reasonably
want to be fully aware of the potential
for liability, to third parties as well as
to the government, before agreeing to
participate.170 Similarly, RadioShack
asked us to clarify what was meant that
retailer certification statements would
be made ‘‘under penalty of law.’’ They
suggested that penalties ‘‘would only
apply to intentional efforts to defraud
the program and that unintentional noncompliance or error would not be
subject to penalties.’’171
110. The Act did not include any
specific government remedies or civil or
criminal penalties for violations or noncompliance with the statute or the
regulations promulgated by NTIA
thereunder. Retailers should be aware,
however, that other statutes provide for
civil or criminal penalties for
wrongdoing in connection with federal
programs such as the Coupon
Program.172 For example, the False
Claims Act establishes penalties for
‘‘any person who knowingly presents, or
causes to be presented, to an officer of
employee of the United States
Government . . . a false or fraudulent
claim for payment or approval.’’173
NTIA clarifies that it does not intend to
sanction retailers for unintentional noncompliance or error. NTIA encourages
retailers and other participants in the
Coupon Program to familiarize
themselves with the laws that impose
liability for making false statements to
the Federal government, for making
false claims, or engaging in other
activities that violate Federal law.
167 See
NPRM, 71 FR at 42,070.
Comments at 11.
169 CERC Comments at 12 (quoting NPRM, 71 FR
at 42,070).
170 Id.
171 RadioShack Comments at 16.
172 See e.g., 18 U.S.C. 1001 (‘‘False Statement
Statute’’); 31 U.S.C. 3729 (False Claims Act).
173 31 U.S.C. 3729(a).
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111. CERC and other commenters
expressed concern that they may incur
substantial costs to participate in the
program. CERC stated that the
‘‘[c]onverter is a unique, limited
occasion product that is likely to be
subject to unique laws of supply,
demand, and subsidy. As a matter of
public policy, there are simply too many
novel costs and risk factors, and
imponderables, for NTIA to place these
investments, expenses, and risks solely
on the backs of retail vendors who come
forward to participate in this
program.’’174 The electronically
trackable coupon will necessitate
custom changes to retailers’ point of
purchase systems. RadioShack added
that ‘‘[i]n a normal retail environment,
a retailer would likely consider this cost
as an investment, amortized against the
sales life of the many products sold in
its stores. . .[But] there is nothing
against which to amortize this cost - the shelf life of the eligible converter
box is as short as the 18 months of the
program and the system upgrade is only
required for the purchase of the few
models of eligible converter boxes.’’175
Best Buy also pointed out that their
‘‘current electronic processing systems
are not able to limit an Electronic
Coupon Card to a single product
purchase.’’176
112. CERC stated that it would be
prudent to use some of the
administrative funds authorized for the
Coupon Program for ‘‘NTIA’s contract(s)
with its vendor(s) to provide—in light of
the apparent inadequacy of existing
commercial channels—for the
distribution of the necessary software
and other system support to
participating retailers as an included
cost of the program.’’177 RadioShack
said such payments could be
‘‘considered analogous to the
manufacturers’ common payment to
retailers of fees for the handling of their
manufacturing coupons.’’178 In the
NPRM, NTIA stated that it will not
compensate retailers for participating in
the program. NTIA maintains that it
does not intend to compensate retailers
directly for participation in the program.
NTIA, however, fully intends to
distribute and process coupons
consistent with reasonable commercial
practices that do not place undue
burdens on participating retailers.
Comments at 11.
Comments at 17.
176 Best Buy Comments at 2.
177 CERC Comments at 11.
178 RadioShack Comments at 17.
c. Timing of Retailers to be Ready to
Redeem Coupons
113. Best Buy urged NTIA and its
contractor to ‘‘avoid the holiday months
of October, November, December and
January to require participating retailers
to implement or upgrade any POS
systems.’’179 Best Buy stated that
because these months include the
heaviest shopping traffic and volume of
transactions of the year, it could not risk
any costly down time of its systems or
employees caused by complicated
upgrades.180 CERC said that ‘‘once into
the holiday shopping season, it would
be very difficult for retailers to modify
their point of sale and other hardware
and software systems so as to be ready
by January 1, 2008.’’181
114. NTIA reiterates that it is its
intent to establish regulations and
procedures that are reasonable and
practical in light of commercial
constraints. The Act requires NTIA to
accept requests for coupons between
January 1, 2008 and March 31, 2009,
and thus, it proposed that retailers be
ready to redeem coupons starting
January 1, 2008, consistent with the
statutory guidance. NTIA expects
widespread retailer POS system
modifications to occur in the first
quarter of 2008.
d. Confidential Treatment of Sales and
Inventory Data
115. Consistent with the legislative
history regarding measures to reduce
fraud and abuse, NTIA intends to
establish a system for coupon
redemption that is easily audited.182
NTIA will need to ensure that only valid
coupons are redeemed by those actually
requesting them, how many CECBs are
being sold, how many are available in
the market, and how demand is pacing
for the program’s initial and contingent
funding. NTIA will need cooperation
from retailers to provide reports of that
nature. CERC pointed out that NTIA
will receive ‘‘sales data, pertaining to
individual retailers and manufacturers,
that ordinarily would be held
confidential by these entities.
Accordingly, it will be necessary to
protect the non-aggregate sale data of
particular retailers and their vendors, as
highly confidential.’’183 RadioShack
urged NTIA to clarify that its vendor
‘‘will retain such proprietary
information confidentially’’ and that it
174 CERC
179 Best
175 RadioShack
180 Id.
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Buy Comments at 2.
181 CERC
Comments at 4.
Conf. Rep. at 202.
183 Id. at 12.
182 See
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will ‘‘not be released to the public or to
other retailers or manufacturers.’’184
116. Again, because NTIA wishes to
encourage participation by a wide range
of retail entities in the Coupon Program,
competitively sensitive or proprietary
information provided by retailers in
non-aggregated form to NTIA will be
treated confidentially consistent with
federal law and regulations, including
Freedom of Information Act requests
and court orders.
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e. Retailer Certification and Procedures
117. Commenting parties generally
supported NTIA’s proposal that retailers
comply with specific requirements by
certifying that they will: (1) provide
information to customers about the
necessity for and the installation of a
CECB; (2) have in place systems that can
be easily audited as well as systems that
have the ability to prevent fraud and
abuse in the Coupon Program; (3) are
willing to be audited at any time during
the course of the Coupon Program; (4)
have the ability to electronically provide
NTIA with sales information related to
coupons used in the purchase of CECBs,
specifically tracking each serialized
coupon by number with a
corresponding certified converter box
purchase; and (5) will only submit
coupons for redemption as a result of
purchases of CECB models certified by
NTIA.185
118. CERC stated that certification
should entail representations by
retailers that they have ‘‘established
production and distribution channels
and have demonstrated that they can
redeem coupons expeditiously and
efficiently.’’186 Radio Shack urged NTIA
to require participating retailers ‘‘to
demonstrate that they have experience
in consumer electronics retail.’’187
119. NTIA agrees that retailers must
have experience in consumer
electronics retail sales sufficient to
support the sale of CECBs as an
additional CE product. We do not think
that this program is appropriate for
brand new ventures, either of the bricks
and mortar type or online sellers. NTIA
agrees with CERC that demonstrated
capabilities as to staff, training, capacity
to carry inventory and to order and take
delivery of CECBs through commercial
channels is important.188 As a result,
retailers will need to certify that they
have been engaged in the consumer
electronics business for at least one year
prior to their application. This
184 RadioShack
Comments at 15.
71 FR at 42,070.
186 CERC Comments at 11.
187 RadioShack Comments at 15.
188 CERC Comments at 11.
requirement may be waived by NTIA
upon a showing of good cause. A
determination of ‘‘good cause’’ will be
based on a showing of what is the best
interest of the coupon program. This
application process will provide NTIA
with information well in advance of the
2008 launch of which retailers will
participate and what markets will be
served.
120. The comments from retailers
were unanimous that NTIA should
dispense with the proposed consumer
certifications regarding eligibility. CERC
said that the two per household limit
‘‘can be complied with by the simply
electronic means of not allowing the
system to allocate more than two
coupons to any specific household
address.’’189 RadioShack said that
‘‘fraud would be minimized by use of an
electronic coupon card’’ with several
suggestions on how the request,
distribution, and redemption system
would work.190 NTIA agrees that an
electronically trackable system will
enable NTIA to reduce the chance that
no more than two coupons are sent to
a given household. NTIA agrees that
retail employees should not be placed in
the position of having to judge whether
a particular customer is eligible to
purchase the product. However, NTIA
expects retailers to report suspicious
patterns of customer behavior to NTIA.
Recognizing that many scenarios may
exist for fraudulent activity, NTIA will
leave it to the retailer’s discretion as to
the type of behavior that requires
notification to NTIA.
121. Some commenters addressed the
need for retailers to provide information
to customers about converter boxes. In
support of NTIA’s proposal, RadioShack
said that retailers should be required to
demonstrate that their sales people have
received ‘‘specific training on the
necessity for and use of the converter
box so that consumers can ask questions
and receive accurate answers. [B]ecause
the need for specific features and
capabilities will vary based on the age
and location of televisions,
knowledgeable sales people are
essential to the success of the converter
box program.’’191 Best Buy said that
‘‘[w]hile it is reasonable to expect
participating retailers to inform
consumers on which converter boxes
are eligible for the coupon subsidy, they
should not be legally required to invest
in displays, placards, or advertisements.
Retailers should be allowed flexibility to
incorporate the list of eligible converters
into existing consumer education and
185 NPRM,
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communications plans and materials at
their own discretion.’’192 NTIA agrees
and will not specify how retailers are to
market or promote CECBs.
f. Payment Terms.
122. NTIA proposed that retailers
participating in the Coupon Program
would be required to present to the
Government coupons for payment
within 30 days of the redemption
transaction and retain hard copies of
sale information for one year, and that
payment from the Government would be
made to the retailer for all validly
redeemed coupons within 60 days of
receipt by the Government.193
Commenting parties asserted that if an
electronic system is used, there would
be no need for a records retention
requirement, and that the proposed 60–
day payment would be unnecessarily
long.
123. RadioShack said that ‘‘a retailer
may be reluctant to participate in the
program, knowing that they are in effect
lending the government $40 for each
sale for at least 60 days.’’194 Instead,
RadioShack suggested that
‘‘reimbursement should occur
immediately upon a transaction. . .
[W]ith an electronic coupon card
system, the reimbursement would be
automatic with the transaction, saving
an endless amount of time in the
transaction settlement process.’’195
124. Payments from program funds to
retailers will be accomplished in a
commercially reasonable manner. While
it may be possible for payment to occur
within a day or two if an electronically
trackable system is used, payments will
typically be processed no later than 3
business days after the retailer submits
an authorized transaction to NTIA or its
contractor. For purposes of these
payments to retailers, ‘‘business day’’
means a calendar day other than a
Saturday, Sunday or a federal holiday.
To ensure that vendors are paid
promptly, they will be required to
complete a Central Contractor
Registration (CCR). CCR validates the
registrant information and electronically
shares the secure and encrypted data
with the federal agencies’ finance offices
to facilitate paperless payments through
electronic funds transfer (EFT). To
ensure payment to the retailer and
provide a closed loop audit trail, NTIA
will require retailers to provide positive
verification that payment has been
received for authorized coupon
redemption transactions. With respect
192 Best
189 CERC
Comments at 9.
190 RadioShack Comments at 10-11.
191 RadioShack Comments at 15.
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Buy Comments at 3.
71 FR at 42,070.
194 RadioShack Comments at 16.
195 Id.
193 NPRM,
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to retaining hard copies of sales
information for one year, in view of the
decision to allow the use of ECCs, NTIA
will not require retailers to retain hard
copies of this information. However, for
auditing purposes, sales information
must be retained for at least one year
and to the extent that retailers choose to
retain it electronically, they should be
prepared to convert it to a hard copy
format if requested by NTIA.
H. Consumer Education
125. Many commenters offered
suggestions about effective means of
educating consumers about the Coupon
Program. While the program regulations
will not directly address consumer
education issues, NTIA will carefully
consider the many commenters’ advice
as it develops a comprehensive
consumer education campaign. In
addition, the comments demonstrated
the link between consumer education
and other aspects of the proposed Rule,
such as coupon eligibility, application
process and certification of eligible
boxes and participating retailers.
Commenters offered many useful
suggestions about educating consumers
about the Coupon Program. Mindful of
the need to manage our consumer
education resources effectively and to
work cooperatively with the consumer
electronics and broadcast industry,
community organizations, and the FCC,
NTIA will build on the commenters’
suggestions to develop a comprehensive
consumer education effort.
III. Procedural Matters
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Paperwork Reduction Act
The Paperwork Reduction Act (PRA),
44 U.S.C. Chapter 35, requires federal
agencies to seek and obtain OMB
approval before undertaking a collection
of information directed to ten or more
persons. Under the PRA, a rule creates
a ‘‘collection of information’’ where ten
or more persons are asked to report,
provide, disclose, or record
‘‘information’’ in response to ‘‘identical
questions.’’
In the NPRM, NTIA invited comment
on three information collections
required for the implementation of the
Coupon Program. To successfully
administer the Coupon Program, NTIA
requested approval on three collection
requirements and reporting
requirements for: (1) The applications
that households must submit to receive
coupons; (2) the certification form for
retailers that will sell the converter
boxes and submit coupons for
redemption; and (3) the certification
form and recordkeeping and reporting
requirements for manufacturers
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regarding converter boxes eligible for
the coupon program. Specifically,
comments were invited on (a) whether
the collection of information is
necessary for the proper performance of
the functions of the agency, including
whether the information will have
practical utility; (b) the accuracy of the
agency’s estimate of burden including
the validity of the methodology and
assumptions used; (c) ways to enhance
the quality, utility; and clarity of the
information collected; and (d) ways to
minimize the burden of the collection of
information on those who are to
respond, including through the use of
appropriate automated, electronic,
mechanical, or other technological
collection techniques or other forms of
information technology.
NTIA received over 100 comments in
response to the NPRM. There were no
comments submitted specifically with
respect to the information collection
and recordkeeping requirements. The
comments to the NPRM and the analysis
to the NPRM, however, resulted in
changes or modifications from the
proposed rule to the Final Rule.
Accordingly, NTIA has modified certain
aspects of the information collection
and reporting requirements. These
modifications are discussed below.
(1) Title: Application for the Digitalto-Analog Converter Box Coupon
Type of Request: New Collection
Estimate of Burden: Public reporting
burden for this collection of information
is estimated to average .25 hours (15
minutes) per transaction
Respondents: U.S. households
Estimated Number of Respondents:
110 million
Estimated Number of Responses per
Respondent: 1
Estimated Total Annual Burden on
Respondents: 27,500,000 hours
This new information collection is for
the application required to request and
receive a coupon to purchase a digitalto-analog converter box. This collection
of information is necessary for NTIA to
provide the benefit to U.S. households
as directed in the Act. In the NPRM,
NTIA estimated the public reporting
burden for this collection to average .25
hours (15 minutes) per respondent. The
NPRM identified the respondents
affected by this information collection
as U.S. television households that
receive over-the-air television in an
analog format. The estimated number of
respondents was 21 million U.S.
television households. Because the
Final Rule has been changed to include
all U.S. households, the estimated
number of respondents is 110 million.
This estimate assumes that all U.S.
households with analog television sets
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12113
will apply for a coupon. The Final Rule
requires consumers to submit the
following: (1) name; (2) address; (3) the
number of coupons requested; and (4) a
certification as to whether they receive
cable, satellite, or other pay televison
service.
The OMB Approval Number of the
information collection will be provided
in a subsequent Federal Register notice.
(2) Title: Certification for Retailer to
Accept and Redeem Coupons for the
purchase of a Digital-to-Analog
Converter Box Coupon
Type of Request: New Collection
Estimate of Burden: Public reporting
burden for this collection of information
is estimated to average .25 hours per
respondent
Respondents: Retailers that accept
coupons for digital-to-analog converter
boxes
Estimated Number of Respondents:
10,000
Estimated Number of Responses per
Respondent: 1
Estimated Total Annual Burden on
Respondents: 2,500 hours
As part of the coupon program,
retailers that choose to participate in the
program by selling converter boxes must
accept the coupons from consumers and
then seek reimbursement from the
Federal Government. The Final Rule
requires retailers that wish to participate
in the program to submit a form to the
agency which requires them to selfcertify to that they: (1) have been
engaged in the consumer electronics
retail business for at least one year; (2)
have completed a Central Contractor
Registration; (3) have in place systems
that can be easily audited as well as
systems that can provide adequate data
to minimize fraud and abuse in retail
redemption and government payment
for coupons; (4) agree to have coupons
box sales audited at any time during the
term of participation in the coupon
program by the U. S. Government or an
independent auditor at no expense to
the retailer; (5) will provide NTIA
electronically with redemption
information and payment receipts
related to coupons used in the purchase
of converter boxes, specifically tracking
each serialized coupon by number with
a corresponding converter box purchase;
(6) agree only to accept coupons for, and
receive payment from authorized
purchases made for CECBs.
The OMB Approval Number of the
information collection will be provided
in a subsequent Federal Register notice.
(3) Title: Certification of Digital to
Analog Converter Box
Type of Request: New Collection
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Estimate of Burden: Public reporting
burden for this collection is estimated at
1.25 hour per respondent
Respondents: Companies that
manufacture digital to analog converter
boxes who request NTIA certification
Estimated Number of Respondents: 10
Estimated Number of Responses per
Respondent: 1
Estimated Total Annual Burden on
Respondents: 12.5 hours
Manufacturers that wish to participate
in the program must submit a notice of
intent to NTIA at least three months
prior to submitting test results and
sample models of converter boxes. The
notice shall include a brief description
of the proposed converter box,
including permitted as well as required
features, and the date which the
proposed converter box is expected to
be available for testing. The notice of
intent shall supply the name, title and
address and phone number of an
individual responsible for the
manufacturer’s submission. When the
manufacturer submits its converter box
to NTIA, it shall also provide test results
along with a certification of the testing
supervisor as to their authenticity,
completeness, and accuracy.
The OMB Approval Number of the
information collection will be provided
in a subsequent Federal Register notice.
Executive Order 12866
This Final Rule has been determined
to be economically significant for
purposes of Executive Order 12866; and
therefore, has been reviewed by the
Office of Management and Budget
(OMB). In accordance with Executive
Order 12866, and Economic Analysis
was completed outlining the costs and
benefits of implementing this program.
The complete analysis is available from
NTIA upon request.
Executive Order 12988
This Final Rule has been reviewed
under Executive Order 12988, Civil
Justice Reform. NTIA has determined
that the rule meets the applicable
standards provided in section 3 of the
Executive Order, to minimize litigation,
eliminate ambiguity, and reduce
burden.
Congressional Review Act
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This rule has been determined to be
major under the Congressional Review
Act, 5 U.S.C. 801 et seq.
Regulatory Flexibility Analysis
As required by the Regulatory
Flexibility Act, an Initial Regulatory
Flexibility Analysis (IRFA) was
prepared and published with the
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NPRM.196 A copy of the IRFA was
provided to the Chief Counsel for
Advocacy of the Small Business
Administration. Although NTIA
specifically sought comment on the
costs to small entities of complying with
the Final Rule, no commenters provided
specific cost information. NTIA has
carefully considered whether to certify
that the Final Rule will not have a
significant impact on a substantial
number of small entities. NTIA
continues to believe the Final Rule’s
impact will not be substantial in the
case of small entities. However, NTIA
cannot quantify the impact the Final
Rule will have on such entities.
Therefore, in the interest of
thoroughness, NTIA has prepared the
following Final Regulatory Flexibility
Analysis (RFA) with this Final Rule in
accordance with the Regulatory
Flexibility Act.197
1. Succinct Statement of the Need for,
and Objectives of the Rule:
NTIA is issuing this Final Rule
because of a statutory mandate to create
and implement a coupon program that
will affect the public under Section
3005 of the Digital Television Transition
and Public Safety Act of 2005.198 The
Act requires the Federal
Communications Commission (FCC) to
require full-power television stations to
cease analog broadcasting after February
17, 2009. After that date, households
using analog-only televisions will no
longer be able to receive over the air
television broadcasts unless the
television is connected to a converter
box that converts the digital signal to
analog format. As a result, the Act
authorizes NTIA to create a program
whereby U.S. households can apply for
$40 coupons to be used towards the
purchase of digital-to-analog converter
boxes.
The Final Rule sets forth a framework
to implement the coupon program as
authorized by the Act. The Final Rule
also provides clear guidance for
consumers, manufacturers, and retailers
regarding eligibility, responsibilities,
and certifications.
2. Summary of the Significant Issues
Raised by the Public Comments in
Response to the IRFA; Summary of the
Assessment of the Agency of Such
Issues; and Statement of Any Changes
Made in the Rule as a Result of Such
Comments:
The only comments that directly
responded to the IRFA were those
submitted by Stored Value Systems, Inc.
196See
NPRM, 71 FR at 42,072, Appendix A.
See 5 U.S.C. § 604.
198 See Title III of the Deficit Reduction Act of
2005, Pub. L. 109-171, 120 Stat. 4, 21 (Feb. 8, 2006).
197
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(Stored Value), although other
comments submitted in response to the
NPRM addressed issues raised in the
IRFA.199 Stored Value commented on
the IRFA section regarding
‘‘Alternatives to Minimize Burdens.’’ In
that section, NTIA stated that the
proposed self-certification by retailers
for certain compliance requirements
was less burdensome than other
alternatives such as requiring thirdparty compliance, or instituting a
process whereby NTIA certified
compliance.200 NTIA stated that either
of those options would involve
additional steps in the certification
process and would therefore increase
time and cost.201 Although Stored Value
agreed with our analysis, it added that
‘‘not pursuing either option would not
necessarily relieve the program or
associated stakeholders with conducting
similar additional steps and most likely
would add even increased time and
cost, or possible program delay.’’202
NTIA maintains that a third-party
certification of retailer credentials
would add costs and delay
implementation of the program. The
Final Rule, therefore, permits retailers to
provide self-certification as to the
program requirements.
3. Description and Estimate of the
Number of Small Entities to Which the
Rule will Apply Or an Explanation of
Why no Such Estimate is Available:
The RFA requires agencies to provide
a description and an estimate of the
number of small entities to which the
rule will apply or an explanation of why
no such estimate is available.203 Under
the RFA, the term ‘‘small entity’’ has the
same meaning as the terms ‘‘small
business,’’ ‘‘small organization’’ and
‘‘small governmental jurisdiction.’’204
To the extent that this rule affects small
businesses, the affect would be on
businesses in the retail or manufacture
of digital-to-analog converter boxes. The
Small Business Administration defines
small entities in the ‘‘radio, television
and other electronic stores’’ sector as
those organizations with less than $8
million in annual revenue.205 With
respect to equipment manufacturers, the
SBA defines those small entities as
those with less 750 employees.
As stated in the IRFA, NTIA does not
have precise information on the number
199See
200See
Stored Value Comments at 46.
NPRM, 71 FR at 42,074, Appendix A.
201Id.
Stored Value Comments at 46.
5 U.S.C. 604(a)(3).
204 5 U.S.C. 601.
205 See U.S. Small Business Administration Table
of Small Business Size Standards Matched to North
American Industry Classifications Systems Codes,
https://www.sba.gov/size.
202
203
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of qualifying small businesses that are
in the manufacturing or electronic
retailing sectors that would be affected
by the Final Rule. The digital-to-analog
converter box is not commercially
available today and the life of this
particular product is limited. Thus,
there is no readily available data that
would assist NTIA in making an
estimate as to the number of ‘‘small
business’’ retailers or manufacturers that
would be affected by the regulations.
Moreover, none of the comments
submitted in response to the NPRM
addressed the number of small entities
to which these regulations will apply.
According to data from the U.S.
Census Bureau, there were 1014 U.S.
companies in 2002 that manufactured
radio and television communications
equipments, and approximately 1010 of
these firms were classified as small
entities having fewer than 750
employees.206 Specific figures for the
number of firms that manufacture
television equipment are unavailable,
however, NTIA believes that some of
these companies are capable of
manufacturing a converter box pursuant
to the standards provided in the Final
Rule. In fact, several electronic
equipment manufacturers submitted
comments in this proceeding. There was
no indication that any of these
manufacturers were small businesses.
To the extent that there exist small
entities capable of manufacturing a
converter box pursuant to the standards
provided in the Final Rule, the extent to
which they choose to participate in the
coupon program will be a business
decision and not based on any
mandatory action resulting from this
Final Rule. Therefore, NTIA is unable to
predict with any certainty the number of
small entities that will consider the
coupon program an advantageous
business opportunity. Moreover, the
comments submitted in response to the
proposed rule did not provide data that
would assist NTIA in making such an
estimate.
Likewise, it is not possible to
ascertain the number of consumer
electronic retailers that qualify as small
entities for the purpose of this program.
Certain data from trade associations,
however, provide a glimpse of the type
of small businesses that may participate
in the coupon program. For example,
the Professional Audio-Video Retailers
Association (PARA) division of the
Consumer Electronics Association
206See U. S. Census Bureau, 2002 Economic
Census, Industry Statistics by Employment Size,
Radio and Television Broadcasting and Wireless
Communications Equipment Manufacturing (NAICS
Code 334220), Table 4, available at http//
www.census.gov/econ/census02.
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(CEA) has more than 250 professional
audio, video, home theater, and custom
electronics specialty dealers.207 CEA has
also formed a partnership with the
North America Retailers Association
(NARDA), a group of independent
retailers that include consumer
electronics retailers that represent
approximately 3,500 storefronts and
accounts for over $11 billion in annual
sales.208 However, not all NARDA
members may be interested in
participating in the digital-to-analog
converter box coupon program. In
addition to consumer electronics,
NARDA’s members also sell and service
kitchen and laundry appliances,
consumer mobile electronics, computers
and other home and small office
products, furniture, sewing machines,
vacuum cleaners, room air conditioners,
and other consumer products.
Moreover, NARDA’s members are not
limited to retailers, but also include
manufacturers, suppliers and vendors.
PARA and NARDA members may be
specialty electronic dealers not
interested in selling converter boxes.
The comments submitted in response to
the IRFA did not provide data that
would assist NTIA in making an
estimate of ‘‘small entities.’’
4. Description of Projected Reporting,
Recordkeeping and Other Compliance
Requirements of the Rule, Including an
Estimate of the Classes of Small Entities
That Will Be Subject to the Requirement
and the Type of Profession Skills
Necessary for Preparation of the Report
or Record:
It should be noted again here that this
coupon program is for a limited amount
of time so there will not be any long
term or recurring reporting,
recordkeeping and other compliance
requirements. Moreover, participation
in this program is voluntary, thus any
requirements would only occur if a
retailer or manufacturer chooses to
participate. As stated above, there is no
readily available data to assist NTIA is
making an estimate as to the number of
‘‘small entities’’ that will be subject to
the requirements of the rule, and
comments submitted in response to the
proposed rule did not address such an
estimate.
A. Manufacturers
The Final Rule requires
manufacturers that wish to participate
in the program to submit a notice of
intent to NTIA at least three months
prior to submitting test results and
sample models of converter boxes. The
207See https://www.ce.org/Membership/Divisions/
98.asp.
208See https://www.narda.com.
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notice shall include a brief description
of the proposed converter box,
including permitted as well as required
features, and the date which the
proposed converter box is expected to
be available for testing. As part of this
notice of intent, the manufacturer shall
supply the name, title, address and
phone number of an individual
responsible for the manufacturer’s
submission. When the manufacturer
submits its converter box to NTIA, it
shall also provide test results along with
a certification of the testing supervisor
as to their authenticity, completeness,
and accuracy.
Because these certification and
recordkeeping requirements should be a
part of a manufacturer’s normal course
of business, NTIA does not anticipate
that a particular type of professional
skill is necessary beyond that already
incorporated into the manufacturer’s
existing business operations. It should
be noted that most of the comments
submitted in response to the NPRM,
supported the approach adopted in the
Final Rule whereby the manufacturer
would conduct its own testing and
submit the converter box to NTIA for
‘‘verification plus.’’ No comments
submitted in this proceeding indicated
that the compliance requirements of this
Rule would require a particular type of
professional skill.
B. Retailers
The Final Rule requires retailers to
have in place systems that are capable
of electronically processing coupons for
redemption and payment, tracking each
transaction and generating reports that
are auditable. The Final Rule also
requires retailers to provide transaction
reports to NTIA and to retain such
reports for at least one year. Retailers are
required to provide NTIA redemption
information and payment receipts
related to coupons used in the purchase
of converter boxes. To participate in the
program, retailers must have engaged in
electronic retailing for at least one year
and must register in the Central
Contractor Registration database.
Because these certification and
recordkeeping requirements are
typically part of a retailer’s normal
course of business, NTIA does not
anticipate that a particular type of
professional skill is necessary beyond
that already incorporated into a
retailer’s existing business operations.
No comments submitted in this
proceeding indicated that the
compliance requirements of this Rule
would require a particular type of
professional skill. The recordkeeping
requirements for reports are necessary
for NTIA to monitor the program to
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ensure that coupons are being utilized
and redeemed. This information is
necessary in the event NTIA is required
to request additional program funding.
Moreover, because this is a federal
government program, NTIA must ensure
that it can be audited as necessary.
There were comments received that
the use of coupons may not be
compatible with electronic scanning
devices used by participating retailers
and that the requirement for electronic
systems may eliminate small retailers
from participating. Moreover, some
retailers suggested that the use of
electronic coupon cards may require
significant up-front costs for software,
payment processing and employee
training. NTIA notes again that this
program is voluntary, thus any costs
incurred are a result of retailers
choosing to participate. With respect to
limiting small retailers, NTIA did not
receive comments from any small
retailers that the use of electronic
systems would somehow discourage
them from participating. On the other
hand, most of the retailers stated that
incorporating electronically encoded
information on the coupons was
necessary for the program to run
efficiently. There was no data submitted
in this proceeding indicating that small
retailers would not have electronic
systems in place. As for those retailers
that state that electronic systems would
require significant up front cost, NTIA
reiterates that retailers are free to set the
retail price of the converter boxes. Thus,
any up-front costs incurred by a retailer
can be recouped.
5. Description of the Steps the Agency
Has Taken to Minimize the Significant
Economic Impact on Small Entities
Consistent with the Stated Objectives of
Applicable Statutes, Including a
Statement of the Factual, Policy, and
Legal Reasons for Selecting the
Alternative Adopted in the Final Rule
and Why Each of the Other Significant
Alternatives to the Rule Considered by
the Agency That Affect the Impact on
Small Entities Was Rejected:
The IRFA proposed and solicited a
number of alternatives to minimize the
economic impact on small entities. It
should be noted, as it was in the IRFA,
that any significant economic impact
would not be caused by the Final Rule
because participation in this program is
voluntary on all levels—consumers,
retailers and manufacturers. Likewise,
there is no significant economic impact
if a small entity chooses not to
participate in the program. Nonetheless
the Final Rule includes steps to
minimize any adverse economic impact
on all participants.
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a. No Limits on Pricing of the Converter
Boxes
The Final Rule does not restrict the
wholesale or retail price of the converter
box. Thus, to the extent that
manufacturers and retailers incur
certain costs to provide the converter
boxes, these costs may be recouped
through the retail or wholesale price
established by them. The alternative
would have been to limit the retail price
of the converter box. That alternative
may cause a hardship on small entities
because it would limit the ability of
small entities to recoup costs involved
in making the converter box available.
Because this program is new and the
demand for the converter box is
uncertain, NTIA’s decision to allow
manufacturers and retailers to price the
box as they deem appropriate should
minimize economic burdens. Moreover,
NTIA does not have the statutory
authority to determine the price for the
set top boxes.
products, Telecommunications,
Television.
I For the reasons set forth in the
preamble, NTIA adds 47 CFR Part 301,
which is currently reserved, with the
following:
b. Retaining Hard Copies of Sales Data
In the NPRM, NTIA proposed to
require retailers to retain hard copies of
sales information for at least one year.
Retailers submitted comments asserting
that if electronic systems were used,
there would be no need for such a
records retention requirement.
Accordingly, the Final Rule dispensed
with the requirement that retailers
retain hard copies of sales information
for one year, however, retailers are still
required to retain such information
electronically for one year and to
convert it to a hard copy format if
requested by NTIA.
Pursuant to section 3005 of the Act,
(The Deficit Reduction Act of 2005), the
purpose of the Digital-to-Analog
Converter Box Coupon Program is to
provide $40 coupons that can be
applied towards the purchase price of
eligible digital-to-analog converter
boxes. After February 17, 2009, the
Federal Communications Commission
will require that all full-power
television stations in the United States
broadcast using digital television
technology. Consumers who wish to
continue to receive local broadcast
television programming over-the-air
using analog televisions not connected
to cable or satellite service may wish to
purchase digital-to-analog converter
boxes in order to do so.
c. Electronic Processing of Coupons
The comments from retailers
overwhelmingly recommended the use
of an electronic coupon card system.
Retailers were concerned that unless an
electronic system was utilized,
reimbursement from the government
would be delayed. As a result of these
comments, NTIA intends to use retailer
point of sale electronic tracking systems
to authorize coupon redemptions and to
track sales transactions of eligible
devices. To ensure that retailers are
reimbursed in a timely manner, the
Final Rule permits retailers to register in
Central Contractor Registration which
facilitates paperless payments though
electronic funds transfer. Alternatively,
retailers would have to wait a longer
period of time to be reimbursed by the
Federal Government.
List of Subjects in 47 CFR Part 301
Antennas, Broadcasting, Cable
television, Communications,
Communications equipment, Electronic
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PART 301 DIGITAL-TO-ANALOG
CONVERTER BOX COUPON
PROGRAM
301.1 Program Purposes
301.2 Definitions
301.3 Household Eligibility and
Application Process
301.4 Coupons
301.5 Manufacturers’ Technical
Approval Process
301.6 Retailer Participation
Technical Appendix 1
Technical Appendix 2
Authority: Title III of the Deficit Reduction
Act of 2005, Pub. L. No. 109–171, 120 Stat.
4, 21 (Feb. 8, 2006) (the ‘‘Act’’).
§ 301.1
§ 301.2
Program Purposes.
Definitions.
Act means Title III of the Deficit
Reduction Act of 2005, Pub. L. No. 109–
171, 120 Stat. 4, 21 (Feb. 8, 2006).
Agency means the National
Telecommunications and Information
Administration of the United States
Department of Commerce or its
contractor.
Certified Retailer means a seller of
Coupon-Eligible Converter Boxes
directly to consumers that has met the
requirements for certification and has
been identified by NTIA as certified to
redeem coupons.
Contingent Funds means those funds
referenced in Section 3005 (c)(3) of the
Act.
Coupon means a voucher provided by
the Agency to Eligible Households
which only may be used to purchase a
Coupon-Eligible Converter Box from a
Certified Retailer.
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Coupon–Eligible Converter Box
(CECB) means a stand-alone device that
does not contain features or functions
except those necessary to enable a
consumer to convert any channel
broadcast in the digital television
service into a format that the consumer
can display on a television receiver
designed to receive and display signals
only in the analog television service.
CECBs may also include remote control
devices. CECBs must have the features
required by, and meet the technical
performance specifications listed in
Technical Appendix 1.
Department means the United States
Department of Commerce.
Eligible Household means those
Households in the United States and its
territories that make a valid request for
a coupon pursuant to Rule 301.3 within
the time period specified by NTIA, but
no later than March 31, 2009.
FCC means the Federal
Communications Commission.
State includes each of the fifty states,
the District of Columbia, the
Commonwealth of Puerto Rico, the
Virgin Islands, Guam, American Samoa,
and the Northern Mariana Islands.
Household consists of all persons who
currently occupy a house, apartment,
mobile home, group of rooms, or single
room that is occupied as separate living
quarters and has a separate U.S. Postal
address. A household does not mean a
Post Office Box.
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§ 301.3 Household Eligibility and
Application Process.
(a) To apply for and receive a coupon,
an Eligible Household must:
(1) provide the name of the person
submitting the request
(2) provide a United States Postal
Service mailing address
(A) a Post Office Box will not be
considered a valid mailing address
unless (2)(B) applies
(B) residents of Indian reservations,
Alaskan Native Villages and other rural
areas without home postal delivery may
be requested to supply additional
information to identify the physical
location of the household, as required.
(3) indicate the number of coupons
requested, but no more than two
coupons.
(b) As of January 1, 2008, requests for
coupons may be submitted by mail,
telephone or the Internet on forms
provided by the Agency.
(c) Requests for coupons must be
submitted to the Agency no later than
March 31, 2009.
(d) Once Contingent Funds are
available for the Coupon Program, only
over-the-air households will be eligible.
During the period in which Contingent
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Funds are available, households must
certify that they do not receive cable,
satellite, or other pay television service.
(e) If an applicant does not meet the
above eligibility requirements, the
request will be denied.
§ 301.4
Coupons.
(a) The coupon value will be $40 or
the price of the CECB, whichever is less.
(b) Each Eligible Household will be
limited to a total of two coupons.
(c) Two coupons may not be used in
combination toward the purchase of a
single CECB.
(d) Coupons will be sent to Eligible
Households via the United States Postal
Service.
(e) Coupons will expire 90 days after
the issuance date. Issuance date means
the date upon which the coupon is
placed with the United States Postal
Service.
(f) Consumers may not return a CECB
to a retailer for a cash refund for the
coupon amount or make an exchange for
another item unless it is another CECB.
(g) The coupon has no cash value. It
shall be illegal to sell, duplicate or
tamper with the coupon.
§ 301.5 Manufacturers’ Technical Approval
Process.
(a) Manufacturers wishing to
participate in the coupon program must
submit a notice of intent to NTIA at
least three months prior to submitting
test results and sample models of
converter boxes. Notices should be sent
to DTV Converter Coupon Program,
NTIA/OTIA, U.S. Department of
Commerce, Room 4809, Washington, DC
20230, Fax Number 202–482–4626 and
provide the name, title, address, and
phone number of an individual
responsible for the manufacturer’s
submission. The notice shall also
include a brief description of the
proposed converter box, including
permitted as well as required features,
and the date which the proposed
converter box is expected to be available
for testing.
(b) NTIA shall treat the notices of
intent received as business confidential
and proprietary information and will
not release information from the notices
of intent to the public unless otherwise
required by law.
(c) The manufacturer will supply two
production sample converter boxes to
NTIA. NTIA will provide the
manufacturer with mailing information
in a letter of acknowledgment after
NTIA receives the notice of intent.
(d) Each model proposed to be a CECB
shall meet the performance specification
and features set forth in Technical
Appendix 1 of this Section. Each model
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proposed may also include ‘‘permitted’’
features set forth in Technical Appendix
2, but shall not include ‘‘disqualifying’’
features set forth therein.
(e ) NTIA may issue other guidance or
test-bed conditions and it is the
manufacturer’s responsibility to conduct
tests pursuant to any guidance so
provided. A manufacturer shall conduct
its own tests or have a qualified
independent third party conduct the
tests.
(f) Reports of test conditions and test
results must be clear and
comprehensive so that they can be
easily interpreted by NTIA and others
reviewing them. The FCC may test
converter boxes, if requested by NTIA.
(g) Test results shall be submitted to
NTIA along with a certification of the
testing supervisor as to their
authenticity, completeness and accuracy
based on personal knowledge.
(h) NTIA will provide prompt notice
to the individual submitting test results
whether the model has met technical
approval and is or is not a CECB. NTIA
will base its decision whether to
approve each converter box upon
consultation with the FCC.
(i) A list of CECBs, including make
and model number, will be maintained
by NTIA and regularly distributed to
participating retailers for use in
electronic Point-of-Sale (POS) systems.
(j) It is the responsibility of the
manufacturers to resolve any
performance or product defect issues
with consumers and retailers.
(k) NTIA shall not warrant the
performance, suitability, or usefulness
of any CECB for any use.
§ 301.6
Retailer Participation.
Retailer participation is voluntary.
NTIA encourages retailers to participate
in the Coupon Program and to cooperate
with NTIA and its contractor in the
administration of an effective and
efficient program resulting in high
customer satisfaction with a minimum
of waste, fraud and abuse.
(a) Retailer Obligations: Certified
Retailers are required to redeem valid
coupons toward the purchase of CECBs,
and
(1) Must have systems in place that
are capable of electronically processing
coupons for redemption and payment,
tracking each and every transaction, and
generating reports that are easily
auditable.
(2) Must train employees on the
purpose and operation of the Coupon
Program. NTIA or its contractor will
provide training material.
(3) Will not be responsible for
checking consumer or household
eligibility but shall report to NTIA
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suspicious patterns of customer
behavior.
(4) Use commercially reasonable
methods to order and manage inventory
to meet customer demand for CECBs.
(5) Must provide transaction reports
based on NTIA’s requirements. Reports
must be maintained by the retailer for at
least one year. Business confidential
and proprietary information shall not be
disclosed to the public unless otherwise
required by law.
(b) Retailer Certification:
(1) Retailers seeking to participate in
the Coupon Program must apply for
certification by contacting NTIA
between June 1, 2007 and March 31,
2008.
(2) Retailers must complete the form
provided by the Agency which requires
the retailers to self certify that they:
(A) Have been engaged in the
consumer electronics retail business for
at least one year unless waived for good
cause by NTIA. Good cause will be
determined upon a showing by the
retailer that participation would be in
the best interest of the program. NTIA
will issue a written determination as to
whether a retailer has made a sufficient
showing of good cause to waive this
requirement;
(B) Have completed a Central
Contractor Registration (www.ccr.gov);
(C) Have in place systems or
procedures that can be easily audited as
well as systems that can provide
adequate data to minimize fraud and
abuse in retail redemption and
government payment for coupons;
(D) Agree to have coupon box sales
audited at any time during the term of
participation in the coupon program by
the U.S. Government or an independent
auditor at no expense to the retailer;
(E) Will provide NTIA electronically
with redemption information and
payment receipts related to coupons
used in the purchase of converter boxes,
specifically tracking each serialized
coupon by number with a
corresponding CECB purchase; and
(F) Agree only to accept coupons for,
and receive payment resulting from
authorized purchases made for CECBs.
(3) Retailer Certification may be
revoked by NTIA if a Certified Retailer
fails to comply with these regulations,
with the terms of any agreement made
between the Certified Retailer and
NTIA, or for other actions inconsistent
with the Coupon Program.
(4) NTIA will not revoke retailer
certification for unintentional noncompliance or error.
(5) Retailers may contact NTIA for late
application or dispute resolution for
problems such as denial or revocation of
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certification. Such issues will be
resolved on a case-by-case basis.
TECHNICAL APPENDIX 1
NTIA Coupon-Eligible Converter Box
(CECB)
Required Minimum Performance
Specifications and Features
REFERENCE DOCUMENTS
ATSC A/74, Receiver Performance
Guidelines, June 2004
ATSC A/53E, ATSC Digital Television
Standard, Revision E with
Amendments No. 1 and No. 2,
September 2006
ATSC A/65C, Program and System
Information Protocol for Terrestrial
Broadcast and Cable (Revision C)
With Amendment No. 1, May 2006
Recommendation ITU-R BT.500-11,
Methodology for the subjective
assessment of the quality of television
pictures
ATSC A/69, PSIP Implementation
Guidelines for Broadcasters, June
2002
ELIGIBLE CONVERTER BOXES SHALL
COMPLY WITH THE FOLLOWING
MINIMUM PERFORMANCE
SPECIFICATIONS AND FEATURES:
1. Decoder
Equipment shall be capable of
receiving and presenting for display
program material that has been encoded
in any and all of the video formats
contained in Table A3 of ATSC A/53E.
The image presented for display need
not preserve the original spatial
resolution or frame rate of the
transmitted video format.
2. Output Formats
Equipment shall support 4:3 center
cut-out of 16:9 transmitted image,
letterbox output of 16:9 letterbox
transmitted image, and a full or partially
zoomed output of unknown transmitted
image.
3. PSIP Processing
Equipment shall process and display
ATSC A/65C Program and System
Information Protocol (PSIP) data to
provide the user with tuned channel
and program information. See ATSC A/
69 for further guidance.
4. Tuning Range
Equipment shall be capable of
receiving RF channels 2 through 69
inclusive.
5. RF Input
Equipment shall include a female 75
ohm F Type connector for VHF/UHF
antenna input.
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6. RF Output
Equipment shall include a female 75
ohm F Type connector with userselectable channel 3 or 4 NTSC RF
output.
7. Composite Output
Equipment shall include female RCA
connectors for stereo left and right audio
(white and red) and a female RCA
connector for composite video (yellow).
Output shall produce video with ITU-R
BT.500-11 quality scale of Grade 4 or
higher.
8. RF Dynamic Range (Sensitivity)
Equipment shall achieve a bit error
rate (BER) in the transport stream of no
worse than 3×10¥6 for input RF signal
levels directly to the tuner from -83
dBm to -5 dBm over the tuning range.
Subjective video/audio assessment
methodologies could be used to comply
with the bit error rate requirement.1
Test conditions are for a single RF
channel input with no noise or channel
impairment. Refer to ATSC A/74
Section 4.1 for further guidance. (Note
the upper limit specified here is
different than that in A/74 4.1).
9. Phase Noise
Equipment shall achieve a bit error
rate in the transport stream of no worse
than 3×10¥6 for a single channel RF
input signal with phase noise of -80
dBc/Hz at 20 kHz offset. The input
signal level shall be - 28 dBm.
Subjective video/audio assessment
methodologies described above could be
used to comply with the bit error rate
requirement. Refer to ATSC A/74
Section 4.3 for further guidance.
10. Co-Channel Rejection
The receiver shall not exceed the
thresholds indicated in TABLE 1 for
rejection of co-channel interference at
the given desired signal levels. Refer to
ATSC A/74 Section 4.4.1 for further
guidance.
1 Subjective evaluation methodologies use the
human visual and auditory systems as the primary
measuring ‘‘instrument.’’ These methods may
incorporate viewing active video and audio
segments to evaluate the performance as perceived
by a human observer. For subjective measurement,
the use of an expert viewer is recommended. The
viewer shall observe the video and listen to the
audio for at least 20 seconds in order to determine
Threshold of Visibility (TOV) and Threshold of
Audibility (TOA). Subjective evaluation of TOV
should correspond with achievement of transport
stream error rate not greater than a BER of 3×10¥6.
If there is disagreement over TOV performance
evaluation, it will be resolved with a measurement
of actual BER.
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TABLE 1—CO-CHANNEL REJECTION
THRESHOLDS.
levels. Refer to ATSC A/74 Section 4.4.2
for further guidance.
TABLE 2—ADJACENT CHANNEL
REJECTION THRESHOLDS
Co-Channel D/U
Ratio (dB)
Type of Interference
Weak Desired
(¥68
dBm)
Moderate
Desired
(¥53
dBm)
+15.5
+15.5
+2.5
+2.5
DTV interference
into DTV.
NTSC interference
into DTV.
Notes:
NTSC split 75% color bars with pluge bars
and picture to sound ratio of 7 dB should be
used for video source.
ATSC high definition moving video should
be used for video source.
All NTSC values are peak power; all DTV
values are average power.
11. First Adjacent Channel Rejection
The receiver shall not exceed the
thresholds indicated in TABLE 2 for
rejection of adjacent channel
interference at the given desired signal
Adjacent Channel D/U
Ratio (dB)
Type of Interference
Weak
Desired
(¥68
dBm)
Moderate
Desired
(¥53
dBm)
Strong
Desired
(¥28
dBm)
Lower DTV interference
into DTV.
Upper DTV interference
into DTV.
Lower NTSC
interference
into DTV.
Upper NTSC
interference
into DTV.
≥¥33
¥33
¥20
≥¥33
¥33
¥35
¥35
12. Taboo Channel Rejection
The receiver shall not exceed the
thresholds indicated in TABLE 3 for
rejection of taboo channel interference
at the given DTV desired and undesired
signal levels. Refer to ATSC A/74
Section 4.4.3 for further guidance.
¥26
≥¥40
NTSC split 75% color bars with pluge bars
and picture to sound ratio of 7 dB should be
used for video source.
ATSC high definition moving video should
be used for video source.
All NTSC values are peak power; all DTV
values are average power.
¥20
≥¥40
12119
¥26
Notes:
TABLE 3—TABOO CHANNEL REJECTION THRESHOLDS FOR DTV INTERFERENCE INTO DTV
Taboo Channel D/U Ratio (dB)
Channel
Weak Desired
(¥68 dBm)
Moderate Desired
(¥53 dBm)
Strong Desired
(¥28 dBm)
N+/¥2 .....................................................
N+/¥3 .....................................................
N+/¥4 .....................................................
N+/¥5 .....................................................
N+/¥6 to N+/¥13 ...................................
N +/¥14 and N+/¥15 ............................
≥¥44
≥¥48
≥¥52
≥¥56
≥¥57
≥¥46
¥40
¥40
¥40
¥42
¥45
¥45
¥20
¥20
¥20
¥20
¥20
¥20
Notes: ATSC high definition moving video should be used for video source. All DTV values are average power.
15. Single Static Echo
13. Burst Noise
Equipment shall tolerate a noise burst
of at least 165 µs duration at a 10 Hz
repetition rate without visible errors.
The noise burst shall be generated by
gating a white noise source with average
power -5 dB, measured in the 6 MHZ
channel under test, referenced to the
average power of the DTV signal. The
input DTV signal level shall be -28 dBm.
Refer to ATSC A/74 Section 4.4.4 for
further guidance.
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14. Field Ensembles
Equipment shall demonstrate that it
can successfully demodulate, with two
or fewer errors, 30 of the 50 field
ensembles available from ATSC in
conjunction with ATSC A/74. Error
counts are not expected to include
inherent errors associated with the start
and end or looping of field ensembles
for playback.
Refer to ATSC A/74 Section 4.5.2 for
further guidance.
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CRITERIA A:
Equipment shall comply with either
or CRITERIA B, below.
CRITERIA A
CRITERIA A:
Echo Delay
Equipment shall tolerate a single
static echo with the magnitude, relative
to a desired DTV signal power of -28
dBm, and delay defined in TABLE 4.
CRITERIA B:
Equipment may demonstrate
compliance by tolerating a single static
echo with the magnitude, relative to a
desired DTV signal power of -28 dBm,
and delay defined in TABLE 5, if the
equipment also demonstrates that it can
receive 37 of the 50 field ensembles. See
FIELD ENSEMBLES requirement.
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TABLE 4—MAXIMUM SINGLE STATIC
ECHO DELAY
¥50 µs ......................
¥40 µs ......................
¥20 µs ......................
¥10 µs ......................
¥5 µs ........................
0 µs ...........................
10 µs .........................
20 µs .........................
40 µs .........................
50 µs .........................
TABLE 5—MINIMUM SINGLE STATIC
ECHO DELAY
¥50 µs ......................
¥40 µs ......................
¥20 µs ......................
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16 dB
12 dB
6 dB
5 dB
2 dB
1 dB
2 dB
3 dB
10 dB
16 dB
CRITERIA B:
Echo Delay
Frm 00089
Desired to Echo Ratio
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Desired to Echo Ratio
16 dB
16 dB
7.5 dB
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TABLE 5—MINIMUM SINGLE STATIC
ECHO DELAY—Continued
Echo Delay
¥10 µs ......................
¥5 µs ........................
0 µs ...........................
10 µs .........................
20 µs .........................
40 µs .........................
50 µs .........................
Desired to Echo Ratio
5 dB
2 dB
1 dB
2 dB
3 dB
16 dB
16 dB
16. Channel Display
Equipment must display all channels,
including multicast channels, broadcast
by a digital television station that can be
displayed on an analog TV receiver.
17. Closed Captioning, Emergency Alert
System (EAS) and Parental Controls (VChip)
Equipment must display (1) EAS
message broadcast pursuant to 47 CFR
§ 11.11 of the FCC Rules; (2) parental
control information as required by the
FCC Rules in 47 CFR § 15.120 and
incorporate the EIA/CEA-766-A
standard; and (3) Close Captioning
information as required by the FCC
Rules in 47 CFR § 15.122 and
incorporate the CEA 708/608 standard.
18. Remote Control
A remote control to operate the
equipment shall be provided with
batteries. Standard codes will be used
and provided so the consumer can
program an existing remote control to, at
a minimum, change channels and turn
on and off the converter box and the
consumer’s existing analog television
receiver.
the Sleep state. The default energy
related settings shall not be altered
during the initial user set-up process
and shall persist unless the user chooses
at a later date to manually: (a) disable
the ‘‘automatic switching to Sleep state’’
capability, or (b) adjust the default time
period from 4 hours to some other
value.
19. Audio Outputs
The RF output must be modulated
with associated audio program
information; the RCA audio connectors
must provide stereo left/right, when
broadcast.
An owner’s manual shall include
information regarding the remote
control codes used to permit the
consumer to program a universal remote
control. The owner’s manual will
include information regarding the
availability of the main audio channel
and other associated audio channels on
the RF and left/right audio outputs.
20. Energy Standards
The equipment shall use no more
than two watts of electricity in the
‘‘Sleep’’ state. Sleep state power shall be
measured in accordance with industry
standard CEA-2013-A. Eligible
equipment shall provide the capability
to automatically switch from the On
state to the Sleep state after a period of
time without user input. This capability
shall be enabled at the factory as the
default setting for the device. The
default period of inactivity before the
equipment automatically switches to the
Sleep state shall be four hours. Eligible
equipment may allow the current
program to complete before switching to
21. Owner’s manual
22. LED Indicator
The equipment shall contain an LED
to indicate when the unit is turned on.
23. RF Cable
The equipment will include at least
one RF cable to connect the unit with
its associated analog television receiver.
24. Signal Quality Indicator
The equipment will display on the
television receiver signal quality
indications such as signal strength per
ATSC A/74, Section 4.7.
TECHNICAL APPENDIX 2—NTIA Coupon-Eligible Converter Box (CECB): Permitted and Disqualifying
Features
Feature
Permitted Feature
Disqualifying Feature
General Requirements .........................
.............................................................................
Antenna Inputs .....................................
Smart Antenna interface connector (CEA 909
Smart Antenna Control Interface standard).
The manufacturer may supply a 300 ohm connector or a matching transformer to connect 300
ohm ribbon leads to the required RF antenna
input.
Equipment may pass through a NTSC analog signal from the antenna to the TV receiver.
By-pass switch to permit NTSC pass-through.
Equipment and Smart Antenna may be sold together at promotional prices.
S-Video ....................................................................
Antenna Pass-Through ........................
Bundling Antenna and Converter Box
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Outputs (General) ................................
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Any device or capability which provides for more
than simply converting a digital over-the-air television signal (ATSC) for display on an analog
television receiver (NTSC), including, but not
limited to:
Integrated video display; Video or Audio recording
or playback capability such as VCR, DVD,
HDDVD, Blue Ray, etc.
Equipment cannot be sold conditioned on the purchase of a Smart Antenna or other equipment.
Digital Video Interface (DVI);
Component video (YPbPr);
High-Definition Multimedia Interface (HDMI);
Computer video (VGA);
USB IEEE-1394 (iLink or Firewire)
Ethernet (IEEE-802.3)
Wireless (IEEE0802.11)
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TECHNICAL APPENDIX 2—NTIA Coupon-Eligible Converter Box (CECB): Permitted and Disqualifying
Features—Continued
Feature
Permitted Feature
Outputs (Audio) ....................................
Equipment may process associated audio services
described in Section 6.6 of A/54.
RF output may provide monaural audio for the selected audio channel.
RF output may provide BTSC stereo for the selected audio channels.
Equipment is able to receive and process software
pursuant to ATSC A-97.
Equipment may contain software and hardware
modifications necessary to display other program information as determined by the manufacturer.
Manufacturers may include a programmable universal remote control to operate the equipment
and other existing video and audio equipment.
Remote control may have dedicated keys to provide direct access to closed captioning and descriptive video functions.
Equipment may be operated on battery power as
well as external AC/DC power.
Manufacturer may supply additional cables, such
as a cable with 3 female RCA connectors for
composite video (yellow connector) and stereo
left and right audio (white and red connectors).
Equipment may display on the television receiver
additional signal quality information as determined by the manufacturer.
Equipment may comply with standards established
by the EPA Energy Star program or state regulatory authorities.
Automatic Software Repair/Upgrade ...
Program Information ............................
Remote Control ....................................
Other Features .....................................
Energy Standards ................................
Dated: March 9, 2007.
John M.R. Kneuer,
Assistant Secretary for Communications and
Information Administration.
[FR Doc. E7–4668 Filed 3–14–07; 8:45 am]
BILLING CODE 3510–60–S
DEPARTMENT OF COMMERCE
National Telecommunications and
Information Administration
47 CFR Part 301
Digital-to-Analog Converter Box
Coupon Program Public Meeting
National Telecommunications
and Information Administration,
Commerce.
AGENCY:
ACTION:
Public meeting.
rmajette on PROD1PC67 with RULES
SUMMARY: Summary: NTIA will hold a
public meeting on March 19, 2007 in
connection with its Digital-to-Analog
VerDate Aug<31>2005
14:08 Mar 14, 2007
Jkt 211001
Disqualifying Feature
Converter Box Coupon Program
described in the Final Rule that was
recently adopted by NTIA.
DATES: The meeting will be held on
March 19, 2007 at 10 a.m., Eastern
Standard Time.
ADDRESSES: The meeting will be held at
the U.S. Department of Commerce
Auditorium, 1401 Constitution Avenue,
N.W., Washington, D.C.
FOR FURTHER INFORMATION CONTACT: For
further information regarding the
meeting, contact Sandra Stewart at (202)
482–2246.
SUPPLEMENTARY INFORMATION: NTIA will
host a public meeting to discuss its
Final Rule establishing the Digital-toAnalog Converter Box Coupon Program.
A copy of the Final Rule is available on
NTIA’s website at https://
www.ntia.doc.gov. The public meeting
will be limited to those issues addressed
in the Final Rule. NTIA will not
entertain questions related to the
Request for Information published by
PO 00000
Frm 00091
Fmt 4700
Sfmt 4700
NTIA on July 31, 2006, or other
procurement related issues. All
procurement-related questions should
be directed to Diane Trice at (301) 713–
0838 ext. 102 or diane.trice@noaa.gov.
Public attendance at the meeting is
limited to space available. The meeting
will be physically accessible to people
with disabilities. Individuals requiring
special services, such as sign language
interpretation or other ancillary aids, are
asked to indicate this to Sandra Stewart
at least two (2) days prior to the
meeting. Members of the public will
have an opportunity to ask questions at
the meeting. Individuals who would
like to submit written questions should
e-mail their questions to Francine
Jefferson at fjefferson@ntia.doc.gov.
Dated: March 9, 2007.
Kathy D. Smith,
Chief Counsel, National Telecommunications
and Information Administration.
[FR Doc. E7–4642 Filed 3–14–07; 8:45 am]
BILLING CODE 3510–60–S
E:\FR\FM\15MRR1.SGM
15MRR1
Agencies
[Federal Register Volume 72, Number 50 (Thursday, March 15, 2007)]
[Rules and Regulations]
[Pages 12097-12121]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: E7-4668]
[[Page 12097]]
=======================================================================
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DEPARTMENT OF COMMERCE
National Telecommunications and Information Administration
47 CFR Part 301
[Docket Number: 0612242667--7051--01]
RIN 0660-AA16
Rules to Implement and Administer a Coupon Program for Digital-
to-Analog Converter Boxes
AGENCY: National Telecommunications and Information Administration,
Commerce.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: In this document, the National Telecommunications and
Information Administration (NTIA) adopts regulations to implement and
administer a coupon program for digital-to-analog converter boxes. This
rule implements provisions of section 3005 of Public Law 109-171, known
as the Digital Television Transition and Public Safety Act of 2005.
This action amends 47 CFR Chapter III by adding part 301.
DATES: These rules become effective April 16, 2007.
ADDRESSES: A complete set of comments filed in response to the Notice
of Proposed Rulemaking is available for public inspection at the Office
of the Chief Counsel, National Telecommunications and Information
Administration, Room 4713, U.S. Department of Commerce, 1401
Constitution Avenue, N.W., Washington, D.C. The responses can also be
viewed electronically at https://www.ntia.doc.gov.
FOR FURTHER INFORMATION CONTACT: Milton Brown, NTIA (202) 482-1816.
SUPPLEMENTARY INFORMATION:
TABLE OF CONTENTS
Paragraph
Heading No.
I. Background................................................ 001
II. Discussion............................................... 004
A. Eligible U.S. Households................................ 004
B. Coupon Value and Use Restrictions....................... 012
C. Application Process..................................... 019
D. Coupon Expiration....................................... 023
E. Coupon-Eligible Converter Box........................... 026
F. Manufacturer Certification.............................. 096
G. Retailer Participation.................................. 103
H. Consumer Education...................................... 125
III. Procedural Matters
I. Background
1. The Digital Television Transition and Public Safety Act of 2005
(the Act), among other things, directs the Federal Communications
Commission (FCC) to require full-power television stations to cease
analog broadcasting and to broadcast solely digital transmissions after
February 17, 2009.\1\ The returned analog television spectrum is to be
auctioned, and the Act directs the FCC to deposit receipts from that
auction into a new Treasury Fund to be known as the Digital Television
Transition and Public Safety Fund (the Fund).\2\
---------------------------------------------------------------------------
\1\ See Title III of the Deficit Reduction Act of 2005, Pub. L.
109-171, 120 Stat. 4, 21 (Feb. 8, 2006) (the Act). Section 3002(a)
of the Act amends Section 309(j)(14)(A) of the Communications Act of
1934 so that analog full-power television licenses will terminate on
February 17, 2009. Section 3002(b) of the Act directs the FCC to
terminate analog television licenses for full-power stations by
February 18, 2009.
\2\ Section 3004 of the Act.
---------------------------------------------------------------------------
2. Recognizing that consumers may wish to continue receiving
broadcast programming over the air using analog-only televisions not
connected to cable or satellite service, the Act authorizes NTIA to
create a digital-to-analog converter box assistance program (Coupon
Program). Specifically, Section 3005 of the Act directs NTIA to
implement and administer a program through which eligible U.S.
households may obtain via the United States Postal Service a maximum of
two coupons of $40 each to be applied towards the purchase of a Coupon-
Eligible Converter Box (CECB).\3\ To implement the Coupon Program, the
Act authorizes NTIA to use up to $990 million from the Fund for the
program, including up to $100 million for program administration
(Initial Funds).\4\ A contingent level of $510 million in additional
funds is authorized upon a 60-day notice and certification to the
Committee on Energy and Commerce of the House of Representatives and
the Committee on Commerce, Science, and Transportation of the Senate
that the initial funding level is insufficient to fulfill coupon
requests for eligible U.S. households (Contingent Funds).\5\ NTIA is,
therefore, authorized to expend up to a total of $1.5 billion for the
program, including up to $160 million for administration. Assuming the
entire administrative amount is taken into account, $1.34 billion would
be available for distributing up to 33.5 million coupons. This section
also authorizes NTIA, beginning on October 1, 2006, to borrow not more
than $1.5 billion from the Treasury to implement the program. NTIA must
reimburse the Treasury for this amount, without interest, as recovered
analog television spectrum auction proceeds are deposited into the
Fund.\6\
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\3\ See subsections 3005(c)(1)(A), (c)(4) of the Act.
\4\ NTIA intends to enter into a contract for services to
administer the Coupon Program through a separate program acquisition
plan. The contractor will be responsible for establishing and
managing the systems and processes through which some of the final
rules may be applied. In this document, ``NTIA'' should be
understood to be either NTIA or its contractor.
\5\ Section 3005(c)(3) of the Act.
\6\ Section 3005(b) of the Act.
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3. On July 25, 2006, NTIA published a Notice of Proposed Rulemaking
(NPRM) and Request for Comment in the Federal Register on ways to
implement and administer such a program pursuant to the Act.\7\ NTIA
also held meetings on November 14 and 15, 2006, to afford interested
parties the opportunity to clarify comments submitted in response to
the NPRM.\8\
---------------------------------------------------------------------------
\7\ Request for Comment and Notice of Proposed Rules to
Implement and Administer a Coupon Program for Digital-to-Analog
Converter Boxes, Notice of Proposed Rulemaking, 71 FR 42,067 (July
25, 2006).
\8\ Summaries of these ex parte meetings are posted on NTIA's
website at https://www.ntia.doc.gov.
---------------------------------------------------------------------------
II. Discussion
A. Eligible U.S. Households
4. After February 17, 2009, households may make one or more of
several consumer choices to achieve digital-to-analog conversion, such
as via cable or satellite service (where available), or through a
converter device.\9\ In the NPRM, NTIA proposed to define those U.S.
households eligible to participate in the Coupon Program as ``those
households that only receive over-the-air television signals using
analog-only television receivers.''\10\ NTIA further proposed to make
households that receive cable or satellite television service, even if
those households have one or more analog television signals not
connected to such service, ineligible for the Coupon Program.
---------------------------------------------------------------------------
\9\ Not all local television signals are uplinked and delivered
to satellite homes today. The extent to which satellite subscribers
will have digital-to-analog conversion of local signals available to
them after February 17, 2009, will depend on the availability of
``local-into-local'' offerings from satellite providers.
\10\ NTIA proposed to define a ``television household'' as a
``household with at least one television . . . consisting of all
persons who currently occupy a house, apartment, mobile home, group
of rooms, or single room that is occupied as separate living
quarters and has a separate U.S. postal address.'' See NPRM, 71 FR
at 42,068.
---------------------------------------------------------------------------
5. Many commenters disagreed with NTIA's proposed definition and
argued that all consumer households should be eligible to receive
coupons.\11\ Given the
[[Page 12098]]
funding level and the possibility that many households with cable or
satellite service may wish to purchase a converter box, commenters
expressed concern about excluding any household.\12\ Commenters also
expressed concern about those consumers that may need to rely on over-
the-air capabilities in times of emergency. Some commenters argued that
the Act and the legislative history do not support NTIA's proposed
definition and that the Agency lacks the statutory authority to limit
the eligibility requirements.\13\ For example, in Joint Industry
Comments, the commenters argued that the Act and the legislative
history, as well as practical considerations, ``preclude any
implementation of the program that would exclude from coupon
eligibility analog sets in cable or satellite-served homes not
connected to those services.''\14\ Likewise the Consumer Electronics
Retailer Coalition (CERC) argued that there is no basis in the Act or
the legislative history to support the standard proposed in the
NPRM.\15\
---------------------------------------------------------------------------
\11\ See Association for Maximum Service Television, Consumer
Electronics Association, and National Association of Broadcasters
(Joint Industry) Comments at 5-11; Thomson Comments at 2; Archway
Marketing Service Comments at 2; LG Electronics Comments at 5;
Community Broadcasters Association Comments at 3; Consumer
Electronics Retailers Coalition (CERC) Comments at 5; AARP Comments
at 5; MTVA Comments at 3; Joint Consumer Comments at 2-8; APTS
Comments at i; RadioShack Corporation Comments at 3-6; Sodexho
Comments at 4.
\12\ See Letter to Hon. John M. R. Kneuer from Hon. John D.
Dingell, Hon. Edward J. Markey, Hon. Henry A. Waxman, Hon. Frank
Pallone, Jr., Hon. Bart Gordon, Hon. Eliot L. Engel, Hon. Ted
Strickland, Hon. Lois Capps, Hon. Tom Allen, Hon. Rick Boucher, Hon.
Sherrod Brown, Hon. Bart Stupak, Hon. Gene Green, Hon. Diana
Degette, Hon. Mike Doyle, Hon. Jan Schakowsky, (Letter from Members
of the House Energy and Commerce Committee) (Nov. 15, 2006) at 2.
\13\ Joint Consumer Comments at 2-8; Richard Brittain Comments;
Joint Industry Comments at 5.
\14\ Joint Industry Comments at i.
\15\ CERC Comments at 5.
---------------------------------------------------------------------------
6. Several comments raised other points in favor of expanding
eligibility beyond that proposed in the NPRM. For example, some
commenters noted that even cable and satellite households may need the
ability to receive signals over the air in times of emergency or severe
weather.\16\ Others noted that limiting coupons to over-the-air-only
households could disadvantage satellite customers who receive their
local broadcast signals over the air.\17\ Operators of Class A and LPTV
stations noted that these facilities will continue to broadcast in
analog after February 17, 2009, that most of these facilities are not
eligible for cable or satellite must carry and that NTIA should not
deny converter-box subsidies to households that rely on analog
receivers to watch Class A and LPTV stations over the air, even if they
have another means to view digital full-power stations.\18\ Consumers
Union contended that denying converter boxes to all households would
cause disruptions in service that could undermine consumer support for
the digital television transition.\19\ RadioShack suggested that
limiting eligibility could reduce demand for converter boxes, thus
raising their costs and potentially harming low-income households.\20\
---------------------------------------------------------------------------
\16\ See, e.g., Marvin Clegg Comments at 1; Richard Brittain
Comments at 1; Thomson Comments at 2.
\17\ See, e.g., Richard Brittain Comments at 1.
\18\ Community Broadcasters Association Comments at 5. Section
3002 of the Act permits Class A and LPTV facilities to broadcast in
analog after February 17, 2009. Moreover, a cable system must carry
a LPTV facility only if it meets certain limited requirements. 47
U.S.C. Sec. 534(h)(2).
\19\ Joint Consumer Comments at 9.
\20\ RadioShack Comments at 7.
---------------------------------------------------------------------------
7. NTIA recognizes that limiting eligibility as proposed in the
NPRM would be difficult to enforce. There are no lists of households
that only receive over-the-air television broadcasts. Moreover, as the
Government Accountability Office (GAO) recognized, it would be a highly
challenging task to obtain a list of cable and satellite subscribers in
order to identify over-the-air-reliant homes by the process of
elimination.\21\ In fact, it would be difficult for NTIA to determine
which U.S. households currently have, or plan to obtain, an analog
television set requiring a CECB. Moreover, efforts to confirm
eligibility would likely delay reasonable and timely distribution of
coupons.\22\ Unless NTIA devoted substantial resources to review
applicants'certifications of eligibility, there would be potential for
waste, fraud and abuse.\23\ Such efforts could also substantially
increase the costs of administering the program.\24\
---------------------------------------------------------------------------
\21\ See ``Digital Broadcast Television Transition: Several
Challenges Could Arise in Administering a Subsidy Program for DTV
Equipment,'' GAO-05-623T (May 26, 2005) at 11-13 (GAO Challenges
Report). In addition to the cable industry's reluctance to give the
government access to its subscriber lists, GAO noted that it would
be difficult to merge information across the more than 1,100 cable
and satellite companies in the United States. GAO Challenges Report
at 12.
\22\ See, e.g., RadioShack Comments at 8.
\23\ See, e.g., Thomson Comments at 2.
\24\ See, e.g., Archway Marketing Services Comments at 2.
---------------------------------------------------------------------------
8. Upon careful consideration of all arguments raised in the
comments for and against limiting household eligibility criteria, NTIA
has decided not to initially limit household eligibility in the Coupon
Program to households reliant exclusively on over-the-air broadcasts
for television service. Accordingly, the Final Rule permits coupons to
be distributed initially to all U.S. households. As proposed in the
NPRM and consistent with the definition used by the U.S. Census Bureau,
a ``household'' consists of all persons who currently occupy a house,
apartment, mobile home, group of rooms, or single room that is occupied
as a separate U.S. postal address.\25\ NTIA received a comment from
SunBelt Multimedia Company that requested the household definition to
be expanded to allow multiple families residing at a single address to
each count as a household, based on the community or income
criteria.\26\ NTIA recognizes that multiple families may exist in
households as defined by this Final Rule, however, it would be
administratively difficult to determine the number and location of
these households and to establish a definition based on community or
income criteria.
---------------------------------------------------------------------------
\25\ See U. S. Census Bureau, https://www.census.gov (Current
Population Survey -- Definitions and Explanations).
\26\ Sunbelt Multimedia Company Comments at 11.
---------------------------------------------------------------------------
9. Recognizing that funds allocated for this program are limited
and the possibility that over-the-air reliant television households may
lose television service as a result of this decision, NTIA will permit
open eligibility on a first-come, first-served basis while the Initial
Funds are available (i.e., until coupons valuing $890,000,000 have been
redeemed and issued but not expired, in accordance with Section
3005(c)(2)(B) of the Act).\27\ The Act permits funding of the program
to increase by $510,000,000 to a total of $1,500,000,000 upon
certification to Congress that the initial allocated amount of
$990,000,000, the Initial Funds, is insufficient to fulfill coupon
requests.\28\ If such Contingent Funds are available for the Coupon
Program, the eligibility for those coupons provided from Contingent
Funds will be limited to over-the-air-only television households
(Contingent Period). Consumers requesting those coupons during the
Contingent Period must certify to NTIA that they do not subscribe to a
cable, satellite, or other pay television service. NTIA makes this
decision balancing the demand uncertainty and funding limitations with
the need to prioritize contingency funds for over-the-air reliant
households which will lose total access to television broadcasts after
the transition date.
---------------------------------------------------------------------------
\27\See supra, para 2.
\28\See Section 3005(c)(3)(ii) of the Act.
---------------------------------------------------------------------------
10. NTIA did not propose to consider ``economic need'' as part of
the eligibility requirement, but solicited comment on whether it should
be considered and, if so, how it should be determined. NTIA received
comments opposing adoption of eligibility criteria
[[Page 12099]]
encompassing economic need because of the complications involved in
such an analysis. Some commenters also asserted that NTIA lacks such
statutory authority.\29\ Other commenters, however, supported the idea
of adopting a means test and suggested that NTIA use income or
participation in other federally supported programs as a basis of
determining eligibility. For example, the American Association of
People with Disabilities suggested that NTIA adopt a program similar to
the FCC Lifeline-Linkup phone subsidy program which uses 135 percent of
the poverty level or persons who are beneficiaries of other federal
assistance programs as a basis for eligibility.\30\
---------------------------------------------------------------------------
\29\ See Carolyn McMahon Comments; Stored Value Systems, Inc.
Comments at 4; Consumer Union, Consumer Federation of America, and
Free Press Comments at 9-10; Sodexho Comments at 5; Letter from
Members of the House Energy and Commerce Committee at 2.
\30\ See American Association of People with Disabilities
Comments at 8 (the federal programs cited by AAPD include Medicaid,
Food Stamps, Supplemental Security Income, Federal Public Housing
Assistance, Low-Income Home Energy Assistance Program, Temporary
Assistance to Needy Families, The National School Lunch Program's
Free Lunch Program, Bureau of Indian Affairs General Assistance,
Tribally Administered Temporary Assistance for Needy Families, Head
Start, Tribal National Lunch Program).
---------------------------------------------------------------------------
11. NTIA agrees that including economic need as an eligibility
factor in the Coupon Program would be a complicated process.
Furthermore, because this is a one-time program, it would not be cost
effective to develop eligibility requirements and verification systems
such as those used by other federal assistance programs, such as Food
Stamps. NTIA noted in the NPRM that neither the Act nor the legislative
history suggests such a requirement. Accordingly, NTIA will not
consider economic need as part of an eligibility requirement for the
coupon program. Moreover, the Agency will only make the Coupon Program
available to individual U.S. households, as proposed in the NPRM, not
businesses, schools, or other entities as suggested by one
commenter.\31\ The Act states that a ``household'' may obtain coupons,
and there is nothing in the legislative history or the comments that
suggests that Congress intended to extend eligibility beyond
households.
---------------------------------------------------------------------------
\31\ See Jon Kaps Comments (arguing that schools should be
eligible to participate in the Coupon Program).
---------------------------------------------------------------------------
B. Coupon Value and Use Restrictions
12. Consistent with the Act, NTIA proposed in the NPRM to issue $40
coupons to be redeemed only at certified retailers when purchasing a
CECB. The Agency also proposed to place identifying serial numbers on
the coupons to keep track of the number of coupons issued to and
redeemed by consumers as well as to minimize fraud, such as
counterfeiting. NTIA did not propose a specific form of the coupon, but
requested comment on whether the Agency should issue a paper coupon or
an electronic coupon card.
13. NTIA proposed to restrict each individual coupon to the
purchase of one CECB. Consistent with the Act, NTIA also proposed to
prevent coupon holders from using two coupons in combination toward the
purchase of a single CECB. To prevent fraud, NTIA also proposed to
prohibit coupon holders from returning a converter box to a retailer
for a cash refund or for credit towards the purchase of another item.
However, the Agency did propose to permit the even exchange for another
CECB in the event of defective or malfunctioning equipment.
14. One commenter argued that a buyer should be able to use the $40
coupon to buy a converter box with deluxe features.\32\ Best Buy
supported only ``even'' exchanges of devices and opposed allowing
consumers to return converters for a cash refund or for credit towards
the purchase of an upgraded device.\33\ RadioShack recommended that
statements such as ``No Cash Value'' or ``Exchange Only for Eligible
Converter'' be clearly printed on the coupon and in accompanying
consumer material.\34\
---------------------------------------------------------------------------
\32\ Robert Diaz Comments.
\33\ Best Buy Comments at 4.
\34\ RadioShack Comments at 13.
---------------------------------------------------------------------------
15. Consistent with the Act, the value of the coupons issued will
be $40. In no case may consumers receive any cash value for the
coupon.\35\ If the cost of a CECB is less than $40, retailers will only
be reimbursed for the retail price of the box. Likewise, consumers
cannot receive a refund or credit towards the purchase of another item
if the price of the CECB is less than the $40 value of the coupon.
Retailers and consumers are also prohibited from using two coupons in
combination towards the purchase of a single CECB. NTIA recognizes the
opportunities for fraud and abuse by permitting consumers to receive a
cash refund for the value of the coupon or for credit towards another
item outside of the program. Therefore, NTIA will permit an exchange
only for another converter box certified under these regulations.\36\
---------------------------------------------------------------------------
\35\ To further prevent fraud, the Final Rule states that
consumers may not sell, duplicate or tamper with the coupon.
\36\ However, if a consumer returns a CECB to a retailer, the
retailer may refund to the consumer that portion of the purchase
price not covered by the coupon.
---------------------------------------------------------------------------
16. Some commenters supported the use of a paper coupon. For
example, one commenter stated that it was Congressional intent to issue
a paper coupon with UPC coupon-type barcode, which brick-and-mortar
retailers and clearinghouses could handle in the same fashion as
manufacturers' cents-off coupons because this would minimize the cost
of the overall program.\37\ Another commenter stated that the paper
coupon was both straightforward to use and provides for a fast and
economical means to mail eligible applicants their coupons in a short
time frame.\38\ Moreover, paper coupons could have several security
features, including unique serial numbers, barcodes, security paper and
consumer identification.\39\ Many of the comments, however, addressed
the problems associated with paper coupons including the potential for
fraud, delay in retailer reimbursement and increased administrative
costs.\40\
---------------------------------------------------------------------------
\37\ See Richard Brittain Comments.
\38\ See Poorman-Douglas & Hilsoft Notifications Comments.
\39\ Id.
\40\ See CERC Comments at 7-8; Archway Marketing Services at 5-
6.
---------------------------------------------------------------------------
17. Other commenters, particularly retailers, supported the use of
an ``electronic coupon card'' (ECC) on which the $40 value can be
credited towards the purchase of a CECB. Many commenters agreed that
use of the ECC was the most efficient way to administer the program as
well as the best way to reduce fraud.\41\ CERC stated that an ECC
should (a) bear a ``use by'' date on its surface and should be coded to
expire after the time indicated on its surface; (b) carry a unique
serialized number (encoded in a magnetic strip and printed in human-
readable form on the card) that can be transmitted to a central
database immediately upon submission for on-line verification; and (c)
provide clear and succinct rules concerning coupon use.\42\ CERC also
noted that the use of ECCs would permit more consumer friendly
converter exchanges.\43\ It was also noted that the use of ECCs would
facilitate real-time transmission of information on redemption rates
which is important because transmission delays may limit NTIA's ability
to monitor performance or to request additional congressional
[[Page 12100]]
funding.\44\ There were, however, concerns expressed about the use of
ECCs. For example, ORC Macro noted that these cards may not be
compatible with electronic scanning devices used by participating
retailers, and that the requirement for electronic systems may
eliminate small retailers from participating.\45\ NTIA also received
conflicting comments on whether ECCs could be encoded to limit use to a
specific product.\46\ Retailers suggested that ECCs may require
significant up-front costs for software, payment processing and
employee training.\47\
---------------------------------------------------------------------------
\41\ See Joint Industry Commenters at 22; CERC Comments at 7-8;
Samsung Electronics Comments at 2; Joint Consumer Comments at 17;
Best Buy Comments at 2; RadioShack Corporation Comments at 10.
\42\ CERC Comments at 6-9.
\43\ Id. at 8.
\44\ Joint Consumer Comments at 17.
\45\ ORC Macro Comments at 3.
\46\ Archway Marketing Services Comments at 6; Sodexho Comments
at 9; Best Buy Comments at 2: CERC Comments at 7; Stored Value
Systems, Inc. Comments at 8.
\47\ Best Buy Comments at 2; CERC Comments at 6.
---------------------------------------------------------------------------
18. The coupons will not carry any ``stored value,'' but the
appropriate amount will be identified on the cards and authorized for
redemption when matched to the central database to verify each
transaction. In light of the comments received, particularly those from
retailers, NTIA will provide coupons that are capable of electronically
encoding information that is necessary for the program to run
efficiently and permit electronic tracking of transactions. NTIA also
believes that electronically encoded coupons will reduce opportunities
for fraud in the program. NTIA notes that electronic information may be
encoded on paper coupons as well as plastic cards.\48\
---------------------------------------------------------------------------
\48\ An example of a paper card with electronic tracking
capability would be a MetroCard, used in the Washington D.C.-area
Metro system.
---------------------------------------------------------------------------
C. Application Process
19. NTIA proposed to require coupon applicants to submit the
following information: (1) name; (2) address (no Post Office Box); (3)
the number of coupons required, not to exceed two coupons; (4) a
certification that they only receive over-the-air television signals
using an analog-only (NTSC) television receiver; and (5) a
certification that no other member of the household has or will apply
for a coupon. Furthermore, consistent with the Act, NTIA proposed to
commence the application period on January 1, 2008 and conclude on
March 31, 2009. If an applicant does not specify the number of coupons
needed, NTIA proposed sending the applicant one coupon. Also consistent
with the Act, NTIA proposed sending the requested coupon(s) via the
United States Postal Service.
20. Few of the comments raised concerns about the information NTIA
proposed to require consumers to provide as part of the application
process. CERC, however, argued that certifications that a household
receives only over-the-air television signals and that no one else in
the household will apply is neither consistent with the Act, nor
practical nor fair.\49\ Council Tree Communications Inc. argued that
NTIA should allow for ``alternative methods of delivering the coupons
to Indian Reservations and Alaskan Native Villages.''\50\ Some
commenters encouraged the Agency to make applications available in
foreign languages.\51\ With respect to the application period, one
commenter suggested that the time period be extended to December 31,
2009, because consumers may not understand the need for a converter box
until their televisions go dark after February 17, 2009.\52\
---------------------------------------------------------------------------
\49\ CERC Comments at 9.
\50\ Council Tree Communications Inc. Comments at 1.
\51\ Sunbelt Multimedia Co. Comments at 12.
\52\ Robert Diaz Comments.
---------------------------------------------------------------------------
21. The Final Rule requires applicants to provide NTIA with only
the information necessary for NTIA to fulfill a coupon request.
Accordingly, applicants for coupons must provide the following: (1)
name; (2) address; (3) the number of coupons that they require; and (4)
a certification as to whether they receive cable, satellite, or other
pay televison service. NTIA is sensitive to privacy concerns and is not
requesting unnecessary personal identification information, such as
social security numbers. Multifamily residences (i.e., a residence
occupied by more than one family unit) will not be eligible for more
than two coupons unless each household is occupied as separate living
quarters and has a separate U.S. postal address. Coupons will be mailed
via the U.S. postal service along with the terms and conditions of use.
Given the sensitivity of commenters to the prevalence of Post Office
Boxes in rural America, NTIA will make allowances for households on
Indian Reservations, Alaskan Native Villages and other rural areas
where Post Office Boxes are the only means of mail delivery. Residents
of Indian reservation, Alaskan Native Villages and other rural areas
without home postal delivery may be requested to supply additional
information to identify the physical location of the household. With
respect to the application period, NTIA will adhere to the period
provided in the legislation; thus NTIA will accept applications only
between January 1, 2008 and March 31, 2009.\53\
---------------------------------------------------------------------------
\53\ Section 3005(c)(1)(A) of the Act.
---------------------------------------------------------------------------
22. Commenters agreed with NTIA's proposal to make application
forms widely available.\54\ NTIA will administer the program to make it
accessible particularly to those in need of coupons. As part of the
consumer education program, consumers will be made aware of the various
ways to access and submit applications for the Coupon Program. NTIA
will ensure that applications and accompanying materials are available
in other languages consistent with its obligations under Executive
Order 13166, ``Improving Access to Services for Persons with Limited
English Proficiency,'' (Aug. 11, 2000).\55\ The Final Rule provides
that coupons may be requested by mail, by phone and electronically
(e.g., by email or through a website).
---------------------------------------------------------------------------
\54\ AARP Comments at 9-10.
\55\ The Department of Commerce Limited English Proficiency
guidelines are provided on the Department's website at https://
www.osec.doc.gov/ocr/doclepplan2003.pdf.
---------------------------------------------------------------------------
D. Coupon Expiration
23. According to the Act, coupons issued under this program are to
expire three months after issuance. Accordingly, NTIA proposed to print
an expiration date on each coupon and proposed that the expiration date
be three months after the coupon's issuance date. NTIA defined issuance
date as the date upon which the coupon is placed in the U. S. mail.
24. Although commenters agreed with NTIA's proposal to print an
expiration date on the coupon, many thought that the proposed
expiration date of three months after the coupon's issuance should be
extended. The time that commenters suggested the date be extended
varied from three to ten days after issuance to take into consideration
such matters as the rural location of the consumers, homebound or
disabled consumers, slow mail delivery and coupons lost in the
mail.\56\
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\56\ Susan Stanke Comments; Richard Brittain Comments; AARP
Comments at 10; Best Buy Comments at 3; RadioShack Comments at 9;
Sunbelt Multimedia Co. Comments at 11. See also Ralph L. Mlaska
Comments (coupons issued in first 6 months of the year should expire
in December; coupons issued in the last 6 months should expire in
July of the following year); George McLam Comments (program should
last all of 2009).
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25. As stated above, the Act requires NTIA to issue coupons that
expire three months after issuance. NTIA believes that three months is
reasonable and allows ample time for consumers to receive and use the
coupons. The expiration date will encourage
[[Page 12101]]
consumers to use coupons promptly and will permit NTIA to use funds
from expired coupons to issue coupons to other households. Accordingly,
NTIA adopts a rule that coupons will be issued with an expiration date
of three months after the issuance date. Three months will further be
defined as 90 calendar days to provide a uniform redemption period for
all coupon recipients. The issuance date will be the date the coupon is
placed in the U. S. Mail.
E. Coupon-Eligible Converter Box
26. The Act defines the term ``digital-to-analog converter box'' (a
CECB) as ``a stand-alone device that does not contain features or
functions except those necessary to enable a consumer to convert any
channel broadcast in the digital television service into a format that
the consumer can display on television receivers designed to receive
and display signals only in the analog television service, but may also
include a remote control device.''\57\ NTIA's Final Rule adopts
technical specifications and features required for a CECB to qualify
for the Coupon Program. Manufacturers are free to market converter
boxes which do not comply with the requirements of the Final Rule,
although such devices would not be eligible for the Coupon Program.
---------------------------------------------------------------------------
\57\ See Section 3005(d) of the Act.
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27. NTIA acknowledges that many sections of the NPRM incorporate
standards or rules adopted by the FCC regarding digital television
transmission or receiver requirements, and also incorporate industry
standards and guidelines adopted by the Advanced Television Systems
Committee (ATSC), CEA or other organizations.\58\ NTIA's incorporation
of these industry standards and guidelines or FCC standards and rules
into its regulations is intended to assist converter-box manufacturers
by gathering NTIA's basic converter-box requirements in a single place.
NTIA's regulations do not supercede the FCC's authority, affect any FCC
requirement or revise any of the industry standards and guidelines
discussed in this document. In these regulations, NTIA adopts technical
specifications and features required for a CECB. NTIA recognizes that
CECBs are not currently available to consumers, and that manufacturers
will have barely 12 months to bring converter boxes compliant with NTIA
specifications to market, less than the typical 18-month manufacturing
cycle.\59\
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\58\ FCC receiver standards are set forth at 47 CFR 15.117; FCC
transmission standards are set forth at 47 CFR 73.682. Examples of
industry standards and guidelines incorporated in this Final Rule
are ATSC A/74 and CEA 909.
\59\ Thomson Comments at 8.
---------------------------------------------------------------------------
28. NTIA underscores that the converter boxes that will be eligible
for this program are in development and are not yet commercially
available. NTIA cannot warrant the performance, suitability or
usefulness of any CECB.
29. The NPRM requested comment on NTIA's proposed rule to define
the converter box eligible for the Coupon Program. The NPRM presented
several guidelines which NTIA used in developing the proposed rule and
analyzing the comments submitted by the public. These guidelines
include the ability of consumers to continue receiving broadcast
programming in the same receiving configuration (e.g., same household
antenna, same location) as used for the existing analog reception; that
the CECBs be inexpensive but meet a minimum performance level; and that
they should be easy to install and operate.\60\
---------------------------------------------------------------------------
\60\ NPRM, 71 FR at 42,069-70.
---------------------------------------------------------------------------
30. The NPRM requested comment on several related issues, including
the appropriate minimum technical capabilities for CECBs, their
features; and the extent to which NTIA should consider certain
standards, such as energy efficiency, in determining the type of
converter box that would be eligible for the Coupon Program. Comment
was also sought on how NTIA can determine whether a converter box meets
the requirements of the Coupon Program and how the CECBs should be
identified so the public is informed that a specific box is eligible
for a coupon. Comments were received on each of these issues as well as
additional areas. Each of these is discussed in the following sections.
a. Minimum Technical Specifications: ATSC Guidelines A/74 and FCC Part
73
31. The NPRM stated that ``[f]or purposes of the coupon program,
NTIA proposed certain standards for a minimum-capabilities converter
box that simply converts an ATSC terrestrial digital broadcasting
signal to the analog National Television Standards Committee (NTSC)
format.''\61\ The NPRM proposed that the converter box should be
capable of receiving, decoding and presenting video and audio from
digital television transmissions as specified in FCC Part 73 (47 CFR
Part 73) and that meet the ATSC Recommended Practice: Receiver
Performance Guidelines ATSC A/74 (A/74).
---------------------------------------------------------------------------
\61\ Id. at 42,069.
---------------------------------------------------------------------------
32. NTIA received many comments regarding the technical
specifications proposed in the NPRM. All the comments agreed that A/74
should form the basis of the technical specifications for the CECB.\62\
One commenter, Zoran, urged NTIA to adopt, but not exceed, the A/74
guideline. Zoran stated that ``[e]xceeding A/74 on a basic set top box
calls for over engineering and the use of non-commodity parts that
increase cost exponentially.''\63\ Many of the commenters recommended
that NTIA adopt performance specifications for the converter box that
go beyond the receiver guidelines contained in A/74. The Joint Industry
Comments noted that there have been ongoing improvements in technology
since the A/74 guidelines were adopted in 2004 that would enable NTIA
to set reasonable requirements exceeding A/74 performance levels in
some areas and also to fill in some requirements for performance levels
where A/74 only specified test procedures.\64\ MTVA, an association of
television stations that serve the New York City metropolitan area,
echoed the Joint Industry Comments and indicated that it may be
possible to improve on the A/74 performance levels with the fifth
generation of VSB decoder chips and new RF tuners that have been
developed since A/74 was adopted.\65\ Charles Rhodes, former Chief
Scientist of the Advanced Television Test Center, that tested the DTV
systems adopted by the FCC in 1996, stated that A/74 was just a
guideline and was never intended to serve as a minimum performance
standard.\66\
---------------------------------------------------------------------------
\62\ See e.g., Funai Comments at 7; Microtune Comments at 1;
Motorola Comments at 2.
\63\ Zoran Comments at. 2.
\64\ Joint Industry Comments at i. See also LG Electronics
Comments at 10; Samsung Comments at 2; Thomson Comments at 4.
\65\ MTVA Comments at 9-10.
\66\ Charles W. Rhodes Comments at 1.
---------------------------------------------------------------------------
33. The New America Foundation et al (NAF) also recommended that
NTIA establish performance specifications beyond those contained in A/
74.\67\ NAF's concerns regarding NTIA converter-box specifications
extend beyond the delivery of digital television to those who currently
depend on analog television. NAF argued that the quality of the
converter boxes NTIA mandates will affect the utility of the white
spaces within TV channels 2-51
[[Page 12102]]
and noted that, in an FCC NPRM on ``Unlicensed Operation in the
Broadcast Bands'' (Docket 04-186), the FCC expressed concern that low-
quality DTV receivers could severely impact the utility of the white
spaces within TV channels 2-51.''\68\ NAF suggested that
desensitization performance of the converter boxes should be considered
and should be equivalent to most of the stand-alone TV sets presently
marketed. NAF also proposed that detailed engineering measurements be
made of the susceptibility of current DTV receiver designs to
interference from out of band signals.\69\ NAF noted that the FCC was
conducting tests that will not be available until mid-2007, but
presented preliminary results of the three receiver tests it funded at
the University of Kansas.\70\ Raising another issue regarding
interference, MTVA recommended that NTIA adopt MTVA specifications for
NTSC into DTV taboo channels (television channels that cannot be used
because of interference with other channels).\71\ MTVA did not provide
laboratory or real world measurements supporting its recommendation or
information on whether manufacturers can currently build DTV equipment
capable of meeting proposed specifications.
---------------------------------------------------------------------------
\67\ See Comments from New America Foundation, Media Access
Project Consumer Federation of America, Wireless Internet Service
Providers Association (Wispa), Acorn Active Media Foundation
Community Technology Centers' Network, Champaign Urbana Community
Wireless Network (Cuwin), The Ethos Group, and Freenetworks.org
(collectively, referred to hereafter as NAF Comments).
\68\ NAF Comments at 2; See also Charles W. Rhodes Comments at
1.
\69\ NAF Comments at 5.
\70\ NAF 2nd Comments (November 16, 2006).
\71\ MTVA Comments at 17.
---------------------------------------------------------------------------
34. The comments filed by these organizations all highlight areas
where the commenters believe the A/74 Receiver Performance Guidelines
of June 18, 2004, do not provide a sufficient level of performance for
the CECB. The technical comments and thoughtful recommendations of
these commenters prompted NTIA to reexamine the NPRM proposal that the
A/74 guidelines be adopted as the performance specifications for the
CECBs.
35. While all of these commenters recommend that NTIA adopt
specifications or tests to qualify a CECB that go beyond those in the
A/74 guidelines, they each present differing technical
recommendations.\72\ NTIA shares the concern of the commenters that
CECBs perform at a level to meet the reception needs of the American
public. NTIA has carefully analyzed the recommendations presented by
the commenters, and has seen no scientific data that any proposed set
of technical specifications will ensure any given level of performance
of converter boxes in real-world environments. Many of the commenters
recommend that further tests be performed.\73\ Given the requirements
of the Act that coupons be available for CECBs early in 2008, there is
time neither for additional analysis testing as proposed by the
commenters nor for the establishment of industry-accepted standards
following such tests.\74\
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\72\ For example, while A/74 does not require any specific
number of field ensembles to be successfully demodulated, the Joint
Industry Comments recommended that a converter box successfully
demodulate 30 of the 50 field ensembles included in A/74. Joint
Industry Comments at Appendix 4. Rhodes recommends that ``tests of
ACI [adjacent channel interference] should be carried out over the
full range of D [desired] signal powers that will exist within the
coverage area of the transmitter,'' while A/74 only specifies three
desired signal power levels. Rhodes Comments at 4. MTVA stated that
multiple interfering signal tests are important but said that
reasonable interference levels are not yet known. MTVA Comments at
15. NAF indicated that in addition to the A/74 guidelines, tests
must also include desensitization performance. NAF Comments at 5.
\73\ For example, the MTVA noted that ``reasonable interference
values are not yet known at this time, but should be investigated
(with lab testing) in the near future recognizing current tuner
technology.'' MTVA Comments at 15. See also Charles Rhodes Comments
at 7 (``testing should cover the same desired signal power range as
in single Taboo testing above....It is my intention to actually
perform these tests in my own laboratory in the next few months'');
NAF Comments at 5 (``detailed engineering measurements as to the
susceptibility of current DTV receiver designs to interference from
out-of-band signals are needed.'').
\74\ ``[A]ssuming NTIA adopts final rules by January 1, 2007,
manufacturers will have barely 12 months to bring compliant
converter boxes to market-less than the typical 18-month
manufacturing cycle.'' Thompson Comments at 8.
---------------------------------------------------------------------------
36. While NTIA cannot guarantee the performance of the CECBs, NTIA
intends that coupons be used for converter boxes using current
technology available in the marketplace. To this end, NTIA recognizes
that digital reception technology has advanced in the two years since
the adoption of A/74. Further, NTIA recognizes that in order to qualify
a converter box to meet minimum specifications, it must, in the words
of the Joint Industry Comments ``fill in some requirements for
performance levels where ATSC A/74 only specified test
procedures.''\75\
---------------------------------------------------------------------------
\75\ Joint Industry Comments at 1.
---------------------------------------------------------------------------
37. Having reviewed the comments filed by many parties, NTIA has
accepted the technical recommendations of the Joint Industry Comments
as the basis for the minimum technical specifications of the CECB. The
Joint Industry Comments represent a collaboration by the broadcast
industry and the consumer electronics industry to present a set of
technical specifications which both industries believe can provide the
American consumer with a high-quality, low-cost and easy-to-use CECB.
The Joint Industry Comments use the A/74 guidelines as the basis for
their proposal, but propose several revisions to reflect advances in
technology in the two years since the A/74 standard was adopted.
Further, they propose target performance levels in several areas where
A/74 only specifies test procedures. The NAB and MSTV have funded the
development of converter-box prototypes from two manufacturers which
they state demonstrate that the technical specifications they propose
are ``clearly achievable in practical products designed to be amenable
to production in mass manufacturing quantities. Further, the project
results provide tangible evidence that a high-quality, low-cost
converter box can be built with measured performance that exceeds the
levels specified in the ATSC A/74 Recommended Practice on Receiver
Performance in several important areas and consequently can provide
reliable reception under a variety of real-world conditions.''\76\
---------------------------------------------------------------------------
\76\ Id. at 13.
---------------------------------------------------------------------------
38. NTIA believes that CECBs should be produced according to
specifications currently accepted by major manufacturers. It would be
contrary to the public interest if coupons were used to purchase
converters designed with obsolete or poorly performing components.\77\
On the other hand, some commenters suggested technical specifications
that have not been widely agreed upon nor quantified; and products in
widespread commercial deployment have not been tested to these
specifications. The technical specifications adopted by NTIA should
provide American consumers with an economical CECB containing state-of-
the-art technology available today from manufacturers within the time
frame required by the Act.
---------------------------------------------------------------------------
\77\ Letter from Members of the House Energy and Commerce
Committee at 2 (stating that converter boxes should, at a minimum,
replicate the picture and audio quality consumers experience today
when watching their analog televisions).
---------------------------------------------------------------------------
39. Therefore, NTIA adopts the required minimum features and
technical specifications in Technical Appendix 1 of the Final Rule. In
addition, NTIA specifies permitted and prohibited features of a CECB in
Technical Appendix 2.
b. Converter-Box Antenna Inputs
i. Smart Antenna
40. The NPRM proposed that the only input to the converter box
shall be for an external antenna. The NPRM stated that ``[a] single
input (Type F connector) ensures that only an antenna can be
[[Page 12103]]
connected to eligible boxes thus ensuring use of such boxes as for
over-the-air television reception only.''\78\ The F-type connector is
the standard antenna input in most television receivers. While the F-
type connector was supported by all who commented on antenna inputs,
many commenters requested that an additional antenna input be permitted
in the CECB. Most of the comments proposing an additional antenna input
requested the flexibility to include an interface for a technology
known as a smart antenna.\79\ A smart antenna allows for automatic
electronic steering and signal-level control so a consumer can receive
the best signal for each channel. The Joint Industry Comments stated
that in many markets, television stations' transmitters are located on
different sides of the population center due to separation requirements
or other practical considerations outside their control. In these
instances, consumers can achieve the best reception using
electronically steered smart antennas.\80\
---------------------------------------------------------------------------
\78\ NPRM, 71 FR at 42,070.
\79\ A standard for smart antenna interfaces is defined by the
CEA-909 Antenna Control Interface standard, which is included in the
A/74 guidelines, Section 4.2.
\80\ Joint Industry Comments at 17.
---------------------------------------------------------------------------
41. MTVA stated that in difficult reception environments, the DTV
video and audio is either perfect or nonexistent and the use of a smart
antenna can mean the difference between having good DTV service or no
service.\81\ CERC noted that a smart antenna would ``better allow
consumers to adjust for propagation characteristics and set
capabilities. This may minimize consumer disappointment and post-sale
product exchanges.''\82\
---------------------------------------------------------------------------
\81\ MTVA Comments at 5-6.
\82\ Zoran Comments at 3; but see CERC Comments at 10.
---------------------------------------------------------------------------
42. Zoran, however, opposed the use of a smart antenna and only
supported the use of a passive antenna. RadioShack supported the option
of a smart antenna interface in a CECB. In its comments, RadioShack did
not propose that a smart antenna interface be mandated as it will add
unnecessary cost for many consumers, but recommended that it should be
an option in a certified converter box for those consumers who seek
it.\83\
---------------------------------------------------------------------------
\83\ Radio ShackComments at 20.
---------------------------------------------------------------------------
43. NTIA recognizes that DTV reception can be difficult in many
regions of the country. The NPRM stated that ``[i]deally, a converter
box should be able to receive digital broadcast signals in the same
receiving configuration (e.g., same household antenna, same location)
as used for the existing analog reception.''\84\ NTIA notes, however,
recent GAO congressional testimony indicating that antenna reception of
digital signals may vary based on a household's geography and other
factors.\85\ In addition, antennas configured for primarily VHF service
may not be as effective as many stations switch to UHF frequencies.
---------------------------------------------------------------------------
\84\ NPRM, 71 FR at 42,069.
\85\ See GAO Challenges Report at 6.
---------------------------------------------------------------------------
44. After reviewing the comments from Joint Industry Comments, MTVA
and others, as well as the GAO congressional testimony, NTIA concludes
that many consumers may wish to use smart antennas. While NTIA expects
that the industry will continue to work on improving the performance
and reduce the cost of both passive and active smart antennas, NTIA
believes that many consumers will benefit from smart-antenna technology
to receive over-the-air digital television broadcasts. It is clear,
however, that a smart-antenna interface will add to the cost of the
converter box and will not be needed by many households.
45. In order to permit the inclusion of a smart antenna, but not
add to the cost of the converter box for those who do not require this
capability, the Final Rule will permit, but not require, manufacturers
to include in their CECBs the circuitry and connectors associated with
the so-called smart-antenna interface.
ii. Bundling
46. In its comments, Funai supported the use of a smart antenna and
recommended that ``the `bundling' of such an antenna with a DTA box
should not preclude eligibility for the subsidy.''\86\ Funai suggested
that ``[a]lthough prices may fluctuate due to market conditions, we
conservatively estimate that it is possible to price a DTA and Smart-
Antenna bundle at less than $100.''\87\ NTIA does not believe that the
bundling of a smart antenna with a converter box meets the requirement
of the Act which defines a CECB as a ``stand-alone'' device.\88\ The
purchase of a smart antenna at the same time a consumer purchases a
converter box equipped with a smart-antenna interface will ease the
installation and operation of the converter box for many people.
Manufacturers or retailers may wish to offer combined purchases of
converter boxes with smart antenna interfaces and smart antennas at
promotional prices. The CECB, however, must be presented for sale at
all outlets as a stand-alone single unit and cannot be sold conditioned
on the purchase of any other items.
---------------------------------------------------------------------------
\86\ Funai Comments at 10.
\87\ Funai 2\nd\ Comments at 1-2.
\88\ See Section 3005(d) of the Act.
---------------------------------------------------------------------------
iii. CEA-909
47. CEA-909 is the current industry standard for a smart antenna
interface. MTVA stated that ``eligibility should not be limited to only
devices that comply with this standard (CEA-909) since such a
requirement could preclude or delay technological advances in this area
that are now being considered.''\89\ NTIA recognizes that technological
advances are being made in many areas of digital television
broadcasting. In order for this program to proceed so converter boxes
can be available to the public in 2008, however, NTIA must establish a
Final Rule to specify CECBs which manufacturers will build during 2007.
A reference to this standard will be included in the Final Rule for the
program.
---------------------------------------------------------------------------
\89\ MTVA Comments at 5.
---------------------------------------------------------------------------
iv. 300 Ohm Inputs
48. The Community Broadcasters Association (CBA) did not object to
NTIA's proposal that a CECB have an RF input, but recommended that
``manufacturers who choose to add a 300-ohm input with screw terminals
should not be penalized for doing so.''\90\ The CBA comments included
no further explanation or information supporting this recommendation.
NTIA recognizes that use of 300-ohm antenna inputs is old technology
and has no information on the number of television receivers in use
today that are equipped only with 300-ohm antenna inputs. NTIA also
recognizes that many inexpensive indoor ``rabbit-ear'' antennas have
300-ohm connectors. NTIA notes that manufacturers of television
receivers commonly include inexpensive matching transformers to connect
300-ohm ribbon leads to Type F inputs rather than including built-in
300-ohm antenna inputs, and that such transformers are commonly
available where television receivers are sold. We believe that the use
of these inexpensive transformers is the most economical method of
meeting the needs of those consumers who have television receivers
which only contain 300-ohm inputs. The Final Rule, therefore, will
permit, but not require, manufacturers to include matching transformers
to connect 300-ohm ribbon leads to the required Type F connectors. The
Final Rule will also permit manufacturers to
[[Page 12104]]
provide connectors for 300-ohm inputs on the CECB.
---------------------------------------------------------------------------
\90\ CBA Comments at 6. Richard Brittain also noted that older
sets still have 300-ohm ribbon leads and screw terminals instead of
Type F connectors. See Richard Brittain Comments.
---------------------------------------------------------------------------
c. Analog Signal Pass Through
49. The National Translator Association recommended that the CECBs
pass analog signals directly through without processing or
modification.\91\ The CBA also requested that NTIA require that CECBs
pass through an analog signal, either actively or passively. CBA noted
that Class A and LPTV stations are not subject to the February 17, 2009
end-of-transition deadline, applicable to full-power stations. It
indicated that it was important that the converter box not block the
analog signal.\92\ LPTV licensee Island Broadcasting noted that
thousands of LPTV stations in the United States will remain analog
after the transition and are not carried on a cable system or other
multi-channel video delivery service. Island recommended that the
converter box contain a feature to pass through the analog signal from
the antenna to the TV receiver, either when the box is shut off, the
signal is passed, or by means of a built in by-pass switch.\93\ Funai,
however, noted that ``[a]n analog pass through, while conveniently
retaining legacy analog TV support, would degrade the RF noise
performance of all so-equipped DTA tuners by 3dB-a penalty that could
not be recovered by any consumer with such a unit.'' Funai recommended
that a consumer purchase a separate switch and/or external splitter to
receive analog television.\94\
---------------------------------------------------------------------------
\91\ National Translator Association Comments at 1.
\92\ CBA Comments at 3.
\93\ Island Broadcasting Comments at 2. Similar comments were
filed by the Association of Public Television Stations (APTS), which
recommended ``that NTIA allow eligible converter boxes to contain a
built-in and easily workable A/B switch.'' APTS Comments at 30.
Richard Brittain recommended a pass through of analog signals if the
box is turned off. See Brittain Comments.
\94\ Funai, 2\nd\ Comments at 2 (Nov. 17, 2002).
---------------------------------------------------------------------------
50. NTIA is sensitive to the needs of consumers who will wish to
continue to view over-the-air analog television during and after the
digital transition. Not only will many consumers continue to rely on
analog television reception of Class A stations, LPTV stations and
translators after the transition, many consumers who purchase the CECB
will require the ability to receive analog television signals during
the transition period as not all full-power television stations in the
United States have completed their digital build-out. NTIA, however, is
reluctant to require an analog pass through feature because it will
result in a reduction in received signal level and in increased cost to
all consumers who purchase a CECB. The amount of reduction in receiver
sensitivity and increased cost is dependent on how the analog pass
through feature is implemented. This reduction may not be noticeable to
consumers who receive strong signals in urban areas, but may mean that
consumers who receive marginal digital and analog signals will be
unable to receive television signals via the CECB. NTIA notes that
switches and external splitters are commonly available where television
sets are sold. A single A/B switch will not fully bypass a CECB,
however, creating a difficult wiring scenario for the consumers.
Splitters and their inherent loss as well as additional cabling makes
their use less than optimal in fringe reception areas. NTIA strongly
urges manufacturers to take into consideration the needs of consumers
to receive analog television along with digital television in the
development of CECBs and to investigate minimal signal loss solutions
that would ensure an acceptable analog signal pass-through. In the
Final Rule, NTIA permits that the converter box to pass through the
analog signal from the antenna to the TV receiver.
d. Converter-Box Outputs
i. RF and Composite Video Outputs
51. The NPRM proposed that the converter box contain the following
outputs: Composite video and stereo audio (all three RCA co