1209 lines
67 KiB
Plaintext
1209 lines
67 KiB
Plaintext
SPECIALIZED MOBILE RADIO
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February 1991
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Doron Fertig
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Policy and Planning Branch
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Land Mobile & Microwave Division
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Private Radio Bureau
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Federal Communications Commission
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Washington, D.C. 20554
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Preface
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In the past few years, interest has grown in Specialized Mobile Radio (SMR), a
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commercial private radio communications service. This background paper has
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been prepared to provide information on this industry.
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We would like to thank the many people in the SMR industry who have kindly
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given us their valuable time and shared their knowledge so that we might
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produce a more interesting and informative document.
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Abstract
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In 1974, the Federal Communications Commission created the Specialized Mobile
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Radio (SMR) Service. This service, little known to the general public, has
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rapidly developed into one of the most exciting industries regulated by the
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Commission. SMR service is available in more of the country than better known
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services such as cellular radio and cable TV. This service has been copied in
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many European countries, Canada and Japan. SMR systems today provide service
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in the U.S. to over one million radio users. By the twenty-first century,
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SMRs will be a multibillion dollar industry providing critical communications
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support to several million American workers. This paper provides a detailed
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description of what an SMR is, a basic analysis of the regulations faced by
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SMRs and an economic summary of the SMR industry. The paper concludes with a
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detailed history of Commission regulations regarding SMRs.
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I. What is an SMR?
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In 1934, Congress created the Federal Communications Commission and charged it
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with responsibility for allocating and regulating the nation's radio spectrum.
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Much of the Commission's initial work involved allocating specific segments of
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the spectrum to specific classes of users. The Commission has allocated
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spectrum to broad categories of users such as broadcasters, which include AM,
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FM and television stations, and common carriers, such as long distance phone
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companies and cellular radio operators. A third category, consisting of
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businesses and other entities using spectrum for private communications
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purposes, has become known as the private radio services.
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In the private radio services, the Commission historically set aside certain
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spectrum for use by particular industries. This resulted in various radio
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services associated with specific industries such as the Motion Picture Radio
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Service, the Forestry-Conservation Radio Service, and the Taxicab Radio
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Service./1/ As demand for service has grown, the Commission has begun
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promoting more efficient use of the spectrum by allowing marketplace forces to
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play a greater role in the day-to-day management of private radio services./2/
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A major example of this new policy was the Commission's creation in 1974 of a
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new radio service, Specialized Mobile Radio (SMR), to provide land mobile
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communications on a commercial (i.e., for profit) basis to those users who
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could themselves have been licensed in the private land mobile services.
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Today, this approach has made two-way mobile communications available to many
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businesses, governmental units and individuals who otherwise might have gone
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unserved.
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The first SMRs began operating a little more than a decade ago./3/ In 1987,
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private sources estimated annual sales of SMR operating systems, end-user
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equipment, attendant services, and miscellaneous products and services at $1
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billion./4/ Currently there are about 7000 SMR systems nationwide./5/ We
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estimate there are over one million mobile and fixed radio units using SMRs.
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In simple terms, an SMR operator owns a radio system that includes one or more
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base station transmitters, one or more antennas, and other radio equipment
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that this parties may, for a fee, use. The third party usually, but not
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always, provides his own mobile radio unit. This fee, plus a license from the
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Commission, entities an end user to send and receive radio messages through
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the SMR system or to make and receive mobile telephone calls./6/
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The main service provided by an SMR is that the radio system received either
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telephone transmissions or low power signals from end user mobile radios or
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from telephone transmissions. Those messages are then either retransmitted
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with a much stronger radio signal so that other radios can hear the original
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message or routed through phone lines./7/ Without this type of repeater
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process, the electromagnetic frequencies used by SMR systems would not be
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practical for mobile communications.
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SMR systems consist of two types: conventional and trunked radio systems.
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Trunked systems, which constitute the majority of SMR systems, are much more
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efficient in terms of the number of users that can be supported. With
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conventional systems, an end user will typically be licensed for only one
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channel (frequency)./8/ If someone else is already using that end user's
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assigned channel, the end user must wait until that channel is available, even
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if a channel on another systems in the same market is currently unused. With
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a multi-channel trunked system, the system's microprocessing capabilities
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automatically search for an open channel./9/ This "search" capability allows
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more users to be served per radio channel. This efficiency arises because the
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probability of all channels in a large system being used at one time is lower
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than the probability of a single given channel being used. Once a user is
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assigned a channel by the system, no one else can use that channel and
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interfere with the end user's communications for the duration of that
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communication.
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Trunked systems also have privacy benefits: because a user could be talking on
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any of the channels within the trunked system, unauthorized parties have a
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more difficult time eavesdropping on the communications of a specific trunked
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SMR system user than on those of a traditional one channel conventional SMR
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system user. This increased privacy is one of the key selling points of
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trunked systems. Because of the relatively high cost of building a trunked
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system and the general unavailability of private radio spectrum in major urban
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markets, few businesses could afford, or acquire sufficient spectrum for,
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trunked radio systems without SMRs.
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SMR end users typically operate in either a "dispatch" mode or an
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"interconnected" more. Many SMRs have the flexibility to offer both
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modes./10/ Dispatch mode is two-way, over the air, voice communications
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between two or more mobile units (e.g., between a car and a truck) or between
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mobile unit(s) and fixed units (e.g., between the end user's office and a
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truck). Dispatch communications are generally short, under one minute. A
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well known example of dispatch communications by non-SMRs is a police
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dispatcher who radios a message to all patrol cards (or a specific police
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unit) to go to the scene of a crime. The return call by a given patrol car is
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also a dispatch communication. Typical SMR customers using dispatch
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communications include construction companies with several trucks at different
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jobs or on the road, with a dispatch operation in a central office.
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Interconnected mode is interconnection of mobile radio units with the public
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switched telephone network. This lets the mobile radio unit function as a
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mobile telephone. It is in this area that SMR service is similar to cellular
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telephone service.
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The following example illustrates the operation of a typical SMR service.
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John's Limo Service has several cars that John needs to communicate with from
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his office (i.e., dispatch service). He decides to obtain this dispatch
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service, along with the necessary radio equipment, from ABC SMR Systems. Now,
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if a customer phones John's Limo Service and asks John to send a limo, John
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transmits a radio message to ABC's SMR station, which automatically repeats
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the message for pickup by any or all of John's limousines. If a driver wants
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to respond to the call, he may then send a return message to John via the same
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station. In fact, any of the cars may hold a conversation with any other car
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or with John back at the office. For a fee that includes the cost of
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telephone service, ABC SMR Systems will interconnect any of John's drivers
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with the local phone system. Thus, if the limo driver could not find the
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client's house, he could call the client for better directions. (See Figure
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1).
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ABC SMR Systems' microprocessing capacity can be used for several purposes
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besides assigning users open channels. For example, ABC can use the
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microprocessors controlling the trunking process to monitor a given end user
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or to measure use for billing purposes if billing is on the basis of air time
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used. In addition, the microprocessors can be programmed to provide a wide
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array of services. For example, John can simultaneously speak to all the
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limos or speak only to a specific limo. Specific radios in the fleet can be
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given greater degrees of privacy. John can restrict car-to-car conversations
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to prevent the drivers from wasting time by talking to each other. The
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microprocessors can restrict phone calls to local service only.
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Many mobile radios are capable of using several different SMR systems. This
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feature allows operators of several SMR systems to offer wide area or roaming
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service to end users. One of the more common advanced features offered by SMR
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operators is Direct Inward Dialing. This feature allows anyone to easily
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initiate direct telephone contact with individual cars. With this option, an
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individual limo can be telephoned with no more steps or digits than a standard
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phone.
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The SMR industry offers relatively low cost and reasonable quality mobile
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communications to end users. SMRs generally offer business a less expensive
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alternative to cellular service, while offering services not readily available
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elsewhere. Because large numbers of end users can share a system, SMRs make
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trunked technology accessible to smaller businesses that could not afford
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trunked technology on an individual basis. Thus small businesses can obtain
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mobile communications of a quality comparable to that available to much bigger
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businesses. SMRs also make a broad range of service (such as direct dialing
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to specific cars or sets of cars) and different billing options (such as flat
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rates vs. airtime billing) available to businesses of any size.
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Free market competition also has contributed to the success of the SMR
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industry. SMRs are not subject to state regulation and have been subject to
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increasingly flexible federal regulations (as set by the Commission). While
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consolidation has reduced the number of competitors in each market, the
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industry continues to be competitive./11/ In sum, the SMR service has become
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successful because of good service, privacy, flexibility, competition and
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reasonable prices.
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The next chapter includes a summary of the Commission's rules. An appendix
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after the main section chronologically summarizes the documents cited in this
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next chapter. The appendix is a history of the Commission's regulations
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governing SMRs. Following the next chapter is a summary of the SMR industry
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today.
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[Insert Figure 1 here showing picture of 10 channel trunked SMR operation with
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4 interconnected channels. Caption reads: The SMR operation will be located
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at a point above the local terrain, such as a tall building. When John picks
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up his radio, the SMR equipment assigns him a pair of open channels, in this
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case FC. John's message is broadcast over FC1, received by the SMR repeater
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and retransmitted on FC2 to the limo. If a passenger in the limo wants to
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place a phone call, he/she will be assigned an interconnected channel. The
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call will then be routed at the SMR to the local public switched telephone
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network.]
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II. Regulations
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SMRs operate under a different set of regulations than other commercial radio
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services such as Radio Common Carriers and Cellular Radio operators. Over the
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past few years, these regulations have become extremely flexible./12/
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The most basic rule is that SMRs are considered private carriers. By virtue
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of being private, rather than common, carriers SMRs are exempted by Section
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331 of the Communications Act from state entry or rate regulation./13/ Nor
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does the Commission regulate the prices charged by private carriers. The
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absence of state and price regulation is considered by many to be critical to
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the industry's ability to achieve maximum growth and efficiency.
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The first regulatory hurdle in getting an SMR license is finding available
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frequencies at a desirable site. Two distinct sets of frequencies are
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available for SMR operations: 800 MHz and 900 MHz./14/ The radio equipment
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intended for 800 MHz SMRs is not currently compatible with radio equipment
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intended for 900 MHz SMRs (and vice versa)./15/
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The Commission is currently accepting applications only for 800 MHz
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frequencies because all the 900 MHz channels currently available for SMR
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systems (which are in the 50 largest urban markets) either have already been
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assigned or will be assigned based upon lotteries that have already been
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held./16/ In 1989, the Commission released a Notice of Proposed Rule Making
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concerning the allocation of 900 MHz channels outside these 50 markets./17/
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The Commission has proposed that some channels be made available for national
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SMR licenses. The Notice proposes modification of the "40 mile rule"
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(discussed below) to make it easier for SMR operators to develop regional
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systems. The Notice also discusses reassignment of channels taken back in the
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original 50 markets due to non-construction or other reasons.
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In searching for available 800 MHz frequencies, the most important rule to
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consider is the 70 mile co-channel separation rule. Each SMR system operating
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on particular frequencies is granted a 70 mile /18/ separation between its
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primary site /19/ and the primary site of any other system operating on the
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same frequencies. /20/ An available frequency, therefore, is a frequency for
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which there are no other licensed systems within 70 miles of the proposed
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site.
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If you wish to try to obtain 800 MHz frequencies at a site with no available
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frequencies, you may have your name put on a waiting list. Currently there
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are waiting lists for 35 areas (mostly major metropolitan areas plus the State
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of Florida). (See Table 1 for a list of these cities.) /21/
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Another way to get into the SMR business is to purchase an existing system.
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If you do purchase an existing system and own other SMR systems, you are
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subject to a rule specifying that if you own two 800 MHz trunked systems or
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two 900 MHz trunked systems within 40 miles of each other, /22/ at least one
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system must have at least 70 mobile radios per channel loaded on it. /23/
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Like many of the rules that will be described below, this rule was instituted
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to prevent spectrum hoarding. /24/
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An additional rule to consider is that the Commission will not permit the
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transfer of an SMR license to another person, corporation or other entity,
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unless the licensed system is constructed and operational. This rule helps to
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deter the filing of applications by persons who do not intend to provide
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service to the public.
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Once you have obtained a channel or channels, your next step will be to
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construct your own SMR system. Our rules allow one year to construct your
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trunked system and place it in operation. /25/ This rule, like others
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discussed before, is intended to reduce spectrum hoarding. In constructing
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your system, you must decide whether to offer interconnection with the public
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telephone network to your customers. Our rules allow you great flexibility in
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offering interconnection. You may not, however, resell the actual telephone
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service for profit. /26/ The specific requirement is that all telephone
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service costs incurred by the SMR operator should be passed through to the end
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user without a mark-up or additional charges. Our rules are also extremely
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flexible in terms of the technology you may use. There are no
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interoperability standards, either analog or digital transmissions are
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permissible and, subject to interference criteria, non-standard bandwidths are
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permitted. /27/ Fixed use is permitted on a secondary basis.
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You may, if you wish, have your system managed by a third party. Third party
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SMR managers typically are also SMR operators. The Commission allows you to
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use a system manager, provided you retain supervisory control over the system.
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/28/
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Once you begin marketing your services, you will have to ensure the licensing
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of your customers (end users). Each end user must have a license to operate
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mobile radios. End users may, however, use your system under a temporary
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permit for up to 180 days provided they have applied for a license. /29/
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Another major requirement is loading, which refers to the number of mobile
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stations served by your system. For purposes of the loading requirements,
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mobiles include mobile radios in cars and trucks, portable radios and control
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stations (such as the fixed unit at an end user's office). You must have
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loaded your system with at least 70 mobiles per channel to avoid having your
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channels taken back when you renew your license after the initial five-year
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licensing term. /30/ This rule only applies to systems located at a site for
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which all the channels have been assigned (i.e., to systems located in wait
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list areas). This rule will be phased out. Systems licensed after June 1,
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1993, will not be subject to loading standards for purpose of channel take
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backs. For purpose of obtaining additional channels, loading will continue to
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be required. /31/
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Loading requirements are and will continue to be important for two other
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reasons. The first reason is the 40 mile rule previously discussed. The
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second reasons is that except in rural areas, /32/ you may not add additional
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channels to your system unless you have loaded an average of at least 70
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mobiles per channel. This rule also is designed to prevent spectrum hoarding.
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Table 1
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Private Radio 800 MHz Radio Systems Application Waiting List
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Based on Public Notice dated July 2, 1990
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[only cities extracted from table as transcribed here]
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Atlanta, GA
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Austin, TX
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Boston, MA
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Buffalo, NY
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Charlotte, NC
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Chicago, IL
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Cleveland, OH
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Dallas/Forth Worth, TX
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Denver, CO
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Detroit, MI
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El Paso, TX
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Florida (6 sites)
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Harlingen, TX
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Houston, TX
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Las Vegas, NV
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Los Angeles, CA
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Miami, FL
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Midland, TX
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Milwaukee, WI
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Minneapolis, MN
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New Orleans, LA
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New York, NY
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Northern California (4 sites)
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Philadelphia, PA
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Phoenix, AZ
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Portland, OR
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Raleigh, NC
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Rochester, NY
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Saint Louis, MO
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San Antonio, TX
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San Diego, CA
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Seattle, WA
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Tucson, AZ
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Washington, DC
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Yuma, AZ
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III. A Summary of the SMR Industry Today /33/
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As of February, 6, 1991, the Commission's database included 5,093 licenses
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issued nationwide to SMR trunked system operators on about 32,750 channels in
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the 800 MHz band. This works out to an average of 6 channels per system.
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There were about 5,460 SMR base stations at about 3,800 individual sites. The
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370 additional stations above the number of licensees are secondary sites.
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One reasons for fewer SMR base station sites than licensees is that two or
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more licensees with fewer than 20 channels each in a given city may share
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equipment and workforce to lower costs. In particular, they may share a
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controller. In addition, the limited number of preferred sites in major
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metropolitan areas also reduces the number of sites. A review in November
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1988 of 371 call signs located near 10 major metropolitan areas shows an
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average of 7.74 channel pairs per call sign as opposed to the current
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nationwide average of 6 channel call pairs per call sign. This indicates that
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SMR systems located in urban markets have more channels on average than SMR
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systems located in rural markets. For a state-by-state summary of trunked 800
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MHz systems, see Table 2 below. The top 10 urban markets by loading are
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listed in Table 3 below.
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There were also 1,302 licenses for 800 MHz conventional SMR systems and 680
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licenses for 10 channel 900 MHz SMR systems. The nationwide allocation of 900
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MHz channels will result in over 15,000 licensed channels by 900 MHz SMRs. By
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sometime in the 1990's, we expect over 7,000 800 MHz and 900 MHz SMRs using
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over 50,000 channels.
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One of the most interesting trends in the SMR industry has been the movement
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towards regional and even national systems. The Commission has approved
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waivers requested by RAM Mobile Data Communications for a 900 MHz national
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mobile data system and by Millicom for a 900 MHz nationwide voice and data
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system. Motorola Inc. is implementing a national 800 MHz SMR system called
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Coverage Plus that will eventually provide seamless coverage from coast to
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coast. The Commission has also granted waiver relief to Fleet Call for
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several multi-site regional systems that will use digital multiple access
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techniques. The trend toward development of regional systems has led to a
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significant increase in the number of rural SMRs. In response, the Commission
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adopted a Notice of Proposed Rule Making (900 MHz Phase II) on November 28,
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1989, that would provide for nationwide 900 MHz licenses and facilitate the
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development of regional systems. /34/
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Table 2
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[Trunked 800 MHz SMRs by State - not reprinted here]
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Table 3
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Top Ten SMR Markets by Total Loading /35/
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Total Loading (Mobiles)
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Los Angeles 51,316
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San Francisco/Sacramento 36,567
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New York 33,524
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Dallas/Ft. Worth 30,288
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Houston 25,286
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Washington/Baltimore 25,543
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Chicago 24,723
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Miami 21,643
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Boston/Providence 20,260
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Atlanta 17,548
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The SMR industry is generally considered to be competitive, yet quite
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profitable, particularly in major markets. One factor leading to the former
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conclusion is the large number of distinct licensees, about 1,750 as of March
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1989. This works out to an average of only 2 SMR licenses per SMR operator.
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In the past few years, the industry has begun to consolidate. This
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consolidation is expected to continue for several years.
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The profitability of SMR systems is best illustrated by the tremendous
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response to our recent lotteries for 900 MHz channels in the top 50 DFAs (see
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paragraphs on Docket 84-1233 below). It is clear from this response that,
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despite the relatively high cost of 900 MHz equipment, many people believe
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they can earn profits from an SMR license. Profitability is also illustrated
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by the waiting lists for channels in 35 markets. A list of those markets is
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presented in Table 1 above. This list clearly shows the demand for channels
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exceeds the supply.
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The most significant competitor faced by the SMR industry to date is the
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cellular radio industry. Cellular radio differs from SMRs in several
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significant ways. For example, cellular radio operators are common carriers
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and thus subject to state regulation. SMR end users, unlike cellular radio
|
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users, must be licensed. SMRs, unlike cellular radio operators, are
|
||
restricted from reselling interconnection at a profit. Cellular service in a
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given market is provided by exactly two operators. In more markets, there are
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many independent SMRs. Each of the cellular operators in a given market has
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more spectrum than all the SMRs in that market combined.
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|
||
Technologically, most cellular radio systems are more complex and costly than
|
||
most SMR systems. In general terms, cellular radio technology is more
|
||
spectrum efficient for interconnection than traditional SMR technology. /36/
|
||
SMR technology, however, has some advantages, particularly for dispatch
|
||
service /37/ (which cellular radio systems are not allowed to offer /38/).
|
||
SMR systems are now operating in most parts of the country while cellular
|
||
radio licenses have not yet been assigned in all rural markets. Finally,
|
||
current SMR systems are generally smaller and less expensive to construct than
|
||
cellular radio systems.
|
||
|
||
A five-channel 800 MHz system is generally estimated to have a start-up cost
|
||
of between $60,000 and $150,000 for equipment. This cost range largely
|
||
reflects the range of features available to an SMR system. Equipment for each
|
||
additional five channels costs about $50,000. A 900 MHz system has
|
||
significantly higher start up costs (up to $100,000 more). One reason is that
|
||
use of a single antenna would produce unacceptable interference between
|
||
adjacent channels in the system. To handle this problem, 900 MHz system
|
||
operators often employ several antennas for their ten-channel systems.
|
||
|
||
An additional cost to SMR operators is that of acquiring an antenna site.
|
||
This site must be above the local terrain to provide good service. The three
|
||
types of sites used more often are tall buildings, mountain tops and antenna
|
||
towers. This particular cost is quite variable depending on the geographic
|
||
region. The typical rental cost, however, is a few hundred dollars per month
|
||
per repeater. While this cost is significant, the main problem faced in terms
|
||
of antenna sites by SMR (and cellular) operators is the unavailability of
|
||
premium sites.
|
||
|
||
Annual operating costs (excluding equipment costs) of a five-channel SMR
|
||
system have been estimated at approximately $100,000 unless the system is
|
||
operated in conjunction with other related activities that can absorb some of
|
||
this overhead. Economies of scale, however, are very pronounced in the SMR
|
||
industry. The minimum workforce required to operate a five-channel system is
|
||
probably the same as the minimum workforce required to operate a twenty-
|
||
channel system. Economies of scope, that is, savings in costs from
|
||
diversifying the activities of an SMR operation, also are prevalent in the SMR
|
||
industry. In particular, the same workforce that services and markets SMR
|
||
equipment and that provides SMR service can often be simultaneously employed
|
||
to service and market other radio equipment without harming the SMR operation.
|
||
|
||
A typical flat rate charge for unlimited dispatch service is $15 to $20 per
|
||
month per mobile. Assuming 7 channels, 70 mobiles per channel and a $17
|
||
monthly charge, revenues total about $100,000 per year without interconnection
|
||
to the telephone network. Due to the significantly longer average message
|
||
time for interconnected calls compared to dispatch calls, average revenue per
|
||
interconnected mobile radio must be higher than for a dispatch radio. Typical
|
||
revenues per interconnected mobile radio are $45 to $100 per mobile per month.
|
||
/39/
|
||
|
||
A growing trend among SMR systems is airtime billing. An SMR operator may
|
||
compute the amount of radio usage of each of his clients by using a
|
||
commercially available computer program. The advantage of airtime billing is
|
||
that it charges end users for their actual time spent on the radio and,
|
||
therefore, leads to more efficient use of radio airtime by end users. Airtime
|
||
billing is particularly useful for interconnected systems, which tend to use
|
||
more airtime.
|
||
|
||
The mobile radios used by SMR end users list from under $800 to over $3000.
|
||
Motorola, the largest supplier of SMR equipment, has traditionally marketed
|
||
most of its end user equipment directly. SMR operators using equipment from
|
||
other manufacturers often market the two-way mobile radios along with their
|
||
service. These other manufacturers include E. F. Johnson, Ericsson-General
|
||
Electric, Uniden, Midland, Americom, Standard, Kokusai, RELM and Bendix King.
|
||
Of these manufacturers, Motorola, E. F. Johnson, Ericsson-General Electric and
|
||
Uniden are the largest. As the SMR industry has grown, end user equipment
|
||
prices have fallen. The supply of high quality, low cost end user equipment
|
||
has been and will remain a factor in the growth of the SMR industry,
|
||
particularly given the declining prices of cellular radios.
|
||
|
||
The SMR industry has grown rapidly since the first system was licensed in
|
||
1977. There are currently about one million mobile radios using trunked 800
|
||
MHz SMRs. This translates to over $250 million in annual service revenues for
|
||
trunked 800 MHz SMR operators. The annualized growth rate in recent months
|
||
has been about 15 percent. /40/ At that rate, service revenues will double in
|
||
under five years. The recent introduction of 900 MHz SMRs should support
|
||
strong growth in the industry for several more years. We estimate there were
|
||
between 36,000 and 39,000 mobile radios licensed to use 900 MHz SMRs as of
|
||
June 1990. This translates to more than $10 million in annual service
|
||
revenues for 900 MHz SMR operators and more than $25 million a year in end
|
||
user equipment sales. The number of 900 MHz end users has doubled in
|
||
approximately one year. /41/ The combination of this development of 900 MHz
|
||
SMRs and the adoption of advanced technologies should permit the overall
|
||
growth rate for SMR service revenue in the U.S. to remain in double digits for
|
||
some time.
|
||
|
||
One measure of the success of the SMR concept is that several other countries
|
||
now have SMRs. A recently resolved trade dispute with Japan about cellular
|
||
systems also involved obstacles that made it difficult for foreign third-party
|
||
trunked systems, i.e., SMRs, to be brought on-line in Japan. The final
|
||
agreement included a stipulation that the next 16 licenses in Tokyo would be
|
||
split evenly between Japanese and foreign systems. /42/
|
||
|
||
In the United Kingdom, the Telecommunications Act of 1984 allocated "Band III
|
||
(175-225 MHz) for public access trunked mobile radio systems. Licensing began
|
||
in 1987. Unlike U.S. systems, a common signalling standard, MPT-1327, is
|
||
required. That model has been borrowed by other European countries including
|
||
West Germany. One analysis predicts that such systems in Europe will grow
|
||
from 67,000 subscribers in 1989 to 686,000 by 1994. /43/
|
||
|
||
Since its inception the SMR industry has been transformed from a little known
|
||
U.S. private radio service into a substantial multinational industry providing
|
||
a variety of technologically sophisticated communications service to hundreds
|
||
of thousands or millions of American, European, and Japanese workers.
|
||
|
||
|
||
Appendix
|
||
|
||
History
|
||
|
||
The SMR service was established by the Commission in 1974 to permit
|
||
entrepreneurs to provide communications services to private radio licensees on
|
||
a commercial basis. It was originally expected that SMRs would primarily
|
||
provide dispatch communications.
|
||
|
||
Creation of the SMR Service: Docket No. 18262
|
||
|
||
In 1970, the Commission allocated 115 megahertz of spectrum in the 806 - 947
|
||
MHz band to the Common Carrier Land Mobile Radio,
|
||
Industrial/Scientific/Medical and Private Land Mobile Radio Services. The
|
||
source of the greater part of this spectrum was UHF television broadcasting
|
||
channels 70-83.
|
||
|
||
The original allocation gave 64 MHz of spectrum for use by common carrier
|
||
cellular systems and 11 MHz of spectrum for public air to ground service. In
|
||
1974, the Second Report and Order reallocated this spectrum by eliminating
|
||
air-to-ground service, providing only 40 MHz to common carrier services and
|
||
designating 30 MHz (600 channel pairs) from the 800 MHz band for private land
|
||
mobile communications systems. Of the 600 channel pairs, 200 were allocated
|
||
to trunked service, 100 to conventional service and 300 were reserved to await
|
||
experience with the use of the first 300 channels. SMRs were allowed to apply
|
||
for either conventional or trunked channels.
|
||
|
||
The approach in this allocation was to assign channels by technology, rather
|
||
than by user type. Two major objectives were to foster competition and to
|
||
encourage efficient use of spectrum.
|
||
|
||
Applicants could apply for up to 5 conventional and up to 20 trunked channel
|
||
pairs per market. Generally, to retain a trunked channel an SMR had to build
|
||
its facilities within one year and meet certain loading requirements. /44/ A
|
||
trunked SMR was estimated to have a loading capacity of 100 mobile radios per
|
||
channel pair. Trunked SMRs were required to be 70 percent loaded (to 70
|
||
mobiles per channel) within 5 years. Systems not meeting these standards
|
||
would have unloaded channels reassigned to applicants on a waiting list.
|
||
|
||
Although the details have been changed more than once (see below), loading
|
||
standards remain a major feature of our regulation of SMRs. Other rules
|
||
adopted in Docket 18262 for 800 MHz include:
|
||
|
||
a) Trunked systems were required to have a 70 mile separation between co-
|
||
channel licensees. /45/ (This rule has remained unchanged and has been
|
||
applied when new frequencies were released for use by trunked SMRs.) A
|
||
separation of 105 miles is in effect for certain transmitter locations in
|
||
California and Washington State. A waiver of this rule may be granted
|
||
provided both co-channel licensees voluntarily sign a "short spacing"
|
||
agreement.
|
||
|
||
b) The separation between transmit and receive frequencies of a channel pair
|
||
is 45 MHz.
|
||
|
||
c) Each channel has a bandwidth of 25 kHz (or 50 kHz per pair).
|
||
|
||
d) Wireline telephone companies were prohibited from owning or operating
|
||
SMRs. A Notice of Proposed Rule Making (Docket 86-3) proposing to end this
|
||
prohibition was released in January 1986. (Final disposition has not
|
||
occurred).
|
||
|
||
e) Interconnection with the public switched telephone network was allowed.
|
||
However, the interconnection could not be performed at the SMR base station
|
||
nor could the SMR base station licensee make arrangements for the telephone
|
||
service. There were additional restrictions, such as a limitation of
|
||
interconnected communications to 3 minutes. These rules were revised in
|
||
Docket No. 20846, discussed below.
|
||
|
||
f) Once all the channels in a given location were assigned, a waiting list
|
||
was started. An SMR operator was allowed to apply for additional channels if
|
||
his existing system was 90 percent loaded. Applications on the waiting list
|
||
were processed on a "first-in, first-out" basis. Later, in Docket No. 85-6,
|
||
discussed below, preferences were granted to applicants seeking to expand a
|
||
fully loaded system.
|
||
|
||
g) A licensee could not assign his license to a third party if his system had
|
||
not been constructed. A major reason for this rule was that while a licensee
|
||
owns his equipment and goodwill, he does not own the spectrum he uses nor the
|
||
license from the FCC to use that spectrum. The Commission was (and is)
|
||
willing to transfer a license from an SMRS operator to a third party to
|
||
facilitate the sale of a business' assets (i.e., equipment and goodwill). The
|
||
business cannot sell a license, however, because it does not own it. In the
|
||
case of an unconstructed system, we will not permit the transfer of the
|
||
license as part of a sale of business assets to a third party, because there
|
||
are no assets owned by the business associated with that license.
|
||
|
||
h) SMR systems are private rather than common carriers and, therefore, under
|
||
Section 332 of the Communications Act of 1934, are not subject to state entry
|
||
or rate regulation. Many of the specific provisions of Docket No. 18262
|
||
discussed above, existed largely to insure the private carrier status of SMR
|
||
systems. The Commission was concerned that state regulations could slow the
|
||
development of this new radio service.
|
||
|
||
i) Each radio equipment manufacturer was limited to one 20 channel trunked
|
||
system nationwide. They were allowed to own and operate a system because it
|
||
would allow them to demonstrate whether such facilities made economic and
|
||
engineering sense at 800 MHz. They were not allowed additional systems
|
||
because of concern about possible adverse effects on competition.
|
||
|
||
Release of Additional Spectrum and Subpart S: Docket No. 79-191
|
||
|
||
The first trunked SMRS began operating in 1978. By that year, there were
|
||
shortages of conventional channels in the major metropolitan areas. To
|
||
alleviate this spectrum shortage, the Commission in August 1978 released for
|
||
conventional use 50 of the remaining 300 channels allotted to Private Land
|
||
Mobile Radio in the 800 MHz band. /46/ However, the shortage of conventional
|
||
channels continued in major urban markets. Therefore, in October 1979 the
|
||
Commission modified its rules to increase the mobile loading standards for new
|
||
and existing conventional channels in the major urban markets. /47/ This
|
||
action was not sufficient to eliminate shortages in spectrum for conventional
|
||
systems.
|
||
|
||
Moreover, by this time, shortages of trunked channels had begun to develop in
|
||
the country's larger urban areas. In July 1982, there were waiting lists for
|
||
conventional systems in four markets and for trunked systems in seven
|
||
markets./48/ To alleviate this spectrum shortage, we released the remaining
|
||
250 private land mobile channels in July 1982. Unlike our previous
|
||
allocation, these channels were allocated by service category rather than by
|
||
system technology. In doing so we created a new set of rules, Subpart S, to
|
||
govern these new channels as well as the conventional channels previously
|
||
governed by the old set of rules, Subpart M. Of the new channels, 80 were
|
||
allocated to SMRS, 70 to the Public Safety/Special Emergency Radio Services,
|
||
50 to the Industrial/Land Transportation Radio Services and 50 to the Business
|
||
Radio Service. Licensees in each of these categories were free to use their
|
||
assigned channels in either the trunked or conventional mode.
|
||
|
||
Under the new Subpart S, licensees of trunked systems had to build their
|
||
systems within one year, had to be loaded with at least 60 mobile units per
|
||
channel within 3 years and had to be loaded with at least 80 mobile units per
|
||
channel within 5 years./49/ No waiting lists were maintained for channels
|
||
governed by Subpart S. As SMR channels that were previously licensed became
|
||
available, the Commission issued a public notice identifying both the channels
|
||
and a window of time during which applications would be accepted. If there
|
||
were more applications than frequencies during a particular window, a lottery
|
||
was held. Applications not granted because channels were unavailable in the
|
||
requested geographic area were dismissed and returned to the applicant.
|
||
|
||
The new rules also allowed existing trunked licensees loaded to 70 mobile
|
||
units per channel to be placed on a waiting list for Subpart M trunked
|
||
channels. In addition, existing trunked licensees were permitted to obtain
|
||
additional channels (under either Subpart M or Subpart S) if their systems
|
||
were loaded to 80 mobile units per channel.
|
||
|
||
This docket also removed the restrictions on licensing of SMRs to radio
|
||
equipment manufacturers. The Commission felt that entry into the trunked SMR
|
||
market by manufacturers with their large capital resources would on balance
|
||
increase competition to obtain SMR customers. Although this regulatory change
|
||
was expected to have a detrimental effect on some existing SMR licensees who
|
||
had been previously protected from competition by the constraints our entry
|
||
regulation had placed on the market, we felt that end users, who are generally
|
||
small businesses, would benefit from the increased competition for their
|
||
business. Since being allowed to freely enter the SMR market, Motorola, the
|
||
largest producer of SMR equipment, has become the largest holder of SMR
|
||
licenses.
|
||
|
||
Interconnection: Docket No. 20846
|
||
|
||
As part of an ongoing review of our rules for interconnection of private land
|
||
mobile radio with the telephone network, the Commission gradually liberalized
|
||
the rules governing interconnection by SMRs. The last major restrictions were
|
||
removed in the Memorandum Opinion and Order released in May 1983./50/ In that
|
||
order we allowed SMR operators to act as ordering agents in arranging for
|
||
telephone service for end users if the service was obtained on a non-profit,
|
||
non-resale basis. This docket also permitted common point interconnection at
|
||
the SMR base station, i.e., a single connection to the telephone network could
|
||
be made at the repeater site which could be used by any and all of the SMR's
|
||
end users. This made interconnection less costly and significantly less
|
||
complicated. As a result of this proceeding, both SMR base station licensees
|
||
and other third party equipment suppliers may provide the interconnection
|
||
patch on an unrestricted basis.
|
||
|
||
The remaining limitation on interconnection is that SMR operators must pass
|
||
along the cost of telephone service without additional charges. This
|
||
restriction is based on Section 331 of the Communications Act 47, U.S.C. 332.
|
||
|
||
Management Contracts: News Release No. 6440
|
||
|
||
In its decision in Applications of Motorola, Inc. (July 30, 1985), the Private
|
||
Radio Bureau stated that management contracts are permissible under certain
|
||
circumstances. A management contract is an agreement between a licensee and a
|
||
third party under which the third party manages the SMRS owned by the licensee
|
||
in exchange for a percentage of the revenues of the operation. The Motorola
|
||
news release stated that these agreements would be permitted by the Bureau
|
||
provided that the licensee maintains bona fide proprietary interest in, and
|
||
exercises supervisory control over, its system. Such agreements appear to be
|
||
commonly used throughout the SMR industry.
|
||
|
||
Waiting List Preferences: Docket No. 85-6
|
||
|
||
In August 1985, we issued a Report and Order altering our waiting list
|
||
procedures for channels governed by Subpart M. We decided to grant a
|
||
preference to applicants with fully loaded trunked systems. This preference
|
||
applied to applicants that were already on a list at that time and to all
|
||
future applicants. The reason for this change was that the first-in, first-
|
||
out rules did not promote the Commission's goal of spectrum efficiency. Under
|
||
the old rules, by the time a licensee loaded its system to 70% (as required to
|
||
be on a waiting list), it was placed at the end of a long waiting list
|
||
comprised predominantly of new applicants, and was unable to receive
|
||
additional channels in a timely fashion. As a consequence, the users
|
||
experienced congestion on the system, and the licensee was unable to expand
|
||
the system to provide service to others.
|
||
|
||
900 MHz: Docket No. 84-1233
|
||
|
||
On September 26, 1986 the Commission released a Report and Order that
|
||
allocated 399 channel pairs in the 896-901 MHz and 935-940 MHz bands for use
|
||
by the private land mobile radio services. In that proceeding, the Commission
|
||
divided this spectrum into three pools as follows: (1) 200 channel pairs for
|
||
Specialized Mobile Radio Systems; (2) 100 channel pairs for the Business Radio
|
||
Service; and (3) 99 channel pairs for the Industrial and Land Transportation
|
||
Radio Services.
|
||
|
||
Although the allocation of spectrum was nationwide, the Report and Order
|
||
provided that applications for the SMR pool would be accepted initially only
|
||
in the 50 largest urban centers in the country. Accordingly, we devised a two
|
||
phase process to assign the channels in these areas. In Phase I, which has
|
||
not yet been completed, we accepted applications for 50 Designated Filing
|
||
Areas (DFAs) consisting generally of the counties comprising the top 50
|
||
metropolitan statistical areas. An applicant may receive up to 10 channels.
|
||
We provided for lotteries in cases where we receive more applications for
|
||
channels in a given DFA than available. We, in fact, received over 60,000
|
||
applications for the 1000 available systems./51/
|
||
|
||
There are several significant differences that prevent SMRs in the 800 MHz
|
||
band from being technically compatible with SMRs in the 900 MHz band. First,
|
||
in the 900 MHz band, a channel has a width of 12.5 kHz, one half the 25 kHz
|
||
bandwidth in the 800 MHz band. Second, the upper channel in a pair is 39 MHz
|
||
above the lower channel in the pair, compared to a 45 MHz separation of the
|
||
upper and lower channels in the 800 MHz band. Given the incompatibility of
|
||
800 MHz and 900 MHz systems, we did not grant operators of fully loaded 800
|
||
MHz SMR systems a preference in the allocation of 900 MHz channels.
|
||
|
||
We have recently released a Notice of Proposed Rule Making which contains
|
||
proposals for channel assignment once Phase I is completed./52/ We have
|
||
proposed to license nationwide SMRs and to modify the 40 mile rule so as to
|
||
make regional systems easier to develop.
|
||
|
||
Inter-Category Sharing: Docket No. 86-160
|
||
|
||
In January 1987, the Commission issued a Report and Order permitting inter-
|
||
category sharing of the frequencies allocated to the SMR, Industrial/Land
|
||
Transportation and Business categories. The revised rules limited the number
|
||
of additional channels that may be acquired through inter-category sharing to
|
||
one channel more than a system's current loading level would warrant. The
|
||
rules also require a system licensee seeking additional channels outside its
|
||
own frequency category to coordinate its efforts with the appropriate
|
||
frequency coordinator. When an SMR licensee does acquire additional channels
|
||
through inter-category sharing, we automatically remove it from appropriate or
|
||
applicable waiting lists.
|
||
|
||
Merger of Subpart M and Subpart S: Docket No. 86-404 (aka M and S)
|
||
|
||
In 1988, the Commission completed a sweeping revision of the regulations for
|
||
SMR systems. The changes were as follows:
|
||
|
||
A) Expansion of SMR end user eligibility
|
||
|
||
Docket No. 86-404 allowed individuals and federal government entities to
|
||
become SMR end users. The category of eligibles under Part 90 is sufficiently
|
||
broad that with this rule change any person or entity is able to become an SMR
|
||
end user unless they are a foreign government or a representative of a foreign
|
||
government. The Commission felt that individuals and the federal government
|
||
(state and local government entities were already permitted to be SMR end
|
||
users because they are eligibles under Part 90) could be served by SMR systems
|
||
without significant impact on current eligibles and was in the public
|
||
interest.
|
||
|
||
B) Transfer of Subpart M channels to the SMR pool governed by Subpart S
|
||
|
||
The Commission transferred the 200 trunked channels previously governed by
|
||
Subpart M into the SMR pool governed by Subpart S. In doing so, it noted that
|
||
most of those channels were already being used for SMR operations./53/ The
|
||
Commission grandfathered any non-SMR licensees operating on these channels and
|
||
pointed out that under the Commission's intercategory sharing rules, fully
|
||
loaded non-SMR systems continue to have access to channels in the SMR pool.
|
||
|
||
C) Replacement of lotteries with waiting lists
|
||
|
||
The Commission generally relies on the "first come, first served" concept in
|
||
granting licenses in the private land mobile radio services. When, however,
|
||
applications are filed that cannot be granted because insufficient channels
|
||
are available to satisfy all of the requests, the Commission employs either a
|
||
"waiting list" (as was the case for channels governed by Subpart M) or a
|
||
"notice/lottery" procedure (as was the case for channels governed by Subpart
|
||
S). M and S replaced lotteries for channels governed by Subpart S with
|
||
waiting lists. Licensees of existing SMR systems that are fully loaded are
|
||
given a preference on the waiting lists.
|
||
|
||
D) New loading standards
|
||
|
||
The Commission decided to phase out use of loading standards as a trigger for
|
||
automatic cancellation of channels that a licensee has not fully loaded. The
|
||
Commission determined that unused channels could be more efficiently
|
||
reassigned to licensees who need them through the workings of the marketplace.
|
||
The new rules provide for a transition period by continuing to impose a five
|
||
year loading requirement of 70 mobiles per channel for any system licensed
|
||
before June 1, 1993. Systems licensed after that date will not be required to
|
||
meet any loading requirements to retain their channels.
|
||
|
||
E) Authorization of partial assignments
|
||
|
||
A partial assignment occurs when one SMR licensee reassigns to a third party
|
||
less than the full number of channels for which the licensee is authorized. M
|
||
and S removed the prohibition on partial assignments which dated back to the
|
||
original allocation of 800 MHz channels in 1974. The Commission felt that
|
||
partial assignment is a more efficient mechanism for moving channels to their
|
||
highest valued use than the previous channel take back and reassignment
|
||
program.
|
||
|
||
F) Technical standards
|
||
|
||
M and S allows SMR operators to use any channel bandwidth (rather than only 25
|
||
kHz for 800 MHz and 12.5 kHz for 900 MHz). Loading standards for systems with
|
||
non-standard bandwidths will be the loading requirements given the original
|
||
allocation. Operators of SMR systems will be allowed to employ trunked and
|
||
other comparably efficient modes of operation.
|
||
|
||
Trunking of Conventional Channels: Docket No. 87-213
|
||
|
||
Effective August 24, 1990, a General Category was created consisting of the
|
||
150 channels previously available only for conventional systems. The main
|
||
implication of this action for SMRs is that additional frequencies were made
|
||
available for use by trunked SMRs. All entities eligible under Part 90,
|
||
including SMRs, are eligible to use channels in the General Category. These
|
||
frequencies are now available for either trunked or conventional use. SMRs
|
||
can obtain these channels for their use in trunked systems through
|
||
intercategory sharing. Like all intercategory sharing, to obtain channels, an
|
||
SMR must demonstrate that no 800 MHz SMR channels are available. An SMR
|
||
receiving sufficient channels so that it is no longer fully loaded will have
|
||
its name removed from any appropriate waiting lists. SMRs seeking to expand
|
||
may apply for unassigned channels or for reassignment of channels from a
|
||
constructed system in the General Category. In addition, several constructed
|
||
conventional radio systems licensed under the general category may be combined
|
||
into a single SMR (or into a multiple licensed non-SMR trunked community
|
||
repeater). New trunked systems may not, however, be created by using
|
||
unassigned General Category frequencies. Applications for trunked SMRs using
|
||
General Category frequencies must be coordinated by one of the three
|
||
coordinators recognized above 800 MHz.
|
||
|
||
Expansion in scope and size of trunked systems promotes spectrum efficiency.
|
||
This action further enhances spectrum efficiency by making many channels
|
||
previously unused available to radio services with no remaining available
|
||
frequencies.
|
||
|
||
Footnotes:
|
||
|
||
1 See Part 90 of volume 47 of the Code of Federal Regulations for definitions
|
||
of these groups and for a complete list of radio service groups.
|
||
|
||
2 In addition, the Commission was interested in promoting a new, spectrum
|
||
efficient technology, trunking, which was too expensive and complicated for
|
||
many businesses to build and operate themselves.
|
||
|
||
3 According to a study of our records, the oldest existing SMR was licensed
|
||
in August 1977 in Chicago. The next SMR, however, was not licensed until late
|
||
December 1978.
|
||
|
||
4 See J.P. Harris, "SMR: A Billion Dollar Industry," Communications, December
|
||
1987, 76-79.
|
||
|
||
5 There are about 1300 800 MHz conventional SMR systems (almost all with only
|
||
one channel each), about 5100 800 MHz trunked SMR systems (with a total of
|
||
about 32,500 channels) and about 575 900 MHz trunked SMR systems (almost all
|
||
with ten channels each).
|
||
|
||
6 The definition of an SMR as stated in Part 90 of the Commission's Rules and
|
||
Regulations follows:
|
||
|
||
Specialized Mobile Radio Service. A radio service in which licensees
|
||
provide land mobile communications services in the 800 MHz and 900 MHz bands
|
||
on a commercial basis to entities eligible to be licensed under this part,
|
||
federal government entities, and individuals.
|
||
|
||
7 A control station located at the end user's office can use phone lines to
|
||
communicate to mobiles via the SMR system, and thereby initiate calls to a
|
||
mobile radio using phone lines. In fact, in most SMR systems, anyone can
|
||
initiate a call using any telephone. The control station is highlighted
|
||
mainly because it is typically the primary source of fixed to mobile
|
||
communications, and because it may use the SMR frequencies rather than the
|
||
telephone network to initiate and carry out the call.
|
||
|
||
8 The terms "channel" and "frequency" are generally used interchangeably. A
|
||
channel is a band of frequencies, 25 or 12 kHz wide for SMRs, that is used for
|
||
transmission (this is a simplification in that a transmission does not sharply
|
||
cut off at a specific frequency). A frequency generally refers to the
|
||
midpoint of a channel.
|
||
|
||
An SMR operation actually operates on paired channels. One channel of a pair
|
||
is used for transmission by mobile radios and the other is used to retransmit
|
||
(repeat) the low power mobile signal received by a mobile with a stronger
|
||
signal that can be received by other mobiles. This retransmission is
|
||
necessary in the frequency range used by SMRs if mobile radios are to have a
|
||
reasonable geographic range of operations. Because channels are paired by the
|
||
Commission, it is assumed that when the term channel is used, the other half
|
||
of the pair is included unless context indicates otherwise.
|
||
|
||
9 Some systems use a device called a controller, which is essentially a
|
||
computer, to assign channels to end users. This piece of equipment is
|
||
expensive and is, therefore, sometimes shared by two or more systems located
|
||
at the same site. Other systems have the function of the controlled
|
||
distributed among other equipment such as the repeaters or mobiles.
|
||
|
||
10 A review of our licensing records indicates that over 40% of the 900 MHz
|
||
SMR systems and over 50% of trunked 800 MHz SMRs are licensed for
|
||
interconnection. All SMRs are licensed to operate in the dispatch mode.
|
||
|
||
11 Competition includes not only intra-industry competition, but also
|
||
competition within the broader mobile radio industry.
|
||
|
||
12 For a complete review of the regulations SMR systems are currently subject
|
||
to see Part 90 of Volume 47 of the Code of Federal Regulations, particularly
|
||
Subpart S.
|
||
|
||
13 Many of the original FCC restrictions on interconnection of SMRs to the
|
||
public telephone network were designed specifically to insure the private
|
||
carrier status of SMRs. Since the Communications Amendments Act of 1982 was
|
||
signed into law on September 13, 1982, specialized mobile radio has been
|
||
explicitly defined as a private land mobile service and, therefore, not
|
||
subject to any rate or entry regulation by state or local governments. The
|
||
statute also permits interconnection with the public switched telephone
|
||
network on a non-profit basis. This has allowed the Commission to relax its
|
||
restrictions on interconnection. See the Communications Amendments Act of
|
||
1982, P.L. 97-259, 96 STAT 1087, September 13, 1982; Section 331 of the
|
||
Communications Act of 1934, as amended, is codified at 47 U.S.C. 332.
|
||
|
||
14 In fact, 800 MHz must be subdivided further into at least two parts. When
|
||
the Commission originally created the SMR service, separate frequencies were
|
||
made available for private land mobile service based on technology (200
|
||
channel pairs for trunked technology and 100 channel pairs for conventional
|
||
technology). Those frequencies for trunked technology have since been
|
||
designated specifically for SMRs, and are sometimes referred to as the "old"
|
||
frequencies. See Second Report and Order, Docket No. 18262, 46 FCC 2d 752
|
||
(1974), recon., Memorandum Report and Order, Docket No. 18262, 51 FCC 2d 945
|
||
(1975), and Report and Order, PR Docket No. 86-404, 3 FCC Rcd. 1838 (1988).
|
||
In 1982 an additional 80 channels were made available to SMRs. See Second
|
||
Report and Order, PR Docket 79-191, 90 FCC 2d 1281 (1982). These are
|
||
sometimes referred to as the new frequencies. Channels designated for use by
|
||
other services (other than public safety) are also available to SMRs through
|
||
intercategory sharing provided no frequencies are available from those
|
||
designated for SMRs. See Report and Order, PR Docket No. 86-404, supra.
|
||
|
||
15 A major reason for this incompatibility is that the channel bandwidths for
|
||
900 MHz systems are half the bandwidths for 800 MHz systems (12.5 kHz vs 25
|
||
kHz). Another reason is that the separation between the transmit and receive
|
||
channels of a given channel pair is 45 MHz for 800 MHz systems and 39 MHz for
|
||
900 MHz systems. A more serious incompatibility is the fact that the
|
||
frequencies available for 800 MHz SMR systems and 900 MHz SMR systems are
|
||
sufficiently far apart as to require separate antennas and other equipment for
|
||
both the SMR base stations and the end user's mobile radios. See Second
|
||
Report and Order, Docket No. 18262 supra.; recon., Memorandum Report and
|
||
Order, Docket No. 18262, supra. at footnote 14; and Report and Order, Gen.
|
||
Docket No. 84-1233, 2 FCC Rcd. 1825 (1986).
|
||
|
||
16 See Public Notice, Private Land Mobile Application Procedures for Spectrum
|
||
in the 896-901 MHz and 935-940 MHz Bands, 1 FCC Rcd 543 (1986) (Public Notice
|
||
of November 4, 1986).
|
||
|
||
17 See Notice of Proposed Rule Making, PR Docket No. 89-553, 5 FCC Rcd. 705
|
||
(1990).
|
||
|
||
18 Co-channel separation is 105 miles in parts of California and Washington
|
||
State. See 47 C.F.R. 90.621(b) for exact areas.
|
||
|
||
19 When you apply for a license, you must specify a primary site. At that
|
||
site, you must construct and operate an SMR system using every frequency for
|
||
which you are licensed. You may also have secondary sites. (Our records show
|
||
over 350 secondary sites for trunked 800 MHz SMRs). Secondary sites need not
|
||
use every frequency. They are not accorded any protection from interference.
|
||
On the other hand, transmissions from these sites may not create interference
|
||
with any transmission from any other system's primary site.
|
||
|
||
20 A waiver of this rule will be granted if all affected parties agree. See
|
||
Public Notice, Clarification and Simplification of Procedures for 800 MHz
|
||
Systems in the Private Land Mobile Services, Mimeo No. 160 (October 14, 1986).
|
||
A study of our records indicates over 75 so-called short-spacing agreements
|
||
involving about 130 SMR systems. The Commission has proposed eliminating the
|
||
waiver requirement provided a short-spacing agreement exists. The Commission
|
||
also proposed eliminating the waiver requirement for use of technical showings
|
||
as grounds for short-spaced assignments in the absence of short-spacing
|
||
agreements. See Notice of Proposed Rule Making, PR Docket No. 90-34, 55 Fed.
|
||
Reg. 8966 (March 9, 1990) and Further Notice of Proposed Rule Making, PR
|
||
Docket No. 90-34, FCC No. 91-40, adopted February 5, 1991.
|
||
|
||
21 A preference is granted on these waiting lists to fully loaded existing
|
||
systems seeking additional channels (noted as "modifications" on the waiting
|
||
lists). As frequencies become available, they are assigned on a first-come,
|
||
first-served basis to systems with preferences. If no applicant has received
|
||
a preference, then assignment is strictly first-come, first-served. See
|
||
Second Report and Order, Docket No. 18262, supra.; recon., Memorandum Opinion
|
||
and Order Docket 18262, supra.; and Report and Order PR Docket No. 86-404,
|
||
supra note 14.
|
||
|
||
22 Mileage is measured between primary base stations.
|
||
|
||
23 See 47 C.F.R. 90.627(b). As mentioned before, the Commission is proposing
|
||
to modify this rule. See Notice of Proposed Rule Making, PR Docket No. 89-
|
||
553, supra note 17.
|
||
|
||
24 Since the intent of this rule was to prevent people from owning more than
|
||
one unloaded system per market, this rule will be waived if the applicant
|
||
demonstrates that the two unloaded systems serve different markets. A review
|
||
of our records indicates that at least 50 such waivers have been granted
|
||
involving over 100 trunked 800 MHz systems.
|
||
|
||
25 See 47 C.F.R. 90.631(f). There are some technical rules involving the
|
||
design of your system. See 47 C.F.R. 90.635 - 90.647. Equipment vendors are
|
||
a good source of practical advice on how these regulations affect you.
|
||
|
||
26 See Report and Order, Docket 20846, 89 FCC Rcd. 2d 741; and the
|
||
Communications Act, 47 U.S.C. 332(c)(1).
|
||
|
||
27 See Second Report and Order, PR Docket No. 79-191, supra; and Report and
|
||
Order, PR Docket No. 86-404, supra.
|
||
|
||
28 You must also maintain a bona fide proprietary interest in your system.
|
||
For details, see FCC News Release No. 6440 (August 15, 1985).
|
||
|
||
29 See 47 C.F.R. 90.655 and 90.657.
|
||
|
||
30 See 47 C.F.R. 90.631(b).
|
||
|
||
31 See Report and Order, PR Docket No. 86-404, supra.
|
||
|
||
32 See 47 C.F.R. 90.631(d) for the definition of a rural area for the
|
||
purposes of adding channels. A rural system licensee may apply for up to five
|
||
more channels than it has constructed. If a wait list does become necessary
|
||
in the future in a particular rural area, all systems licensed before June 1,
|
||
1993 and not loaded to 70 mobiles per channel within one year of the
|
||
establishment of the wait list will be subject to channel takebacks.
|
||
|
||
33 Some of this data, particularly information on prices, is based on
|
||
discussions with Russell Fox of the American SMR Network Association, Inc.,
|
||
Brad Busse of Daniels & Associates, Lee Dixon of Dixon Communications
|
||
Associates, Rick Frisbie of Battery Ventures, Lana M. Ritzel of Ritzel
|
||
Communications, Dale Hatfield of Hatfield Associates, and Meade Sutterfield of
|
||
Johnson Communications.
|
||
|
||
Additional numbers are based on a study of SMR loading records as of the end
|
||
of March 1989, several studies of the Commission's database and ongoing
|
||
statistical reports by the Licensing Division.
|
||
|
||
34 See Notice of Proposed Rule Making, PR Docket No. 89-553, supra note 17.
|
||
A second Notice of Proposed Rule Making (PR Docket No. 89-552, 55 Fed. Reg.
|
||
328 (1990)), also adopted on November 28, 1989, would provide for trunked
|
||
commercial national licenses in the 220-222 MHz band similar to SMRs.
|
||
|
||
35 Markets are defined by Designated Filing Areas (DFAs) as used in licensing
|
||
900 MHz SMRs in the major markets. (See 52 Fed. Reg. 1306, January 12, 1987.)
|
||
Data is as of the last week of March 1989. Loading figures refer to trunked
|
||
800 MHz SMRs only. The number of channels in each DFA varies between 214 in
|
||
Chicago to 409 in Los Angeles. Most markets have slightly less than the 280
|
||
channels allocated to SMRs. The reasons for this variation are that systems
|
||
may exist just outside the DFA, some of the original 200 trunked channels may
|
||
have been used by non-SMRs, and in physically larger DFAs, frequency reuse may
|
||
occur.
|
||
|
||
36 Such efficiency is achieve primarily through more co-channel reuse and by
|
||
trunking of a larger number of channels. Once SMR operator, Fleet Call, Inc.
|
||
has requested waivers to develop a lower power, multi-site approach similar to
|
||
cellular systems. Fleet Call's system will also employ digital multiple
|
||
access techniques. RAM Mobile Data Communications operates several 900 MHz
|
||
digital data systems. Several cellular operators also plan to utilize digital
|
||
technology. Digital technology will allow a three to fifteen times
|
||
improvement in the number of communications carried on a given amount of
|
||
spectrum.
|
||
|
||
37 For example, it takes several seconds to set up a typical cellular call,
|
||
but only a fraction of a second for an SMR to set up a call. This difference
|
||
is significant for short dispatch messages and critical for short mobile data
|
||
transmissions.
|
||
|
||
38 Cellular frequencies may not be used to provide true, over-the-air,
|
||
dispatch service. Dispatch-type communications can, however, be provided on
|
||
cellular frequencies as long as the communication is not directly between a
|
||
dispatcher and end users, i.e., the phone network must be employed. A
|
||
significant result of this limitation is that fleet calls, the radio
|
||
equivalent of conference calls, are cumbersome on a cellular system, because
|
||
an actual telephone conference call has to be arranged. See Report and Order
|
||
GEN. Docket No. 87-390, 25 FCC Rcd. 3d 7033.
|
||
|
||
39 Similar service from a cellular operator averages around $100 per month.
|
||
|
||
40 Growth rates are based upon studies of monthly reports issued by the PRB
|
||
Licensing Division. Growth rates cited for trunked 800 MHz systems are
|
||
actually the growth rates for the service code YB, trunked 800 MHz business
|
||
users, which includes mainly SMR end users. A comparison of the Licensing
|
||
Division's report dated March 31, 1989 and a study of loading records as of
|
||
the last week of March 1989 indicate that trunked 800 MHz SMR end users
|
||
represent approximately 97% of the mobile units and over 99.5% of the call
|
||
signs licensed under the service code YB. Taking into account temporary
|
||
licensees not noted in either study, one could infer that the actual number of
|
||
mobile units is above the number currently licensed in the YB service code.
|
||
|
||
Growth rates for 900 MHz systems are based upon the YU service code, trunked
|
||
900 MHz business users. The same studies cited above, plus an additional
|
||
study of 900 MHz systems as of the end of July 1989, indicate that 900 MHz SMR
|
||
end users used only slightly more than half the total number of mobiles
|
||
licensed as YU as of the end of March 1989 and July 1989. This ratio is
|
||
increasing because non-SMRs have been able to receive licenses in the 900 MHz
|
||
band for a longer period of time than SMRs. (The ratio rose over one
|
||
percentage point between March and July 1989.) This may indicate that the
|
||
actual growth rate of 900 MHz SMR end users is higher than calculated at the
|
||
end of this section.
|
||
|
||
41 From December 1989 through December 1990. Between September 1988 and
|
||
December 1990, the annualized growth rate was over 240%.
|
||
|
||
42 See Anthony Langham, "Report on Motorola, Inc.", The NatWest Investment
|
||
Banking Group, New York (1990).
|
||
|
||
43 See Frost & Sullivan, "The European Market for Land Mobile Radio," London
|
||
(1990).
|
||
|
||
44 A conventional SMR system had only eight months to construct.
|
||
|
||
45 For conventional systems, a variation of 70 mile separation was the rule.
|
||
Conventional systems often shared a channel. To prevent overcrowding, no new
|
||
systems could be added if total loading exceeded a standard (which varied with
|
||
radio service). Since systems could be located at separate sites, a loading
|
||
zone was used, i.e. a loading zone for a particular channel was fully loaded
|
||
in the business radio service if there were 90 mobiles in a 15 mile radius on
|
||
that channel. The 70 mile separation was applied to the entire loading zone,
|
||
leading to an effective mileage separation of greater than 70 for conventional
|
||
systems (including conventional SMRs).
|
||
|
||
46 See Order, FCC 78-584, adopted June 21, 1978.
|
||
|
||
47 Memorandum Opinion and Order, Docket No. 79-106, 45 Fed. Reg. 59634
|
||
(October 25, 1979). In that proceeding, the Commission also eliminated the
|
||
extra separation provided for by the so-called "loading zone" in those
|
||
instances where the extra mileage was not appropriate, thereby reducing the
|
||
mileage separation between base stations on the same channel from 100 miles to
|
||
70 miles (in those situations where the channel is assigned for the exclusive
|
||
use of a single user or shared conventional station at a single site).
|
||
|
||
48 There were waiting lists for conventional systems in Los Angeles, New
|
||
York, Chicago and Houston. There were waiting lists for trunked systems in
|
||
Los Angeles, New York, Chicago, San Francisco, Washington, D.C., Dallas,
|
||
Houston, Atlanta, Miami, Phoenix and Tampa.
|
||
|
||
49 In this docket, a mobile unit was defined as a mobile radio, a portable
|
||
radio or a control station.
|
||
|
||
50 See Memorandum Opinion and Order, PR Docket No. 20846, 48 Fed. Reg. 29512
|
||
(June 27, 1983).
|
||
|
||
51 (200 channel pairs/10 channel pairs per system) times 50 DFAs equals 1000
|
||
SMR systems available in Phase I.
|
||
|
||
52 See Notice of Proposed Rule Making, Gen. Docket No. 89-553, 55 Fed. Reg.
|
||
744 (January 9, 1990).
|
||
|
||
53 Specifically, over 99 percent of the systems operating on those channels
|
||
are being used by SMRs. See Docket No. 86-404, paragraph 38.
|
||
|
||
[End of document]
|
||
|
||
|