SB QST @ ARL $ARLB009 ARLB009 League files opposition to BPL reconsideration petitions ZCZC AG09 QST de W1AW ARRL Bulletin 9 ARLB009 From ARRL Headquarters Newington CT March 24, 2005 To all radio amateurs SB QST ARL ARLB009 ARLB009 League files opposition to BPL reconsideration petitions The ARRL has filed an Opposition to three petitions for reconsideration in the broadband over power line (BPL) proceeding, ET Docket 04-37. The League's filing targets points raised in reconsideration petitions from Current Technologies LLC, the United Power Line Council (UPLC) and Amperion Inc. Each seeks reconsideration of certain aspects of the Report and Order (R&O) the FCC adopted last October, spelling out new Part 15 rules to govern BPL deployment. In its Opposition, the ARRL says the FCC should not eliminate its requirement that BPL providers give 30 days' advance notice of service initiation, as Current, UPLC and Amperion have requested. ''Grant of the petitioners' request to eliminate the 30-day advance notice requirement would not only be antithetical to the Commission's goal of providing competitive, affordable and efficient broadband access;'' the ARRL said, ''it would also eliminate even the most minimal means for Amateur Radio licensees to be able to identify and contact the source of harmful BPL interference when it occurs.'' Keeping the 30-day notification period in place, the ARRL argued, offers radio amateurs a chance to determine baseline ambient noise levels ahead of a BPL deployment and to be able to identify interference when it occurs and the extent to which the HF and low-VHF operating environment is degraded. The ARRL also took issue with requests by Current and UPLC either to extend the transition period for certification of BPL equipment made, marketed or installed on or after July 7, 2006, or to drop it altogether. Either approach, the League contended, ''is tantamount to an abdication of any requirement to implement any of the admittedly inadequate interference mitigation requirements in the Report and Order at all.'' As the rule is written, the League's Opposition points out, ''no BPL system placed in operation ever has to come into compliance with the interference requirements.'' The ARRL maintains that the FCC erred in its R&O by permitting the installation and operation of non-compliant equipment after the R&O's effective date. The League Opposition also commented that the FCC ''has not adopted any rules that will protect licensees in the Amateur Service from interference from BPL systems.'' In its own Petition for Reconsideration in February, the ARRL asked the FCC to ''reconsider, rescind and restudy'' the October BPL R&O, calling the FCC's action to permit BPL ''a gross policy mistake.'' NNNN /EX