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Love Your Body Day - Oct. 18


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Join People for Better TV:


Dear Organizational Friend:
 

Please join us in a new initiative we are calling People for Better TV.

As you may know Congress authorized the FCC to license additional public spectrum to broadcasters to begin a transition to digital TV. Stations in the top ten markets are supposed to begin using this public property on May 1. As of today, the FCC has yet to say what the broadcasters owe the public in return. In fact, they have yet to hold hearings. While we do have a list of recommendations (see below), our first simple message is: No license to public property without rules on how to serve the public. Let's have a public hearing.

We are asking you to add your name to our list of organizations supporting People for Better TV. There are no obligations for work on your part, though we will invite you to our meetings.

People for Better TV

If it takes a village to raise a child, who shapes the village? Increasingly the answer is media, especially TV. We have, this year, a real opportunity, some would say responsibility, to shape TV, and thus America, for the better. It is the first such opportunity in over sixty years, and it will not last long.

With the gift of an additional 70 billions dollars worth of public airwaves to existing broadcasters for digital television, the Federal Communications Commission must make new rules regarding the public interest obligations of broadcasters. Finally, the public will have an opportunity to say what the broadcasters should give back. If you are concerned about the impact of TV on children, or the quality of the discussion of important issues, now is the time to express your concerns.

We must make the most of this moment before television makes the transition to digital and becomes an even more powerful force in American society.

The relationship between broadcasters and citizens has changed dramatically since the 1934 Communications Act: Broadcasters were once required to ascertain community needs. They once adhered to a Fairness Doctrine. Licenses were for two years. Competitive hearings were held to determine which prospective licensee was the best qualified to serve the local community. The number of stations one entity could control was far more limited that it is today -- as was the percentage of the national audience one owner could reach.

It is also true that other sources of programming did not exist when the regulations for the broadcast industry were first negotiated. Internet, cable and direct broadcast satellite television now compete for broadcast television audience, even as they extend the reach of broadcast television. Television executives understandably consider the future with caution. But the sky is not falling. Indeed, despite a decreasing share of the audience, broadcasters' advertising dollars are increasing. And in most instances the broadcasters are only competing with another division of their parent company.

Just as television did not herald the death of motion pictures, neither will the Internet and other program sources replace television. It is more likely that new communications technologies will increase the power of television: The reach of the local TV signal will be extended. Old programs will have new life. New programs can be repeated at different times. Pay-per-view events will be broadcast. Interactivity will allow broadcasters to capture more information about viewer use and more effectively target advertisements. Many predict that TV and personal computers convergence will create a rosy future for broadcasters, particularly given their exclusive license to the most valuable parts of the public's airwaves.

The old deal struck in 1934 was that broadcasters get the use of public airwaves for free and in exchange they must serve the public interest of their local communities. That old deal has eroded. A new deal, both reasonable and enforceable, must be made in exchange for new airwaves, to protect and advance the public good. The hallmarks of that deal should be fair representation of viewpoints, respect for children and families, recognition of worker's rights, and accountability to local communities. Simply put -- in exchange for the use of the public airwaves broadcasters should serve the public interest.

We invite you to join People for Better TV. We are urging the government to act on behalf of viewers as we move into the digital age.

Here are our recommendations:

1. Educational Programs and Services. Digital television's ability to provide rich pictures and many layers of information suggests a unique opportunity for educational programs. Every television station which uses the public airwaves should be required to set aside a minimum of 7 hours each week to provide quality educational programs or significant educational services (such as data transmission for schools) to students of all ages. The nation's future strength will depend upon the access of all members of our society to educational resources, and no means of communication is as ubiquitous or as effective an educator as television.

2. Limits on Commercials During Children's Programs. Children should not be bombarded with commercial advertisements or with advertising disguised as entertainment or educational programs. We recommend that digital broadcasters be limited to no more than four commercials, no more than sixty seconds long, per hour during children's programs.

3. Public Affairs and Political Programming. Too many vital issues and perspectives of importance to the nation remain unexpressed and unexamined. Digital broadcasters should be required to use the new power of digital transmission to expand the number of perspectives expressed over the public airwaves. We recommend one hour of public affairs programming every day per channel with at least an equal emphasis on local issues and needs, including free and fair political discussion. Such programming should air in visible time periods during the day and evening. News shows should not be used to satisfy this public affairs programming requirement.

4. Public Service Announcements. Digital broadcasters should provide one public service announcement for every four commercials, with at least equal emphasis placed on independent and locally produced PSAs addressing a community's local needs. PSAs should run in all day parts including in primetime and at other times of peak viewing. PSAs should not be a substitute for in-depth public affairs programming.

5. A Content-Based Ratings System. We recommend that digital broadcasters be required to provide viewers a ratings system about the content of programs. Through the increased information capability of digital technology the present ratings system can be substantially improved upon. Broadcasters should provide the public much more information, from a variety of independent sources, about the nature (such as violent or sexual content) of the programs being broadcast, as they are being broadcast. This should enable parents to screen out programs they do not want in their homes.

6. Support for Public Service Media. In return for their use of the public spectrum broadcasters should be required to make a small percent contribution of their gross revenue to pay into state and national trusts to support non-commercial local and national public service media. In addition, broadcasters should be required to set aside a small percent of their gross revenue to satisfy their public interest programming obligations.

7. Channel Space for Public Service Media. Digital broadcasters who multiplex should be required to set aside channel space for non-commercial media. We also support those recommendations which call for a reservation of noncommercial channel space dedicated to public service, once broadcasters are required to return spectrum now used for analog broadcasting.

8. Community Outreach. Digital stations should be required to reach out to ordinary citizens and local leaders to determine community needs and interests. This process of reaching out and involving the community should serve as the station's road map for addressing these needs through news, public affairs, children's and other local programming, and public service announcements. Public input should be invited on a regular basis through postal and electronic mail services as well as broadcast announcements. The call for requests for public input should be accessible to the disabled. The stations should report quarterly during the year to the public on their findings.

9. Accountability. Digital broadcasters should disclose their public interest programming and activities on a quarterly basis, matched against the ascertained community needs and interests. This should be done using standardized, easy to complete forms sensitive to administrative burdens and easily understood by the public.

10. Reporting on Diversity Efforts. Whether it is in programming, political discourse, hiring, promotion, or business opportunities within the industry, digital broadcasters must make an effort to reflect the nation's diversity. We recommend that broadcasters seize the opportunities inherent in digital television technology to support these goals and to report quarterly to the public on their efforts. Serving diverse interests within a community is both good business and good public policy.

11. Closed Captioning and Descriptive Services. A digital broadcast station should provide closed captioning and descriptive services for the blind of PSAs, public affairs programming, and political programming. Captioning and descriptions in these areas should be phased in over the first 4 years of a station's digital broadcasts, but should be completed no later than 2006.

12. Privacy protection. Digital television, particularly when combined with telephone and cable technologies, creates many opportunities for broadcasters to learn about consumer choice and preference, and to cater to those preferences through targeted programming and commercials. Consumers should have the power to prevent the collection and sale of information about their personal program or product choices.

13. Rate protection. Digital television will provide broadcasters the ability to generate scrambled "pay-per-view" programs, in much the same way that cable can do today. Consumers should be protected from excessive rates. The Federal Communications Commission should have the power to regulate the rates charged by broadcasters for pay- per-view programs.


Steering Committee

American Academy of Pediatrics
Civil Rights Forum on Communications Policy
Communications Workers of America
Consumer Federation of America
Easter Seals Society
League of United Latin American Citizens
NAACP
National Council of Churches
National Organization for Women
Project on Media Ownership
 
 
 
 
 

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Please note: This form can also be completed on the People for Better TV website www.bettertv.org

Please mail your completed form to the National Organization for Women Foundation

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