Junk Fax Ruling Significance Debated in Effective Competition Fight
The FCC and allies and NATOA are at odds over the significance of a federal appellate court overturning the agency's solicited fax rule and what it means for a challenge of the commission finding of effective competition in the U.S. cable market. FCC intervenor NCTA in a letter (in Pacer) Friday to the U.S. Court of Appeals for the D.C. Circuit, and the FCC in a letter (in Pacer) Thursday, said Congress expressly gave the agency authority to make effective competition determinations in franchise areas. The FCC said the fight over the agency terminating franchising authorities' certifications to regulate cable rates in areas where there's effective competition is "plainly distinguishable" from the D.C. Circuit's ruling last month that the agency's solicited fax rule is illegal (see 1703310018). The regulator said its December 2015 conclusion of effective competition in most franchise areas nationwide was consistent with the Communications Act's text and legislative history. In its letter (in Pacer) Wednesday to the D.C. Circuit, NATOA -- which along with NAB and Minnesota's Northern Dakota County Cable Communications Commission is challenging the effective competition finding (see 1508280033) -- said the D.C. Circuit junk faxing ruling "definitively rejected" FCC rationale that its solicited fax rule was lawful as long as Congress didn't prohibit it, and that since Congress didn't authorize "mass sua sponte terminations of franchising authority certifications," the court should set aside the FCC effective competition order. NCTA rejected NATOA assertions that the D.C. Circuit decision means the only way for the agency to terminate franchising authorities' certifications is after a petition, as laid out in Section 623(a)(5) of the Communications Act, saying that section of code is about seeking relief from a franchising authority that exercises its rate regulation in violation of FCC standards, and is silent about effective competition determinations.