Federal Communications Commission
Before the
Federal Communications Commission
Washington, D.C. 20554
In the Matter of
Entercom Communications and CBS Radio
Seek Approval to Transfer Control of and
Assign FCC Authorizations and Licenses
Subsidiaries of CBS Corporation
(Transferors)
and
Shareholders of Entercom Communications
Corporation (Transferees)
For Consent to Transfers of Control

Joseph M. Field (Transferor)
and
Shareholders of Entercom Communications
Corporation (Transferees)
For Consent to Transfers of Control

Subsidiaries of CBS Corporation
(Assignors)
and
The Entercom Divestiture Trust
(Assignee)
For Consent to Assignment of Licenses

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MB Docket No. 17-85

BTCH-20170320AAV
BTC-20170320AAZ, et al.,
BTCH-20170320ACR
BTCH-20170320AEV
BTCH-20170320AFU
BTC-20170320AGG
BTCH-20170320AGZ
BTCH-20170320AHB, et al.,
BTCH-20170320ACM
BTCH-20170320ACT, et al.,
BTCH-20170320AFS
BTCH-20170320AFV, et al.,
BTC-20170320AGE, et al.,
BTCH-20170320AGP
BTCH-20170320ACS
BTC-20170320ACV, et al.,
BTC-20170320AFI, et al.,
BTCH-20170320AFT
BTC-20170320AGD
BTC-20170320AGO
BTCH-20170320AHA
BTCH-20170320AHD

BTCH-20170320AHE, et al.,
BTCH-20170320AAW
BTC-20170320AGQ, et al.,
BTCH-20170320AAX, et al.,
BTC-20170320AAR, et al.,
BTC-20170320AGH, et al.,
BTC-20170320AFX, et al.,
BTCH-20170320ACN, et al.,
BTC-20170320AEW, et al.,

BALH-20170320AMP, et al.,
BALH-20170320AMR,
BALH-20170320AMT,
BALH-20170320ANE, et al.

DA 17-1100

Federal Communications Commission

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Subsidiaries of Entercom Communications
Corporation
(Assignors)
and
The Entercom Divestiture Trust
(Assignee)
For Consent to Assignment of Licenses

DA 17-1100

BALH-20170320ALF, et al.,
BALH-20170320ALH,
BALH-20170320ALJ, et al

MEMORANDUM OPINION AND ORDER
Adopted: November 9, 2017

Released: November 9, 2017

By the Chief, Media Bureau:
I.

INTRODUCTION

1.
The Media Bureau (Bureau) has under consideration the captioned transfer of control and
assignment applications, as amended, (Merger Applications and Divestiture Applications, respectively) 1
filed by Entercom Communications Corp. (Entercom) and CBS Corporation (CBS), and its wholly-owned
subsidiary CBS Radio, Inc. (CBSR) (collectively, Parties). 2 The Merger and Divestiture Applications are
part of a larger transaction which, when consummated, will result in Entercom holding over 200 radio
stations through its wholly-owned CBSR subsidiary. As described below, we grant the Merger and
Divestiture Applications subject to certain conditions, and also grant the associated waivers on a
temporary basis.
II.

BACKGROUND

2.
The Transaction. The proposed transaction encompasses all of Entercom’s 127 and
CBS’s 117 radio stations. Pursuant to an Agreement and Plan of Merger: (1) CBSR will be separated
from CBS pursuant to a Master Separations Agreement; and (2) a wholly owned subsidiary of Entercom
(Constitution Merger Sub Corp.) will merge with CBSR, with the merged CBSR surviving as a wholly
owned subsidiary of Entercom. Contemporaneously, Entercom will contribute all of the issued and
outstanding equity interests of its direct subsidiary, Entercom Radio, LLC, to CBSR, resulting in a
substantial change in control of Entercom from its current ownership.
3.
Entercom and CBSR are direct competitors in several markets. 3 In order to comply with
the local radio ownership rule, the Parties have filed seven Divestiture Applications seeking consent to the
assignment of up to 19 full-power and six associated booster station licenses (Trust Stations) to the

1

The captioned applications were filed on March 20, 2017. By Public Notice released March 31, 2017, the Bureau
established petition to deny, opposition and reply filing deadlines of May 1, May 11, and May 18, 2017,
respectively. The Bureau also announced permit-but-disclose ex parte status for the applications. Entercom
Communications and CBS Radio Seek Approval to Transfer Control of and Assign FCC Authorizations and
Licenses, Public Notice, 32 FCC Rcd 2105 (MB 2017). A list of the stations that are the subject of the proposed
assignments and transfers and, for each, its call sign, community of license, facility ID number and assignment or
transfer application file number is attached as the Appendix.

2

See 47 U.S.C. § 310(d).

3

The combined ownership interests of Entercom and CBSR present an issue under 47 CFR § 73.3555(a)(1) in the
following seven Nielsen markets: Boston, Massachusetts; Los Angeles, California; Sacramento, California; San
Francisco, California; San Diego, California; Seattle-Tacoma, Washington; and Wilkes-Barre/Scranton,
Pennsylvania.
(continued….)

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DA 17-1100

Entercom Divestiture Trust (EDT). 4 On October 10, 2017, the Parties filed amendments (Divestiture
Amendments) identifying the specific stations that would be assigned to EDT. 5 The transaction is
structured to comply with the Commission’s ownership rules and policies except as follows: The Parties
seek a temporary waiver of the radio-television cross-ownership rule 6 in the San Francisco and Miami
markets to permit Leslie Moonves 7 and Joseph Ianniello 8 (collectively, Temporary Directors) to serve as
Entercom directors for no longer than six months following the close of the contemplated transactions.
Entercom also seeks a waiver of the local radio ownership rule to maintain its current ownership interests
in the Kansas City market. In addition, Entercom currently holds a grandfathered radio combination in
the Wilkes-Barre/Scranton Pennsylvania Nielsen audio market. Because the proposed transaction would
result in a substantial change of control in Entercom, the Parties propose to assign WGGI(FM), Benton,
PA, to either the EDT or Educational Media Foundation (EMF). 9
4.
Petitions to Deny. On May 1, 2017, Edward R. Stolz, II (Stolz) and Deborah J. Naiman
(Naiman) (collectively, Petitioners) filed Petitions to Deny (the Stolz Petition and Naiman Petition,
respectively). 10 Stolz argues that: (1) the Divestiture Applications do not comply with local radio
ownership limits in the Sacramento and San Francisco markets; (2) the (anticipated) filing of the
Divestiture Amendments should require a new petition period of no less than 30 days; 11 (3) the
Commission must address unresolved Entercom character issues relating to the death of a contestant at
KDND(FM), Sacramento, California; 12 and (4) the Bureau erroneously and prematurely granted five
license renewal applications of other Entercom Sacramento market stations.13
5.
In her Petition, Naiman contests only those captioned applications relating to the
Sacramento market, claiming standing as a resident and listener of the 10 radio stations listed in the
caption of her pleading. 14 She asserts that those applications do not comply with the local radio

4

EDT’s Trustee is TDC Communications, LLC, whose sole member is Elliot B. Evers.

5

See Divestiture Amendments at Exhibit 5.

6

47 CFR § 73.3555(c).

7

Moonves is Chairman of the Board, President and Chief Executive Officer of CBS.

8

Ianniello is Chief Operating Officer of CBS.

9

The Divestiture Applications include Entercom stations KSWD(FM), Los Angeles, California, KSOQ-FM, San
Diego, California, and WGGI(FM), Benton, Pennsylvania, respectively. See Application Nos. BALH20170320ALJ, BALH-20170320ALF, and BALH-20170320ALH, respectively. On September 26, 2017, Entercom
sought Commission consent to assign those station licenses to EMF. See Application File Nos. BALH20170926AFA; BALH20170926AFF, and BALH-20170926AFG, respectively (the EMF Applications). If
Entercom and EMF do not close on this transaction prior to or simultaneously with the consummation of the merger
transaction, these licenses will be assigned to the EDT. See EMF Applications, Attachment 5, Asset Purchase
Agreement, at paragraphs B – E. The Media Bureau granted the EMF applications on November 2, 2017. See
Public Notice, Broadcast Actions, Report No. 49107 (rel. Nov. 7, 2017).
10

No other petitions or objections were filed against the Merger of Divestiture Applications.

11

Stolz Petition at 10-11, citing 47 U.S.C. § 309(b).

12

Stolz Petition at 12, referencing Entercom License, LLC, Hearing Designation Order and Notice of Opportunity
for Hearing, 31 FCC Rcd 12196 (2016) (KDND HDO). Entercom subsequently turned in the license to KDND(FM)
and the proceeding was terminated. See Entercom License, LLC, Memorandum Opinion and Order, 32 FCC Rcd
7149 (2017), pet. for recon. pending.
13

Stolz Petition at 16-19, referencing KUDL(FM), KRXQ(FM), KIMF(FM) and KSEG(FM), Sacramento, and
KKDO(FM), Fair Oaks, California. See Entercom Sacramento Licenses, Inc., Letter Decision, reference 1800B3JM (MB Jan. 18, 2017).

14

Naiman Petition at 4.
(continued….)

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DA 17-1100

ownership limits and that there are unresolved character issues regarding KDND(FM) which implicate
Entercom’s “Sacramento Cluster” of stations. 15
6.
In their Opposition, CBS, CBSR, and Entercom first argue that the challenged San
Francisco and Sacramento Divestiture Applications are acceptable for filing as filed. They state that they
have committed to amend the Divestiture Applications 16 and reject Petitioners’ contrary precedent as
inapposite. 17 They also argue that the “minor” Divestiture Amendments would be statutorily exempt from
Section 309(b) 30-day public notice requirements. 18
7.
Second, CBS, CBSR, and Entercom assert that the litigation regarding KDND(FM) and
Entercom’s other Sacramento stations does not preclude grant of the Merger Applications. They maintain
that the Commission has granted a transfer of control application while a license renewal application is
pending provided that: (1) it is a multi-station, multi-market transaction; (2) there are no basic
qualifications issues pending against the transferor or transferee that could not be resolved in the context
of the pending applications; and (3) the transferee explicitly consents to “stand in the stead” of the
transferor in the renewal proceeding. In this regard, they note that: (1) the Commission did not designate
any character or basic qualification issues against Entercom in the KDND HDO; 19 and (2) both CBSR and
the EDT have agreed to stand in the stead of Entercom with respect to the renewal applications for the
Sacramento stations. 20
8.
On May 18, 2017, Stolz and Naiman filed nearly identical Reply pleadings reiterating
their prior contentions. They also argue that the Commission recently enforced strict compliance on a
regulatee in a different licensing context, 21 and that it cannot “logically or legally” do otherwise here. 22
They demand again that the Commission designate the captioned applications for evidentiary hearing
upon the issues specified in the KDND HDO and the issues raised in Stolz’ January 9, 2017, “Motion to
Enlarge Issues” filed in that proceeding. 23
9.
Supplements. On May 16, 2017, Stolz filed a First Supplement to Petition to Dismiss or
Deny (First Supplement). 24 He argues that a monologue by comedian Stephen Colbert aired by CBS
television affiliates at approximately 11:35 p.m. on May 1, 2017, was “actionably obscene.” 25 CBS and
CBSR filed an Opposition arguing that the monologue was protected speech and that it was neither
15

Id. at 6-13.

16

Opposition at 2-3, citing Transfer Applications Comprehensive Exhibit at n. 2 and Divestiture Trust
Comprehensive Exhibit at 2.

17

Opposition at 4.

18

Id. at 5.

19

Id. at 8, citing KDND HDO, 31 FCC Rcd at 12209 n.122.

20

Id. at 7-8, referencing Agreement and Plan of Merger submitted with the Merger Applications at pp. 88-89, § 7.9,
and Declaration of Elliot B. Evers, appended to the Opposition as Exhibit A.
21

Stolz and Naiman cite ERIE Radio Co., LLC, Memorandum Opinion and Order, 32 FCC Rcd 3890 (WTB/MB
2017) (ERIE) (Wireless and Media Bureaus dismiss auction winner long-form application because the applicant
missed down-payment deadline by one day).
22

Stolz Reply at 3, Naiman Reply at 2-3.

23

Stolz Reply at 7-9, Naiman Reply at 7-9.

24

Accompanying it was a Motion for Leave to File First Supplement to Petition to Dismiss or Deny. We hereby
grant the Motion.
25

First Supplement at 6, citing Character Policy Statement, 102 FCC 2d 1179 at n.60 (1986). Additionally, Stolz
argues that the “vituperative nature” of the Colbert monologue raises a substantial and material question of fact
regarding whether CBS engaged in intentional news distortion. First Supplement at 8-9, citing Serafyn v. FCC, 149
F.3d 1213 (D. C. Cir. 1998) and Jefferson Radio Co., Inc. v. FCC, 340 F.2d 781 (D.C. Cir. 1964) (Jefferson Radio).
(continued….)

4

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DA 17-1100

indecent nor obscene. 26 Moreover, CBS and CBSR maintain that the language Stolz alleges to have been
obscene was not actually heard by viewers because “CBS bleeped and obscured Colbert’s mouth” during
that portion of the broadcast. 27
10.
On June 5, 2017, Stolz filed a Reply repeating its prior arguments and alleging instances
of “intentional news distortion.” 28 Stolz also argues that even if the offending language was “bleeped,” it
was heard by the live studio audience and that the Commission has jurisdiction over these allegedly
indecent and obscene broadcast transmissions because the production employed wireless microphones.29
11.
On July 3, 2017, Stolz filed a Second Supplement to Petition to Dismiss or Deny (Second
Supplement). 30 Stolz alleges that a television broadcast by CBS’s Scott Pelley regarding the shooting of
Representative Steve Scalise on June 16, 2017 was “criminally actionable.” 31 CBS and CBSR filed an
Opposition arguing that Stolz “distorts and misinterprets” Pelley’s comments. 32 On July 28, 2017, Stolz
filed a Reply rejecting the CBS and CBSR contentions and reiterating its view that the broadcasts
constitute “intentional news distortion.” 33
12.
On October 17, 2017, Stolz filed a Third Supplement to Petition to Dismiss or Deny
(Third Supplement). 34 Stolz reiterates his claim that the Merger Applications should be dismissed,
denied, or designated for evidentiary hearing. 35
III.

DISCUSSION

13.
For the reasons stated below, we deny the petitions to deny, grant temporary radiotelevision cross-ownership waivers with regard to Entercom’s interests in the San Francisco and Miami
markets, grant a temporary waiver of the local radio ownership rule with regard to Entercom’s interests in
the Kansas City market, and grant the Merger and Divestiture Applications subject to certain conditions.
14.
Section 310(d) of the Communications Act of 1934, as amended (Act) provides that no
station license shall be transferred or assigned until the Commission determines that the public interest,
convenience, and necessity will be served.36 In making this assessment, the Commission must first
26

Opposition to First Supplement at 1.

27

Id.

28

Id. at 5-8.

29
Reply to Opposition to First Supplement at 2. In addition, Stolz asserts that this particular monologue was
defamatory and done with the intent “to endanger the President, to incite, and to inflame.” Id. at 3, 4.
30

Accompanying it was a Motion for Leave to File Second Supplement to Petition to Dismiss or Deny. We hereby
grant the Motion.
31

Second Supplement at 3, citing 18 U.S.C. §§ 245(b) and 1505, which, according to Stolz, make it a crime to
intimidate a member of Congress. Stolz also cites 18 U.S.C. § 241, making it a crime for two or more persons to
“conspire to inure, oppress, threaten, or intimidate any person in an State, Territory, Commonwealth, Possession, or
District in the free exercise or enjoyment of any right or privilege secured to him by the Constitution or laws of the
United States . . . .”

32

Opposition to Second Supplement at 1 (“Taken in context, Mr. Pelley did not advocate violence against anyone.
In fact, his remarks … decried the advocacy of violence.”).
33

Reply to Opposition to Second Supplement at 3, referencing 47 U.S.C. § 403.

34
Accompanying it was a Motion for Leave to File Third Supplement to Petition to Dismiss or Deny. We hereby
grant the Motion.
35

Third Supplement at 2. In this filing, Stolz references, among other things, a posting on social media site Twitter
from a CBS employee allegedly expressing a lack of sympathy for the victims of the recent Las Vegas shootings.
36

Section 310(d) requires that the Commission consider the applications as if the proposed transferee were applying
for the licenses directly. 47 U.S.C. § 310(d). See, e.g., SBC Communications Inc. and AT&T Corp. Applications for
(continued….)

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DA 17-1100

determine whether the proposed transaction would comply with the Act, other applicable statutes, and the
FCC’s rules (Rules). 37 If the Commission is unable to find that the proposed transaction serves the public
interest, or if the record presents a substantial and material question of fact, Section 309(e) of the Act
requires that the applications be designated for hearing. 38
15.
Petitions to Deny. We reject Petitioners’ arguments that the Divestiture Applications are
not acceptable for filing because they exceed the radio ownership caps permitted in the Sacramento and
San Francisco markets. The Commission has routinely accepted and processed similar divestiture trust
applications to facilitate, as here, larger transactions. 39 We note that the Parties subsequently filed the
Divestiture Amendments and that, except for the Kansas City market, the amended Divestiture
Applications comply with the local radio ownership rules. 40
16.
We also reject Petitioners’ arguments that Section 309(b) of the Act 41 requires the
Commission to open a new 30-day period for public comment on the Divestiture Amendments. 42 Section
309(c) of the Act specifically exempts “minor amendments” from Section 309(b) notice requirements.43
In addition, Section 73.3578 of the Rules 44 specifies that any amendment to an assignment or transfer of
control application is considered “minor” unless it specifies a change in ownership control, or would
otherwise require the filing of a new long-form application. Because an amendment to remove stations
from an application does not fall within these exceptions, we find that the Divestiture Amendments are
minor and do not trigger a new 30-day notice period. 45 With respect to Petitioners’ arguments relating to
KDND(FM) and whether the Bureau prematurely granted license renewal applications of other Entercom
Sacramento market stations, we find that these are impermissible collateral attacks and that these issues
are properly considered in those renewal proceedings. 46
17.
Supplements to Petition to Deny. We find that the allegations raised by Stolz in the
Supplements, which concern certain content aired by broadcast television stations—not by the radio
stations at issue in the instant applications—fail to raise a question regarding the qualifications of

Approval of Transfer of Control, 20 FCC Rcd 18290, 18300, para. 16 (2005) (SBC-AT&T Order).
37

See, e.g., SBC-AT&T Order, 20 FCC Rcd at 18300, para. 16.

38

47 U.S.C. § 309(e); see also General Motors Corporation and Hughes Electronics Corporation, Transferors, and
The News Corporation Limited, Transferee, Memorandum Opinion and Order, 19 FCC Rcd 473, 483 n.49 (2004).
39

See, e.g., The E.W. Scripps Company, Letter, 29 FCC Rcd 24870, 14872, n.9; Existing Shareholders of Clear
Channel, 23 FCC Rcd at 1427 n. 26 (parties file transfer application stating that “prior to the proposed transfer of
control . . . , applications will be filed with the Commission to sell the requisite number of stations in the noncompliant combinations so that, as of the closing, the surviving company will be in compliance with the
Commission’s multiple ownership rules”; application initially proposes assignment of all stations to trust,
subsequently amended to identify the specific trust stations).
40

Moreover, Petitioners’ reliance on the alleged “strict compliance” standard applied in ERIE is unfounded. In
ERIE, an auction-winning applicant missed a clearly established payment deadline and was dismissed pursuant to a
specific auction rule. ERIE, 32 FCC Rcd at 3896, para. 18 (citing 47 CFR § 1.2107(b)).
41

47 U.S.C. § 309(b).

42

Stoltz Petition at 10-11; Naiman Petition at 6.

43

47 U.S.C. § 309(c).

44

47 CFR § 73.3578.

45

See, e.g., Shareholders of Hispanic Broad. Corp., Memorandum Opinion and Order, 18 FCC Rcd 18834, 18835
n.1 (2003) (amendment adding stations to pending assignment application that does not propose additional changes
to ownership structure is “minor”).
46

See Entercom License, LLC, Memorandum Opinion and Order, 32 FCC Rcd 7149 (2017), pet. for recon. pending;
Dennis J. Kelly, Esq., etc., Letter, 32 FCC Rcd 6880 (MB 2017), pet. for recon. pending.
(continued….)

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CBSR. 47 In general, consistent with the Commission’s Character Policy Statement, when evaluating
assignment applications, we do not consider a licensee’s conduct at one station to be relevant to its
qualifications to hold another authorization. 48 Stolz does not allege that any of the actions described in
the Supplements occurred at a CBSR radio station. The Commission has recognized a limited exception
to this policy, however, in circumstances raising a question whether a licensee is qualified to hold any
station license. 49 That is not the situation presented in the Supplements. Stolz seeks to use isolated
incidents to call into question the totality of CBS’s licenses. Such a result is not consistent with
Commission precedent or Commission sanctions policy. The Commission has stated that “only in the
most egregious case need termination of all rights be considered.” 50 Accordingly, we reject the
allegations raised in the Supplements as insufficient to raise a substantial and material question of fact
regarding the proposed transaction and need not delve into the specifics of Stolz’s allegations.
18.
Petition for Temporary Waiver. We grant temporary radio-television cross-ownership
waivers in the San Francisco and Miami markets to permit the Temporary Directors to serve as Entercom
directors for a period no longer than six months following the consummation of the merger. The
Temporary Directors have cognizable interests in the CBS-owned television stations on the basis of their
continuing CBS officer/director positions. As a result, following consummation of the merger, they
would hold attributable interests in radio and television stations in the Miami and San Francisco markets
in excess of the radio-television cross-ownership limits. 51
19.
In support of the waiver request, the Parties state that the Commission has previously
found temporary waivers of the multiple ownership rules to be in the public interest, particularly where
the waiver “facilitate[s] multi-station transactions,” is “incidental to the larger transaction,” 52 and would
not undermine the Commission’s “underlying goals of diversity and competition in the broadcast
marketplace.” 53 Prior to the merger, they state, each of the Temporary Directors will execute and deliver
an irrevocable letter of resignation effective the earlier of (a) six months after closing of the Merger and
(b) the day prior to the first annual meeting of Entercom following closing of the Merger.
20.
The Parties argue that the Commission has found the effect on competition and diversity
to be “somewhat less consequential” where a significant number of independent media voices will remain
in the market. They note that at issue is only the ownership of one radio station in each of two major
markets, that there are an abundant number of independent radio and television voices in each market, and
that neither of the Temporary Directors would control any of the stations at issue. Finally, the parties
argue that a waiver would help facilitate a smooth transition and integration of the radio stations
previously controlled by CBS.

47

As to the allegations raised in Stolz Third Supplement regarding an employee “tweet,” we note that this does not
constitute broadcast programming or any other actionable misconduct falling under the Commission’s jurisdiction.
48

Policy Regarding Character Qualifications in Broadcast Licensing, 102 FCC 2d 1179 (1986) (subsequent history
omitted).

49
For instance, “an applicant has engaged in nonbroadcast misconduct so egregious as to shock the conscience and
evoke almost universal disapprobation. . . might, of its own nature, constitute prima facie evidence that the applicant
lacks the traits of reliability and/or truthfulness necessary to be a licensee.” Id. at 1205, fn. 60.
50

Id. at 1228.

51

Transfer Comprehensive Exhibit at 29-30.

52

Id. at 29. The parties cite UTV of San Francisco, Inc., 16 FCC Rcd 14975, 14984 (2001) (UTV); Fidelity
Television, Inc., 17 FCC Rcd 8567, 8568 (2002) (Fidelity).
53
Transfer Comprehensive Exhibit at 29, citing UTV 16 FCC Rcd at 14984; Fidelity, 17 FCC Rcd at 8569; New
Rushmore Radio, Inc., 29 FCC Rcd 3265, 3267 (MB Vid. Div. 2014); Schurz Commc’ns, Inc., 31 FCC Rcd 1113,
1118 (MB Vid. Div. 2016).

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21.
After a careful review of the record, we conclude that the requested temporary waivers
are in the public interest. Our independent analysis confirms that following consummation of this
transaction, there will be more than 50 independently owned and operated radio and television voices in
the Miami market, and more than 80 in the San Francisco market. In the waiver markets, the crossownership caps will be exceeded by only one radio station. Based on the large number of independent
media voices in each market and the relatively short duration involved, we conclude that a waiver will not
unduly limit competition or diversity in these markets.
22.
EDT Stations. To ensure compliance with the local radio ownership rule, we impose a
condition requiring that Entercom’s and CBSR’s assignments of Trust Stations to EDT pursuant to the
Divestiture Applications occur prior to or simultaneously with the consummation of the merger. EDT is
required to take commercially reasonable efforts to effectuate the sale of the stations without delay. EDT
shall have six months from the consummation of the merger to complete the assignment of each of the
Trust Stations or file an acceptable assignment of license application. If and to the extent that EDT fails
to do so with regard to any of the Trust Stations, it must provide the Commission with a detailed
explanation of its efforts to sell such stations in the confidential report referenced in Section 4(g) of the
Trust Agreements submitted with the Divestiture Applications. EDT must continue to provide reports at
six-month intervals until all stations held by EDT are sold.
23.
Kansas City AM Expanded Band Waiver. We grant Entercom’s request for a
continuation of the waiver of the local radio ownership rule it has been granted in the Kansas City Nielsen
radio market. Entercom currently holds a waiver with respect to its ownership of lower band station
KKHK(AM) and expanded band Station KXTR(AM). 54 Absent a waiver, Entercom would be required to
divest one station in this market.
24.
In the AM Revitalization proceeding, the Commission tentatively concluded that “any
licensee with dual standard/Expanded Band authorizations . . . should be required to surrender one of the
two authorizations within one year of release of a future Report and Order in this proceeding adopting
this proposal.” 55 This issue remains pending before the Commission. In these circumstances, we grant a
temporary waiver subject to any action the Commission may take on this issue in the AM Revitalization
proceeding or any other proceeding in which it considers the dual standard/expanded band authorization
issue.
IV.

CONCLUSION

25.
We have reviewed the proposed merger, the applications for its approval, and related
comments. We conclude that the applicants are fully qualified and that grant of the Merger Applications
and the Trust Applications, subject to the conditions set forth herein, will serve the public interest,
convenience, and necessity.
V.

ORDERING CLAUSES

26.
Accordingly, IT IS ORDERED, pursuant to sections 4(i), 4(j), 309, and 310(d) of the
Communications Act of 1934, as amended, 47 U.S.C. §§ 154(i), 154(j), 309, 310(d), and Sections 0.61(a)
and 0.283 of the Commission’s Rules, 56 that the applications for consent to the transfers of control of
Entercom Communications Corp. and of Entercom Miami License, LLC, Entercom Atlanta License,
LLC, Entercom Denver II License, LLC, Entercom San Diego License, LLC, Entercom Wilkes-Barre
54

Entercom holds an interest in four FM stations and five AM stations in the Kansas City Market pursuant to a
waiver granted in Entercom Kansas City License, LLC, Memorandum Opinion and Order, 17 FCC Rcd 24197
(2002) (waiving the local radio ownership provisions of Section 73.3555(a)(1) for five years from the licensing of
KXTR(AM)).
55

Revitalization of the AM Broadcast Service, First Report and Order and Further Notice of Proposed Rule Making,
30 FCC Rcd 12145, 12177 (2015).
56

47 CFR §§ 0.61(a), 0.283.

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Scranton, LLC, Entercom Rochester License, LLC, Entercom New Orleans License, LLC, Entercom
Buffalo License, LLC, and Entercom License, LLC, and of CBS Corporation, and of CBS Radio East,
Inc., CBS Radio Inc. of Maryland, CBS Radio Holdings Corporation of Orlando, CBS Radio of
Sacramento, Inc., CBS Radio Inc. of Michigan, CBS Radio Stations, Inc., CBS Radio Inc. of Atlanta,
CBS Radio Texas, Inc., CBS Radio Inc. of Washington, DC, CBS Radio WLIF, Inc., CBS Radio Inc. of
Boston, CBS Radio KMVQ-FM Inc., CBS Radio of WLIF-AM Inc., CBS Radio Media Corporation,
CBS Radio of Detroit Inc., CBS Radio Inc. of Illinois, Infinity Broadcasting Corporation, CBS Radio Inc.
of Los Angeles, and The Audio House, Inc., and for consent to the assignment of licenses from Entercom
Communications Corp. and CBS Corporation to The Entercom Divestiture Trust, listed in the Appendix,
or as otherwise listed previously in the Commission’s public notices, ARE GRANTED, SUBJECT TO
THE FOLLOWING CONDITIONS:
The request for a temporary waiver of Section 73.3555(c), not to exceed 6 months in the Miami
and San Francisco markets IS GRANTED, but within 6 months of consummation of the
transaction, Messrs. Leslie Moonves and Joseph Ianniello shall resign from the Entercom board
of directors, and Entercom is directed to promptly notify the Commission in writing of such
resignations.
The request for a temporary waiver of Section 73.3555(a) with regard to Entercom’s interests in
the Kansas City, MO, market IS GRANTED to the extent indicated herein.
The transfer of control of Entercom Communications Corp. and CBS Corporation’s CBSR shall
take place subsequent to and/or simultaneously with the complete consummation of the
assignment of licenses for the radio stations specified in the applications for consent to
assignment of licenses from Entercom Communications Corp. and CBS Corporation’s CBSR to
The Entercom Divestiture Trust (FCC File Nos. BALH-20170320AMT, et al.; BALH20170320AMR; BALH-20170320ANE, et al.; BALH-20170320ALJ; et al., BALH20170320ALH; BALH-20170320ALF, et al.; and BALH-20170320AMP, et al.
Assignors and Transferors are reminded that Section 73.3615 requires that a biennial ownership
report be filed by each licensee of a commercial or non-commercial AM, FM, TV, Class A, or
LPTV broadcast station and any entity that holds an attributable interest in the licensee pursuant
to Section 73.3555 as of October 1 of each odd-numbered year. The Media Bureau has
previously announced that the 2017 biennial ownership reports for both commercial and noncommercial stations must be filed between December 1, 2017, and March 2, 2018. Accordingly,
for any assignment or transfer of control applications consummated after October 1, 2017, but on
or before March 2, 2018, the proposed Assignor/Transferor must nonetheless file a biennial Form
323 or Form 323-E by the extended March 2, 2018, deadline. Ownership information should be
reported as of October 1, 2017. Please note, this biennial ownership filing requirement is in
addition to the post-consummation report, which is required of the Assignee or Transferee. See
47 CFR Section 73.3615.
27.
IT IS FURTHER ORDERED THAT, in the event that the Entercom Divestiture Trust has
not submitted an acceptable application for the assignment of each station license that it holds in trust
within six months of the acquisition of such station, it shall provide the Commission with a copy of the
confidential report referenced in Section 4(g) of the Trust Agreements submitted with the Divestiture
Applications and shall continue to provide such reports at six-month intervals until all Trust Station
licenses are assigned.
28.
IT IS FURTHER ORDERED THAT, the petitions to deny filed by Edward R. Stolz, II
and Deborah J. Naiman ARE DENIED.
29.
IT IS FURTHER ORDERED THAT copies of this Memorandum Opinion and Order
shall be sent, by First Class and Certified Mail, to Dennis J. Kelly, Esq., P.O. Box 41177, Washington,
9

Federal Communications Commission

DA 17-1100

DC 20018, and to Entercom Communications Corp., 401 East City Avenue, Suite 809, Bala Cynwyd, PA
19004, and its counsel, Zachary A. Judd, Esq., Latham & Watkins, LLP, 330 North Wabash Avenue,
Suite 2800, Chicago, IL 60611, and David H. Solomon, Esq., Wilkinson Barker Knauer, LLP, 1800 M
Street, N.W., Suite 800N, Washington, DC 20036, to CBS Corporation, 51 West 52nd Street, New York,
NY 10019, and its counsel, David E. Shapiro, Esq., Wachtell, Lipton Rosen & Katz, 51 West 52nd Street,
New York, NY 10019, and Meredith S. Senter, Jr., Esq., Lerman Senter, PLLC, 2001 L Street, N.W.,
Suite 400, Washington, DC 20036, and to TDC Communications, LLC, c/o Mr. Elliot Evers, 255
California Street, Suite 850, San Francisco, CA 94111, and its counsel, Scott W. Woodworth, Esq.,
Edinger Associates, Suite 500, 1875 I Street, N.W., Washington, DC 20006.
FEDERAL COMMUNICATIONS COMMISSION

Michelle M. Carey
Chief, Media Bureau

10

Federal Communications Commission

DA 17-1100

APPENDIX
Entercom and CBS Stations Subject to Transfers and Assignments
I.

STATIONS SUBJECT TO TRANSFERS
A.

CBS RADIO, INC.

Call Sign

Service City

State

Facility Id.

Prefix

File Number

WLZL

FM

COLLEGE PARK

MD

20983

BTCH

20170320AAV

KCBS

AM

SAN FRANCISCO

CA

9637

BTC

20170320AAZ

KDKA

AM

PITTSBURGH

PA

25443

BTC

20170320ABA

KMOX

AM

ST. LOUIS

MO

9638

BTC

20170320ABB

KNX

AM

LOS ANGELES

CA

9616

BTC

20170320ABC

KYW

AM

PHILADELPHIA

PA

25441

BTC

20170320ABD

KZDG

AM

SAN FRANCISCO

CA

25458

BTC

20170320ABE

WAOK

AM

ATLANTA

GA

63775

BTC

20170320ABF

WBBM

AM

CHICAGO

IL

9631

BTC

20170320ABG

WBZ

AM

BOSTON

MA

25444

BTC

20170320ABH

WCBS

AM

NEW YORK

NY

9636

BTC

20170320ABI

WFAN

AM

NEW YORK

NY

28617

BTC

20170320ABJ

WINS

AM

NEW YORK

NY

25451

BTC

20170320ABK

WPHT

AM

PHILADELPHIA

PA

9634

BTC

20170320ABL

WSCR

AM

CHICAGO

IL

25445

BTC

20170320ABM

WWJ

AM

DETROIT

MI

9621

BTC

20170320ABN

KAMP-FM

FM

LOS ANGELES

CA

25075

BTCH

20170320ABO

KCBS-FM

FM

LOS ANGELES

CA

9612

BTCH

20170320ABP

KITS

FM

SAN FRANCISCO

CA

18510

BTCH

20170320ABQ

KLLC

FM

SAN FRANCISCO

CA

9624

BTCH

20170320ABR

KRTH

FM

LOS ANGELES

CA

28631

BTCH

20170320ABS

KTWV

FM

LOS ANGELES

CA

25437

BTCH

20170320ABT

WBBM-FM

FM

CHICAGO

IL

9613

BTCH

20170320ABU

WBMP

FM

NEW YORK

NY

58579

BTCH

20170320ABV

WCBS-FM

FM

NEW YORK

NY

9611

BTCH

20170320ABW

WDCH-FM

FM

BOWIE

MD

72177

BTCH

20170320ABX

WDZH

FM

DETROIT

MI

25448

BTCH

20170320ABY

11
*Lead applications in bold

Federal Communications Commission

DA 17-1100

Call Sign

Service City

State

Facility Id.

Prefix

File Number

WFAN-FM

FM

NEW YORK

NY

67846

BTCH

20170320ABZ

WIAD

FM

BETHESDA

MD

9619

BTCH

20170320ACA

WIP-FM

FM

PHILADELPHIA

PA

28628

BTCH

20170320ACB

WNEW-FM

FM

NEW YORK

NY

25442

BTCH

20170320ACC

WODS

FM

BOSTON

MA

9639

BTCH

20170320ACD

WOGL

FM

PHILADELPHIA

PA

9622

BTCH

20170320ACE

WVEE

FM

ATLANTA

GA

63776

BTCH

20170320ACF

WXRT

FM

CHICAGO

IL

16853

BTCH

20170320ACG

WXYT-FM

FM

DETROIT

MI

9618

BTCH

20170320ACH

KITS-FM1

FB

WALNUT CREEK

CA

18524

BTCFTB

20170320ACI

KITS-FM2

FB

PLEASANTON

CA

18521

BTCFTB

20170320ACJ

KITS-FM4

FB

ANTIOCH

CA

18526

BTCFTB

20170320ACK

KLLC-FM2

FB

PLEASANTON

CA

178408

BTCFTB

20170320ACL

WCFS-FM

FM

ELMWOOD PARK

IL

71283

BTCH

20170320ACR

WZGC

FM

ATLANTA

GA

13805

BTCH

20170320AEV

WZLX

FM

BOSTON

MA

13806

BTCH

20170320AFU

WXYT

AM

DETROIT

MI

28627

BTC

20170320AGG

WJMK

FM

CHICAGO

IL

28621

BTCH

20170320AGZ

KROQ-FM

FM

PASADENA

CA

28622

BTCH

20170320AHB

KROQ-FM1

FB

SANTA CLARITA

CA

180881

BTCFTB

20170320AHC

WPGC-FM

FM

MORNINGSIDE

MD

28632

BTCH

20170320ACM

WOMC

FM

DETROIT

MI

28623

BTCH

20170320ACT

WYCD

FM

DETROIT

MI

1089

BTCH

20170320ACU

WJFK-FM

FM

MANASSAS

VA

28625

BTCH

20170320AFS

KMVQ-FM

FM

SAN FRANCISCO

CA

1084

BTCH

20170320AFV

KMVQ-FM3

FB

WALNUT CREEK

CA

1090

BTCFTB

20170320AFW

WCCO

AM

MINNEAPOLIS

MN

9642

BTC

20170320AGE

KMNB

FM

MINNEAPOLIS

MN

9641

BTCH

20170320AGF

WUSN

FM

CHICAGO

IL

28620

BTCH

20170320AGP

KSFM

FM

WOODLAND

CA

59598

BTCH

20170320ACS

KFNQ

AM

SEATTLE

WA

6387

BTC

20170320ACV

KHTK

AM

SACRAMENTO

CA

20352

BTC

20170320ACW

KRAK

AM

HESPERIA

CA

72716

BTC

20170320ACX

12
*Lead applications in bold

Federal Communications Commission

DA 17-1100

Call Sign

Service City

State

Facility Id.

Prefix

File Number

KXNT

AM

NORTH LAS VEGAS

NV

33068

BTC

20170320ACY

KXST

AM

NORTH LAS VEGAS

NV

47745

BTC

20170320ACZ

WQAM

AM

MIAMI

FL

64002

BTC

20170320ADA

WTIC

AM

HARTFORD

CT

66464

BTC

20170320ADB

KALV-FM

FM

PHOENIX

AZ

63913

BTCH

20170320ADC

KDKA-FM

FM

PITTSBURGH

PA

20350

BTCH

20170320ADD

KEGY

FM

SAN DIEGO

CA

59816

BTCH

20170320ADE

KEZK-FM

FM

ST. LOUIS

MO

13507

BTCH

20170320ADF

KEZN

FM

PALM DESERT

CA

11747

BTCH

20170320ADG

KFRC-FM

FM

SAN FRANCISCO

CA

20897

BTCH

20170320ADH

KFRG

FM

SAN BERNARDINO

CA

1241

BTCH

20170320ADI

KHMX

FM

HOUSTON

TX

47749

BTCH

20170320ADJ

KJAQ

FM

SEATTLE

WA

1091

BTCH

20170320ADK

KLOL

FM

HOUSTON

TX

35073

BTCH

20170320ADL

KLUC-FM

FM

LAS VEGAS

NV

47744

BTCH

20170320ADM

KMLE

FM

CHANDLER

AZ

59965

BTCH

20170320ADN

KMPS-FM

FM

SEATTLE

WA

20356

BTCH

20170320ADO

KMXB

FM

HENDERSON

NV

51676

BTCH

20170320ADP

KNCI

FM

SACRAMENTO

CA

20353

BTCH

20170320ADQ

KOOL-FM

FM

PHOENIX

AZ

13506

BTCH

20170320ADR

KVFG

FM

VICTORVILLE

CA

72717

BTCH

20170320ADS

KXFG

FM

MENIFEE

CA

63912

BTCH

20170320ADT

KXQQ-FM

FM

HENDERSON

NV

12560

BTCH

20170320ADU

KXTE

FM

PAHRUMP

NV

2100

BTCH

20170320ADV

KYKY

FM

ST. LOUIS

MO

20358

BTCH

20170320ADW

KYMX

FM

SACRAMENTO

CA

72116

BTCH

20170320ADX

KYXY

FM

SAN DIEGO

CA

51671

BTCH

20170320ADY

KZOK-FM

FM

SEATTLE

WA

20357

BTCH

20170320ADZ

KZZO

FM

SACRAMENTO

CA

65481

BTCH

20170320AEA

WBZ-FM

FM

BOSTON

MA

1901

BTCH

20170320AEB

WBZZ

FM

NEW KENSINGTON

PA

20351

BTCH

20170320AEC

WDOK

FM

CLEVELAND

OH

28525

BTCH

20170320AED

WDSY-FM

FM

PITTSBURGH

PA

18525

BTCH

20170320AEE

13
*Lead applications in bold

Federal Communications Commission

DA 17-1100

Call Sign

Service City

State

Facility Id.

Prefix

File Number

WJZ-FM

FM

CATONSVILLE

MD

1916

BTCH

20170320AEF

WKIS

FM

BOCA RATON

FL

64001

BTCH

20170320AEG

WKRK-FM

FM

CLEVELAND
HEIGHTS

OH

74473

BTCH

20170320AEH

WNCX

FM

CLEVELAND

OH

41390

BTCH

20170320AEI

WOCL

FM

DELAND

FL

10138

BTCH

20170320AEJ

WOMX-FM

FM

ORLANDO

FL

47746

BTCH

20170320AEK

WPOW

FM

MIAMI

FL

73893

BTCH

20170320AEL

WQAL

FM

CLEVELAND

OH

72889

BTCH

20170320AEM

WQMP

FM

DAYTONA BEACH

FL

73137

BTCH

20170320AEN

WRCH

FM

NEW BRITAIN

CT

1910

BTCH

20170320AEO

WTDY-FM

FM

PHILADELPHIA

PA

51434

BTCH

20170320AEP

WTIC-FM

FM

HARTFORD

CT

66465

BTCH

20170320AEQ

WWMX

FM

BALTIMORE

MD

74196

BTCH

20170320AER

WXTU

FM

PHILADELPHIA

PA

74213

BTCH

20170320AES

WZMX

FM

HARTFORD

CT

1900

BTCH

20170320AET

KFRC-FM1

FB

PLEASANTON

CA

178412

BTCFTB

20170320AEU

KIKK

AM

PASADENA

TX

25450

BTC

20170320AFI

KILT

AM

HOUSTON

TX

25440

BTC

20170320AFJ

KRLD

AM

DALLAS

TX

59820

BTC

20170320AFK

KILT-FM

FM

HOUSTON

TX

25439

BTCH

20170320AFL

KJKK

FM

DALLAS

TX

63779

BTCH

20170320AFM

KKHH

FM

HOUSTON

TX

25449

BTCH

20170320AFN

KLUV

FM

DALLAS

TX

67195

BTCH

20170320AFO

KMVK

FM

FORT WORTH

TX

23440

BTCH

20170320AFP

KRLD-FM

FM

DALLAS

TX

1087

BTCH

20170320AFQ

KVIL

FM

HIGHLAND PARKDALLAS

TX

28624

BTCH

20170320AFR

WLIF

FM

BALTIMORE

MD

28637

BTCH

20170320AFT

WJZ

AM

BALTIMORE

MD

28636

BTC

20170320AGD

WJFK

AM

MORNINGSIDE

MD

28638

BTC

20170320AGO

WBMX

FM

BOSTON

MA

26897

BTCH

20170320AHA

KZJK

FM

ST. LOUIS PARK

MN

54425

BTCH

20170320AHD

14
*Lead applications in bold

Federal Communications Commission

B.

DA 17-1100

ENTERCOM COMMUNICATIONS CORP.

Call Sign

Service City

State

Facility Id.

Prefix

File Number

KAMX

FM

LULING

TX

48651

BTCH

20170320AHE

KJCE

AM

ROLLINGWOOD

TX

1243

BTC

20170320AHF

KKMJ-FM

FM

AUSTIN

TX

66489

BTCH

20170320AHG

K240EL

FX

AUSTIN

TX

156299

BTCFT

20170320AHH

WEEI

AM

BOSTON

MA

1912

BTC

20170320AHI

WVEI

AM

WORCESTER

MA

74466

BTC

20170320AHJ

WEEI-FM

FM

LAWRENCE

MA

1919

BTCH

20170320AHK

KALC

FM

DENVER

CO

59601

BTCH

20170320AHL

KQMT

FM

DENVER

CO

26929

BTCH

20170320AHM

KEZW

AM

AURORA

CO

67843

BTC

20170320AHN

WKTK

FM

CRYSTAL RIVER

FL

18520

BTCH

20170320AHO

WSKY-FM

FM

MICANOPY

FL

23352

BTCH

20170320AHP

WPAW

FM

WINSTON-SALEM

NC

40752

BTCH

20170320AHQ

WJMH

FM

REIDSVILLE

NC

40754

BTCH

20170320AHR

WEAL

AM

GREENSBORO

NC

49315

BTC

20170320AHS

WQMG

FM

GREENSBORO

NC

47078

BTCH

20170320AHT

WPET

AM

GREENSBORO

NC

71271

BTC

20170320AHU

WSMW

FM

GREENSBORO

NC

71272

BTCH

20170320AHV

WFBC-FM

FM

GREENVILLE

SC

34390

BTCH

20170320AHW

WSPA-FM

FM

SPARTANBURG

SC

66400

BTCH

20170320AHX

WYRD

AM

GREENVILLE

SC

34389

BTC

20170320AHY

WORD

AM

SPARTANBURG

SC

66390

BTC

20170320AHZ

WYRD-FM

FM

SIMPSONVILLE

SC

53623

BTCH

20170320AIA

WROQ

FM

ANDERSON

SC

318

BTCH

20170320AIB

WTPT

FM

FOREST CITY

NC

4677

BTCH

20170320AIC

W249AR

FX

ASHEVILLE

NC

66403

BTCFT

20170320AID

WZPL

FM

GREENFIELD

IN

47144

BTCH

20170320AIE

WNTR

FM

INDIANAPOLIS

IN

47143

BTCH

20170320AIF

WXNT

AM

INDIANAPOLIS

IN

47145

BTC

20170320AIG

KMBZ

AM

KANSAS CITY

MO

6382

BTC

20170320AIH

KZPT

FM

KANSAS CITY

MO

6379

BTCH

20170320AII

KCSP

AM

KANSAS CITY

MO

11270

BTC

20170320AIJ

15
*Lead applications in bold

Federal Communications Commission

DA 17-1100

Call Sign

Service City

State

Facility Id.

Prefix

File Number

KMBZ-FM

FM

KANSAS CITY

KS

2449

BTCH

20170320AIK

KQRC-FM

FM

LEAVENWORTH

KS

74101

BTCH

20170320AIL

WDAF-FM

FM

LIBERTY

MO

8609

BTCH

20170320AIM

KRBZ

FM

KANSAS CITY

MO

57119

BTCH

20170320AIN

KYYS

AM

KANSAS CITY

KS

73938

BTC

20170320AIO

KWOD

AM

KANSAS CITY

KS

87143

BTC

20170320AIP

WOLX-FM

FM

BARABOO

WI

60236

BTCH

20170320AIQ

WMHX

FM

WAUNAKEE

WI

73655

BTCH

20170320AIR

WMMM-FM

FM

VERONA

WI

73663

BTCH

20170320AIS

WMC

AM

MEMPHIS

TN

19185

BTC

20170320AIT

WMC-FM

FM

MEMPHIS

TN

59449

BTCH

20170320AIU

WMFS-FM

FM

BARTLETT

TN

4653

BTCH

20170320AIV

WLFP

FM

GERMANTOWN

TN

2686

BTCH

20170320AIW

WMFS

AM

MEMPHIS

TN

34374

BTC

20170320AIX

WRVR

FM

MEMPHIS

TN

34375

BTCH

20170320AIY

WSSP

AM

MILWAUKEE

WI

27030

BTC

20170320AIZ

W289CB

FX

MILWAUKEE

WI

157544

BTCFT

20170320AJA

WMYX-FM

FM

MILWAUKEE

WI

27029

BTCH

20170320AJB

WXSS

FM

WAUWATOSA

WI

27031

BTCH

20170320AJC

WPTE

FM

VIRGINIA BEACH

VA

64004

BTCH

20170320AJD

WWDE-FM

FM

HAMPTON

VA

40753

BTCH

20170320AJE

WVKL

FM

NORFOLK

VA

4672

BTCH

20170320AJF

WNVZ

FM

NORFOLK

VA

40755

BTCH

20170320AJG

KGON

FM

PORTLAND

OR

2432

BTCH

20170320AJH

KNRK

FM

CAMAS

WA

51213

BTCH

20170320AJI

KMTT

AM

VANCOUVER

WA

35033

BTC

20170320AJJ

KYCH-FM

FM

PORTLAND

OR

35034

BTCH

20170320AJK

KRSK

FM

MOLALLA

OR

68213

BTCH

20170320AJL

KWJJ-FM

FM

PORTLAND

OR

13738

BTCH

20170320AJM

KFXX

AM

PORTLAND

OR

57830

BTC

20170320AJN

WVEI-FM

FM

WESTERLY

RI

71720

BTCH

20170320AJO

W273DA

FX

CHARLOTTE

NC

142651

BTCFT

20170320AJP

KSEG

FM

SACRAMENTO

CA

11281

BTCH

20170320AJQ

16
*Lead applications in bold

Federal Communications Commission

Call Sign

Service City

KIFM

AM

KKDO

DA 17-1100

State

Facility Id.

Prefix

File Number

WEST
SACRAMENTO

CA

67848

BTC

20170320AJR

FM

FAIR OAKS

CA

6810

BTCH

20170320AJS

KUDL

FM

SACRAMENTO

CA

57889

BTCH

20170320AJT

KOIT

FM

SAN FRANCISCO

CA

6380

BTCH

20170320AJU

KGMZ

FM

SAN FRANCISCO

CA

25446

BTCH

20170320AJV

KRBQ-FM2

FB

SAN FRANCISCO

CA

137626

BTCFTB

20170320AJW

KOIT-FM3

FB

MARTINEZ

CA

6374

BTCFTB

20170320AJX

KGMZ-FM1

FB

WALNUT CREEK

CA

25447

BTCFTB

20170320AJY

KHTP

FM

TACOMA

WA

18513

BTCH

20170320AJZ

KNDD

FM

SEATTLE

WA

34530

BTCH

20170320AKA

KISW

FM

SEATTLE

WA

47750

BTCH

20170320AKB

KKWF

FM

SEATTLE

WA

6367

BTCH

20170320AKC

K277AE

FX

SEATTLE

WA

18522

BTCFT

20170320AKD

K281AD

FX

OLYMPIA

WA

18515

BTCFT

20170320AKE

WWEI

FM

EASTHAMPTON

MA

11295

BTCH

20170320AKF

KEYN-FM

FM

WICHITA

KS

53151

BTCH

20170320AKG

KFH

AM

WICHITA

KS

53598

BTC

20170320AKH

KNSS

AM

WICHITA

KS

53152

BTC

20170320AKI

KFBZ

FM

HAYSVILLE

KS

53153

BTCH

20170320AKJ

KNSS-FM

FM

CLEARWATER

KS

23292

BTCH

20170320AKK

KDGS

FM

ANDOVER

KS

70266

BTCH

20170320AKL

K248CY

FX

WICHITA

KS

141945

BTCFT

20170320AKM

WLNK

FM

CHARLOTTE

NC

30834

BTCH

20170320AKN

WBT

AM

CHARLOTTE

NC

30830

BTC

20170320AKO

WBT-FM

FM

CHESTER

SC

10764

BTCH

20170320AKP

WFNZ

AM

CHARLOTTE

NC

53974

BTC

20170320AKQ

WRKO

AM

BOSTON

MA

1902

BTC

20170320AKR

WAAF

FM

WESTBOROUGH

MA

74467

BTCH

20170320AKS

WKAF

FM

BROCKTON

MA

19633

BTCH

20170320AKT

KRXQ

FM

SACRAMENTO

CA

20354

BTCH

20170320AKU

KRBQ

FM

SAN FRANCISCO

CA

65486

BTCH

20170320AKV

KUFX

FM

SAN JOSE

CA

65415

BTCH

20170320AKW

17
*Lead applications in bold

Federal Communications Commission

DA 17-1100

Call Sign

Service City

State

Facility Id.

Prefix

File Number

KUFX-FM2

FB

MORGAN HILL

CA

65413

BTCFTB

20170320AKX

KUFX-FM3

FB

PLEASANTON

CA

136624

BTCFTB

20170320AKY

KBLX-FM

FM

BERKELEY

CA

28670

BTCH

20170320AKZ

KBLX-FM2

FB

PLEASANTON

CA

88317

BTCFTB

20170320ALA

KSWD

FM

LOS ANGELES

CA

70038

BTCH

20170320ALB

KSWD-FM2

FB

SANTA CLARITA

CA

198254

BTCFTB

20170320ALC

WSTR

FM

SMYRNA

GA

30822

BTCH

20170320AAW

WBEN

AM

BUFFALO

NY

34381

BTC

20170320AGQ

WTSS

FM

BUFFALO

NY

34382

BTCH

20170320AGR

WWKB

AM

BUFFALO

NY

34383

BTC

20170320AGS

WKSE

FM

NIAGARA FALLS

NY

34384

BTCH

20170320AGT

WGR

AM

BUFFALO

NY

56101

BTC

20170320AGU

WWWS

AM

BUFFALO

NY

56104

BTC

20170320AGV

WLKK

FM

WETHERSFIELD
TWNSHP

NY

9250

BTCH

20170320AGW

W297AB

FX

WILLIAMSVILLE

NY

9253

BTCFT

20170320AGX

W284AP

FX

BUFFALO

NY

9254

BTCFT

20170320AGY

KQKS

FM

LAKEWOOD

CO

35574

BTCH

20170320AAX

K276FK

FX

DENVER

CO

157107

BTCFT

20170320AAY

WAXY

AM

SOUTH MIAMI

FL

30837

BTC

20170320AAR

WMXJ

FM

POMPANO BEACH

FL

30840

BTCH

20170320AAS

WSFS

FM

MIRAMAR

FL

29567

BTCH

20170320AAT

WLYF

FM

MIAMI

FL

30827

BTCH

20170320AAU

WWWL

AM

NEW ORLEANS

LA

72959

BTC

20170320AGH

WWL

AM

NEW ORLEANS

LA

34377

BTC

20170320AGI

WEZB

FM

NEW ORLEANS

LA

20346

BTCH

20170320AGJ

WLMG

FM

NEW ORLEANS

LA

34376

BTCH

20170320AGK

WWL-FM

FM

KENNER

LA

52435

BTCH

20170320AGL

WKBU

FM

NEW ORLEANS

LA

52434

BTCH

20170320AGM

W279DF

FX

NEW ORLEANS

LA

148534

BTCFT

20170320AGN

WROC

AM

ROCHESTER

NY

71205

BTC

20170320AFX

WBEE-FM

FM

ROCHESTER

NY

71206

BTCH

20170320AFY

WBZA

FM

ROCHESTER

NY

71204

BTCH

20170320AFZ

18
*Lead applications in bold

Federal Communications Commission

DA 17-1100

Call Sign

Service City

State

Facility Id.

Prefix

File Number

WCMF-FM

FM

ROCHESTER

NY

1905

BTCH

20170320AGA

WPXY-FM

FM

ROCHESTER

NY

53966

BTCH

20170320AGB

W239BF

FX

ROCHESTER

NY

157394

BTCFT

20170320AGC

KBZT

FM

SAN DIEGO

CA

58816

BTCH

20170320ACN

KXSN

FM

SAN DIEGO

CA

34589

BTCH

20170320ACO

KSON

FM

SAN DIEGO

CA

30832

BTCH

20170320ACP

KSOQ-FM

FM

ESCONDIDO

CA

49206

BTCH

20170320ACQ

WBZU

AM

SCRANTON

PA

36200

BTC

20170320AEW

WGGI

FM

BENTON

PA

19543

BTCH

20170320AEX

WKRZ

FM

FREELAND

PA

34379

BTCH

20170320AEY

WILK-FM

FM

AVOCA

PA

22666

BTCH

20170320AEZ

WKZN

AM

WEST HAZLETON

PA

22667

BTC

20170320AFA

WMQX

FM

PITTSTON

PA

22925

BTCH

20170320AFB

WILK

AM

WILKES-BARRE

PA

34380

BTC

20170320AFC

WGGY

FM

SCRANTON

PA

36202

BTCH

20170320AFD

WKRF

FM

TOBYHANNA

PA

14643

BTCH

20170320AFE

WGGY-FM1

FB

HONESDALE

PA

91317

BTCFTB

20170320AFF

WGGY-FM2

FB

EAST
STROUDSBURG

PA

190777

BTCFTB

20170320AFG

WGGI-FM1

FB

BLOOMSBURG

PA

199791

BTCFTB

20170320AOB

II.

CBS RADIO, INC., AND ENTERCOM COMMUNICATIONS CORP., STATIONS TO BE
ASSIGNED TO THE ENTERCOM DIVESTITURE TRUST:

Call Sign

Service City

State

Facility Id.

Prefix

File Number

KMVQ-FM

FM

SAN FRANCISCO

CA

1084

BALH

20170320AMP

KMVQ-FM3

FB

WALNUT CREEK

CA

1090

BALFTB 20170320AMQ

WZLX

FM

BOSTON

MA

13806

BALH

20170320AMR

WBZ

AM

BOSTON

MA

25444

BAL

20170320AMT

KYMX

FM

SACRAMENTO

CA

72116

BALH

20170320ANE

KHTK

AM

SACRAMENTO

CA

20352

BAL

20170320ANF

KZZO

FM

SACRAMENTO

CA

65481

BALH

20170320ANG

KZOK-FM

FM

SEATTLE

WA

20357

BALH

20170320ANH

KJAQ

FM

SEATTLE

WA

1091

BALH

20170320ANI

KFNQ

AM

SEATTLE

WA

6387

BAL

20170320ANJ

19
*Lead applications in bold

Federal Communications Commission

DA 17-1100

Call Sign

Service City

State

Facility Id.

Prefix

File Number

WBZ-FM

FM

BOSTON

MA

1901

BALH

20170320ANK

KNCI

FM

SACRAMENTO

CA

20353

BALH

20170320ANO

WGGI

FM

BENTON

PA

19543

BALH

20170320ALF

WGGI-FM1

FB

BLOOMSBURG

PA

199791

BAPFTB

20170320ALG

KSOQ-FM

FM

ESCONDIDO

CA

49206

BALH

20170320ALH

KSWD

FM

LOS ANGELES

CA

70038

BALH

20170320ALJ

KBLX-FM

FM

BERKELEY

CA

28670

BALH

20170320ALM

KUFX

FM

SAN JOSE

CA

65415

BALH

20170320ALN

KUFX-FM2

FB

MORGAN HILL

CA

65413

BALFTB 20170320ALO

KUFX-FM3

FB

PLEASANTON

CA

136624

BALFTB 20170320ALP

WKAF

FM

BROCKTON

MA

19633

BALH

20170320ALR

WRKO

AM

BOSTON

MA

1902

BAL

20170320ALS

KOIT

FM

SAN FRANCISCO

CA

6380

BALH

20170320AMA

KSWD-FM2

FB

LOS ANGELES

CA

198254

BALFTB 20170320AMI

KOIT-FM3

FB

MARTINEZ

CA

6374

BALFTB 20170320AMK

KBLX-FM2

FB

PLEASANTON

CA

88317

BALFTB 20170320DDD

III.

ENTERCOM COMMUNICATIONS CORP., STATIONS TO BE ASSIGNED TO
EDUCATIONAL MEDIA FOUNDATION:

Call Sign

Service

City

State

Facility Id. Prefix

File Number

KSWD

FM

LOS ANGELES

CA

70038

BALH

20170926AFA

KSWD-FM2

FB

LOS ANGELES

CA

198254

BALFTB

20170926AFB

KSOQ-FM

FM

ESCONDIDO

CA

49206

BALH

20170926AFF

WGGI

FM

BENTON

PA

19543

BALH

20170926AFG

WGGI-FM1

FB

BLOOMSBURG

PA

199791

BAPFTB

20170926AFH

20
*Lead applications in bold