Membership does have its privileges. As a member, you will receive The IMCC Newsletter, Special Alert Bulletins and access to important industry changes as well as their effects.
This Industry Resources page contains information on a variety of topics commonly, legally or historically addressed by IMCC and those within the PCO industry. Please review to find information on your particular subject, and be sure to take a look at the FAQ section if you have questions. IMCC helps keep you abreast of any issues that can impact the health of the PCO industry. This is where you can stay updated on the latest FCC rulemakings that impact how PCOs operate in today’s business climate, along with additional pertinent topics commonly dealt with by PCOs.
We welcome your inquiries or input if you don’t find what you’re looking for here. Don’t see your topic here? Membership has its privileges: Email us via the Contact page and let us know what you need, and we’ll try to help find an industry solution if possible.
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The information provided in this Industry Resources section of the IMCC website is provided for informational purposes only. Nothing contained herein may be construed as an offer or provision of legal advice. Readers of this Industry Resources section are advised to consult with legal counsel concerning any and all of the issues discussed and information presented herein.
Background on the FCC's requirement for all MVPDs to help educate consumers about the transition from Analog to Digital with regard to communication to subscribers about the change and what it might mean for their different customers in different circumstances.
This Memorandum attempts to outline the sort of restrictions that an MDU owner or other property manager (including a condominium or homeowners’ association) may impose on the placement of antennas without violating the OTARD rule.
The Communications Assistance for Law Enforcement Act (CALEA) is a wiretapping law enacted by Congress in 1994. CALEA’s purpose is to enhance the ability of law enforcement and intelligence agencies to conduct electronic surveillance by requiring that telecommunications carriers and manufacturers of telecom equipment modify and design their equipment, facilities and services to ensure that they have built-in surveillance capabilities, allowing federal agencies to monitor all telephone, broadband internet and VoIP traffic in real time.
2001 Comments from ICTA to the FCC regarding Promotion of Competitive Networks in Local Telecommunications Markets
Information about the Communications Assistance for Law Enforcement Act (CALEA), including November 6, 2006 memo describing the basics of CALEA and what the FCC requires communications companies to do to comply with the Act.
Most (if not all) States have provisions in their condominium statutes that allow the owners’ association, after control over the condominium’s governing body is transferred from the developer to a voting majority of condominium owners other than the developer, to cancel service agreements entered into by the developer prior to such transfer of control.
This FCC Report and Order and Declaratory Ruling is the FCC filing that clarifies the inside wiring rules for operators.
Title IV of the Federal Communications Act (as well as the franchising laws of states and localities) regulates “cable services” provided by a “cable operator.
The September 24, 1997 Commission adoption of a Second Report and Order (FCC 97-338 ), modifying the Emergency Alert System (EAS) requirements as they apply to wired and wireless cable systems. September 24, 1997, the Commission adopted a Second Report and Order (FCC 97-338 ), which modified the Emergency Alert System requirements as they apply to wired and wireless cable systems and small franchised cable television operators.
Entertainment Connections, Inc.'s motion for declaratory ruling that it is not a cable operator required to obtain a franchise under Section 621 of the Communications Act of 1934, as amended. Conclusion regarding cable operator as defined by the Communications Act.